The institution protects the security, confidentiality, and integrity of student records and maintains special security measures to protect and back up data. (Student records)
Compliance Status
Louisiana State University and A&M College is in compliance with this principle.
Narrative
Louisiana State University and A&M College (LSU) protects the security, confidentiality, and integrity of all records containing personally identifiable information (including student records) and maintains special security measures to protect and back up data as described in detail below.
Student Records Defined
The university defines student records to mean all educational records within the scope of the Family Educational Rights and Privacy Act (FERPA) [1]. For this purpose, the university broadly defines student records to mean all records, files, documents, and other materials containing information directly related to a student and maintained by a person acting on behalf of the university [1].
Educational records do not include the following:
Compliance with All Applicable Laws Concerning Student Records
The university has adopted a comprehensive set of policies and procedures designed to comply with federal laws and regulations protecting personally identifiable information. In most cases, the protection provided by these university policies and procedures extends beyond student records. The discussion below, however, focuses on the student records aspects of those policies and procedures.
The laws and policies addressed by these university policies and procedures include the following:
Federal
State of Louisiana
Louisiana State University Board of Supervisors Policy
As a member institution of the Louisiana State University System, LSU must enforce policies and procedures in compliance with the information security standards set by the Board of Supervisors and with applicable federal and state laws. The LSU System information security standards are outlined in Permanent Memorandum 36 (PM-36) – Louisiana State University System Information Security Plan [9]. Additional details are provided in the attachments to PM-36:
Louisiana State University Policies and Procedures
The university’s compliance with law and Board of Supervisors policy in this important area is accomplished through education of the university community, inventory of university assets covered by the policies, adoption of unit-level policies designed to meet the unique needs of the unit, and regular review of units to verify compliance.
Campuswide
LSU has adopted the following policies to ensure the security and confidentiality of student records:
The purpose of this policy is to inform all concerned of the rights and prerogatives of students under the Family Educational Rights and Privacy ACT of 1974 (FERPA)[14];
The purpose of the notification is to advise students about their rights with respect to FERPA, outline procedures for those students who wish to inspect and review their educational records, and provide students with limited control over the release of their education records [1]; and
This policy governs the collection, maintenance, use and disclosure of Social Security Numbers and establishes the LSUID number [15].
LSU and Information Technology Services (ITS)
As records management practices have changed, electronic records have increasingly become the focus of information security efforts. Accordingly LSU, and in particular Information Technology Services, maintains a number of policies, each designed in part to address the security, confidentiality, and integrity of electronic data (including student records):
This policy statement establishes important guidelines and restrictions regarding any and all use of computing resources at, for, or through LSU [16];
This policy outlines the role and authority of ITS in supporting and upholding the security and integrity of the LSU information technology environment [17];
This policy applies to all users of the LSU e-mail system and establishes important guidelines and restrictions regarding any and all use of e-mail at LSU, including retention and retraction of e-mail [18];
This policy outlines the responsibilities of all users in supporting and upholding the security of data at LSU regardless of the user’s affiliation or relation with the university, and irrespective of where the data is located, utilized or accessed;
The data is classified into three categories:
This policy seeks to facilitate teaching, research, and the overall mission of the university through the authorized use of computing resources and data consistent with the university’s need for limited access by persons other than the account holder when necessary to serve or protect operations within the university or to meet legal requirements; the policy applies to all authorized users of computing resources at LSU regardless of user’s affiliation or relationship with the university and irrespective of where the resources are located, utilized, or accessed [21];
This document is a summary of the Information Security Plan of LSU; its purpose is to protect the information systems and resources at the university from malicious attack or misuse and thus ensure the confidentiality, integrity, and availability of those institutional assets [22];
This document describes ITS' disaster recovery plan and backup procedures [23];
This document describes the six categories of IT security incidents [24]; and
This document supplements PS-06.20 (Security of Data) with respect to incident and breach responses [25].
Office of the University Registrar
The Office of the University Registrar (OUR) is responsible for the security, confidentiality, and integrity of the official student education records of the university and the maintenance of special procedures to protect that data [1] [14].
The office maintains a series of internal procedures to assure that the security, confidentiality, and integrity of student records is protected. These include the following:
The university registrar also has final responsibility for the implementation and interpretation of the provisions of PS-30 (Privacy Rights of Students) [14].
Representative Examples of Policies and Practices of Other University Units
Because of the unique functions of the university’s many academic and support units, each unit must adopt its own procedures and practices to implement the previously described institutional policies in a manner designed to fit the exact role of that unit. The following examples are representative of the manner in which the laws described above, LSU System policies, and institutional policies are applied at the unit level. These units are representative because they are large units that handle sensitive data and serve all students.
Student Health Center
Because of the highly sensitive nature of the data received in the course of its daily operations, the Student Health Center (SHC) maintains and enforces a comprehensive set of policies, procedures, and guidelines to assure the security, confidentiality, and integrity of all sensitive data (including student records) [27]. These policies, procedures, and guidelines assure appropriate access to data, release of data only in appropriate circumstances, and compliance with the laws, system policies, and university policies. The following policies, procedures, and guidelines accomplish these purposes:
Dean of Students
The Code of Student Conduct (Section 7.9) contains guidance regarding the access to students’ disciplinary records and the maintenance of those records [28]. The Office of Student Advocacy and Accountability maintains an internal policy with respect to student records [29] and follows departmental policy with respect to the destruction of student records [30].
Division of Continuing Education
The Division of Continuing Education’s Online Distance Learning program protects the privacy of student education records in accordance with PS-30 and FERPA [31].
Public Dissemination of Information about Student Records
Detailed information about students’ rights concerning their education records is widely disseminated to students. Sources include the following:
Annual FERPA Notification [33];
FERPA for Students Tutorial [34];
FERPA for Faculty & Staff Tutorial [35];
FERPA for Parents Tutorial [36];
Mechanisms Established to Assure Compliance with University Policies and Procedures
The Office of the University Registrar takes the following steps to ensure compliance:
University Processes Implemented to Identify Potential Areas of Risk
Enterprise Risk Management (ERM)
The Office of Risk Management (ORM) “seeks to identify and mitigate potential risks throughout the university using the ERM process.” ERM involves “integrating risk discussions into strategic deliberations and identifying the interrelations of risk factors across activities. Specific characteristics of ERM include:
LSU ERM reinforces efforts to minimize risks by providing:
Data Backup, Continuity Planning, and Disaster Recovery
Business Continuity and Disaster Recovery Plans are the responsibilities of the individual departments and units across campus. Information Technology Services (ITS) works to backup mission-critical facets required for the effective functioning of the university [23]. A hot-site has been contracted for restoring mainframe data and processing and some Web applications [23].
Responding to Security Breaches
The chief IT policy and security officer complies with state law and university policy with respect to security breaches [8] [17].
Physical Security of Records Storage
Non-electronic records include those maintained in hard copy and on microfilm. Physical security of such records is accomplished by securing work areas and securing documents in locked work and storage areas.
Office of the University Registrar
OUR maintains all academic records from the 1870s through 1985 on microfilm. Copies of the microfilm are stored at the Louisiana State Archives Building. The original hard copy academic records (student academic ledgers) are stored on site.
The university activated the Student Records and Registration (SRR) database with the fall 1982 semester. From 1982 through the summer 1985 term, the office maintained hard copy academic ledgers for enrolled students and maintained their records electronically in the SRR database.
Until 1997, OUR microfilmed all enrolled students’ admission papers and academic source documents (e.g., grade sheets, grade corrections forms, drop/add forms, resignation forms, etc.). Beginning in 1997 and continuing through the spring 2013 semester, OUR has imaged these documents and stored them on a network-attached storage (NAS) unit in the Frey Building on the LSU campus. OUR also has imaged all of the hard copy academic records.
Beginning with the summer 2013 term, OUR no longer imaged the admissions papers, as Undergraduate Admissions assumed this responsibility. See below.
Office of Enrollment
For the purposes of this certification, units in the Office of Enrollment will be addressed separately.
Undergraduate Admissions: Undergraduate Admissions is responsible for maintaining files regarding applicants. Files of applicants who do not enroll are maintained for one year after the application term. After one year, the office destroys these records. Through the spring 2013 semester, the office transferred the custody of the records of applicants who enrolled to OUR. During the fall 2012 and spring 2013 semesters, the office implemented the Nolij imaging system. All admission documents are now imaged when received. Beginning with the summer 2013 term, the office will transfer the custody of the imaged records to OUR. The Office of Undergraduate Admissions retains student records in accordance with the Enrollment Management Records Retention Schedule [51].