Title: Whats New with USF, CIPA and PA212
1Whats New with USF, CIPA and PA212?
- An Update for Interested
- E-rate Participants
- November 1, 2001
2Forward
The information in this presentation is based on
discussions regarding CIPA and N-CIPA held among
state E-Rate coordinators and the Michigan
Information Network (MIN) Work Group. Some of the
information is also a result of conference calls
between state E-rate coordinators and the FCC and
SLD. All reasonable attempts have been made to
ensure the accuracy of this information as of the
date of this presentation. However, the FCC and
SLD are still working on the details of
implementing CIPA and N-CIPA. Some of the
information provided in this presentation may
change as the result of further clarifications
made by the FCC and SLD. Refer to the FCC and SLD
web sites for official information.
3Whats New with USF
- A Book Report on USF Year 5
4Book Report on USF Year 5
- Window opening
- The window for Year 5 will open at 1200 Noon on
Monday, November 5, 2001 and will close at
1159PM on Thursday, January 17, 2002
5Book Report on USF Year 5
- Form Modifications
- Form 500
- Is being updated due to CIPA requirements
- Cannot be used to change the Service Start Date
to a date earlier than what is on the Form 486
Notification Letter
6Book Report on USF Year 5
- New Notification Letters
- Form 486 Notification Letter
- Currently under development at the SLD to confirm
receipt of your Form 486 - Form 500 Notification Letter
- Currently under development at the SLD to confirm
receipt of your Form 500
7Book Report on USF Year 5
- SPIN Changes should be easier thanks to Copan
ruling - Applicant has to make 3 certifications
- 1. Change is allowed under state local
procurement rules/laws - 2. Change is allowed under terms of contract
- 3. Original Service Provider (SP) has been
notified of intent to make change
8Book Report on USF Year 5
- Product and Service Substitutions should be
easier due to recent changes - 1-to-1 changes no longer required
- Does not have to be initiated by the SP
- Same functionality now more broadly interpreted
9Book Report on USF Year 5
- E-certification
- SLD working to implement for Year 5 Form 471
window opening - Will require applicant to apply for User ID and
PIN - PINs will be assigned to individuals who have
hand-signed Forms 471 and 486 that have been data
entered at SLD
10Book Report on USF Year 5
- Forms to have E-cert capability
- 470 - Services Requested
- 471 - Services Ordered
- 486 - Services Confirmed
- 500 - Service Change
- 472 (BEAR) - Applicant Invoice
- Refer to SLDs E-certification Update
presentation on MIN and Merit web sites
11Book Report on USF Year 5
- FCC Deadline Extensions
- Deadline for delivery and installation of
non-recurring services is the Sept. 30 that
follows the June 30 close of the relevant funding
year - If certain decisions (e.g., FCDL SP change
approved) are issued after March 1, non-recurring
services may be delivered through Sept. 30 of the
following calendar year
12Whats New with CIPA?
- CIPA Filing Requirements
- for USF Year 4
13CIPA Costume
- Question
- What were you for Halloween this year?
- Answer
- A completed, signed Form 486 inside an envelope
with a postmark date of October 28, 2001
14CIPA Compliance Certification
- Should have been made via Form 486 with a
postmark date on or before October 28, 2001 - If you didnt meet this postmark date when you
should have, then your new eligibility start
date for E-rate discounts will be the postmark
date of your Form 486 - Unless...
15CIPA Compliance Certification
- You did not receive an FCDL and/or your services
did not start on or before October 28th - In which case, you must file a Form 486 within
120 days following the date of your FCDL, or the
start of services, whichever is later
16CIPA Compliance Certification
- If you did not start undertaking actions by July
1 or the start of services, you can only qualify
for Year 4 discounts back to the date at which
you verify on Form 486 that your school or
library started taking such actions
17CIPA Compliance Certification
- Certification of full compliance must be made by
the start of funding Year 5 (i.e., July 1, 2002) - Exception 1 Unless applicant requests and
receives a waiver because full compliance is
prevented due to delays caused by local
procurement procedures - Exception 2 Unless applicant requests discount
services only for telecommunications services
18How Do I Certify?
- Year 4
- Form 479 - must be completed by the
Administrative Authority of a school or library
and submitted to the Billed Entity for the
consortium that is applying on their behalf - Form 486 - must be completed by the Billed Entity
(or the Administrative Authority if the latter is
also the Billed Entity) and submitted to the SLD
19Form 479
- The Administrative Authority certifies in Block
2, Item 6 on this form that - a) the recipients under its administrative
authority have complied with CIPA or - b) the recipients under its administrative
authority are undertaking actions to comply with
CIPA for the next funding year (for most, Year 5
- July 1, 2002), but have not completed all
requirements for this funding year or
20Form 479
- c) CIPA does not apply because the recipients of
service under it administrative authority are
receiving discount services only for
telecommunications services. - The Billed Entity (i.e., the consortium leader)
collects a completed Form 479 from each of its
members
21Form 479
- Note Forms 479 are not sent to the SLD. They are
kept on file (for 5 years) by the Billed Entity
to substantiate the Billed Entitys CIPA
compliance certification made on the Form 486
22Form 479
- Waiver requests
- The Administrative Authority for the consortium
certifies in Block 2, Item 6d on the Form 479
that it is unable to make the certifications
required by CIPA due to local procurement rules,
regulations, or competitive bidding requirements
23Form 479
- Due date
- Should have been in the hands of the Billed
Entity prior to October 28, 2001 so that the
Billed Entity could certify on a Form 486 that
all Forms 479 had been collected - Time has run out if your Billed Entity has
already received an FCDL and/or your services
have started
24Form 486
- The Billed Entity who is also the Administrative
Authority certifies in Block 4, Item 11 on this
form that - a) the recipients of service have complied with
the requirements of CIPA or - b) the recipients of service are undertaking
actions to comply with the requirements of CIPA
for the next funding year but have not completed
all requirements for this year or
25Form 486
- c) CIPA does not apply because the recipients of
service are receiving discount services only for
telecommunications services. - Note
- The Billed Entity is not responsible for
verifying that members certifications are
accurate - The entire consortium will not be penalized due
to the non-compliance of an individual member(s)
26Form 486
- The Billed Entity who represents one or more
Administrative Authorities also certifies in
Block 4, Item 11 on this form that - d) duly completed and signed Forms 479 from all
eligible members of the consortium have been
collected or
27Form 486
- e) the only services that have been approved for
discounts are telecommunications services, and
therefore the requirements of CIPA do not apply.
28Form 486
- If d above is checked, then the Billed Entity
who represents one or more Administrative
Authorities must check one of the following boxes
in Item 11
29Form 486
- f) some or all of the eligible consortium members
checked Form 479 Item 6d to seek a CIPA Waiver,
and upon request from the Administrator, this
information can be provided or - g) no eligible consortium members checked Form
479 Item 6d to seek a CIPA Waiver.
30Form 486
- Beware Block 2a, Item 6A
- Applicants who filed a Form 486 early for PY4 for
services that had already begun (e.g., as of July
1, 2001) should NOT have checked Item 6A in Block
2a - Instructions on the actual Form 486 are WRONG!
- Instructions in the Instructions for Completing
Form 486 document are correct!
31Form 486
- Block 2a, Item 6A was meant for those early
filers whose services had not yet started, but
would start before October 28, 2001 - If you were an early filer submitting Form 486
after services had already started, you should
NOT have checked Block 2a, Item 6A
32Form 486
- If you did when you shouldnt have, the SLD
should catch the error upon data entry
33Forms 479/486 Filing Deadline Has Passed for Many
Applicants
- Technically, your Form 486 should have been
postmarked 5 days ago to meet the October 28,
2001 deadline! - That is, if youve already received an FCDL
and/or your services for Year 4 started on or
before October 28th
34Spice
- Cinnamon
- Nutmeg
- Marjoram
- Vanilla
- Pumpkin Spice
- Spice Girls
35How Do I Certify?
- Year 5
- Certification will be made on the new Form 486
(July 2001 version) - No specific filing dates announced yet
- Must be fully in compliance by July 1, 2002 to be
eligible for funding (unless have obtained a
waiver, or are applying for discount services
only for telecommunications services)
36Internet Safety Policy
- CIPA requires adoption and implementation of an
Internet Safety Policy - Public hearing or meeting must be held regarding
the Internet Safety Policy - Must provide reasonable public notice
- Should comport with the states Open Meetings law
(MCL 15.261 - March 31, 1977)
37Internet Safety Policy
- Internet safety measures to consider for
inclusion in the Internet Safety Policy are - Procedures the district or library will follow
to - protect minors from access to inappropriate
matter on the Internet and World Wide Web - ensure the safety and security of minors when
using electronic mail, chat rooms, and other
forms of direct electronic communications
38Internet Safety Policy
- address the unauthorized access, including
so-called hacking, and other unlawful
activities by minors online - address the unauthorized disclosure, use, and
dissemination of personal identification
information regarding minors and - restrict minors access to materials harmful to
minors.
39Internet Safety Policy
- Operation of a technology protection measure for
any computers with Internet access that protects
against access through such computers to visual
depictions that are - obscene
- child pornography or
- harmful to minors.
40Internet Safety Policy
- Methods by which the district will enforce these
Internet safety measures during use of any
computers with Internet access by minors.
41Internet Safety Policy
- For schools
- Internet Safety Policy must include monitoring
the online activities of minors - Note 1) Libraries are not required to monitor
the online activities of minors 2) CIPA and
N-CIPA do not require schools or libraries to
track Internet use by identifiable users
42Whats New with PA 212?
- A Look at Complying with Both
- PA 212 and CIPA
43PA 212
- In Michigan, you must comply with PA 212 whether
or not you apply for E-rate funds
44PA 212
- Sexually explicit matter defined by Act 33 of
1978 (MCL 722.673) as - sexually explicit visual material, sexually
explicit verbal material, or sexually explicit
performance - Verbal material means a book, pamphlet, magazine,
printed matter reproduced in any manner (i.e.,
text), or sound recording
45PA 212
- Amended section 6 of MCL 397.606 as added by PA
37 - Requires the governing body of a library that
offers use of the Internet or a computer system
to the public to - Adopt and require enforcement of a policy that
restricts access to minors by providing use of
the Internet or computer system in 1 of the
following ways
46PA 212
- (a) Both of the following
- (i) By making available, to individuals of any
age, 1 or more terminals that are restricted from
receiving obscene matter or sexually explicit
matter that is harmful to minors AND - (ii) By reserving, to individuals 18 years of age
or older or minors who are accompanied by their
parent or guardian, 1 or more terminals that are
NOT restricted from receiving any such material.
47PA 212
- OR
- (b) By utilizing a system or method that is
designed to prevent a minor from viewing obscene
matter or sexually explicit matter that is
harmful to minors. - Possibilities
- Internet filtering
- Monitoring
48PA 212
- PA 212 (section 6) does NOT apply to a library
established by a community college district, a
college or university, or a private library open
to the public
49PA 212
- So that leaves libraries established by the
state a county, city, township, village, school
district, or other local unit of government or
authority or combination of local units of
governments and authorities - that offer use of
the Internet or a computer system to the public.
50CIPA and PA 212 Compliance
- CIPA is concerned only with visual depictions
that are obscene, child pornography, or harmful
to minors - CIPA is also concerned with protecting minors and
adults from visual depictions that are obscene or
child pornography
51CIPA and PA 212 Compliance
- With PA 212, the focus is on minors only, not
adults - PA 212 covers verbal and performance material,
whereas CIPA is concerned only with visual
depictions that are obscene or child pornography
52CIPA and PA 212 Compliance
- To even attempt to comply with both of these
pieces of legislation, a school or library in
Michigan must start by - 1) adopting and implementing an Internet Safety
Policy (including public hearing with reasonable
public notice), AND
53CIPA and PA 212 Compliance
- 2) implementing an Internet filtering system
designed to protect a minor from viewing
OSEMHARTOM, child pornography, and other
material deemed locally to be inappropriate for
minors (visual, verbal, and performance),
Obscene, Sexually Explicit Material HARmful TO
Minors
54CIPA and PA 212 Compliance
- A few notes to remember on that last point
- i) CIPA also requires that adults be protected
- from viewing visual depictions that are obscene
or child pornography - ii) CIPA does not require that verbal or
performance material be blocked from minors or
adults - iii) CIPA does not require restricting adults
from viewing or accessing visual depictions that
are harmful to minors - iv) CIPA does require that minors not view or
access visual depictions that may be harmful to
them.
55CIPA and PA 212 Compliance
- AND
- 3) implementing other safety measures for minors
with regards to E-mail, Chat rooms, Other e-coms,
Hacking, and Unauthorized disclosure of personal
ID info on minors, AND
The N-CIPA piece
56CIPA and PA 212 Compliance
- 4) if you are a school or school library,
monitoring the online activities of minors.
Note A minor under CIPA is less than 17 years of
age, while a minor under PA 212 is less than 18
years of age. In Michigan, libraries would need
to filter the Internet for all individuals under
the age of 18.
57CIPA and PA 212 Compliance
- Opinions vary as to whether a library can comply
with both of these pieces of legislation - Some think its possible
- Some think its impossible
58Court Actions
- ALA and ACLU lawsuits challenge the applicability
of CIPA to libraries - May 15, 2001 ruling in U.S. District Court
requires libraries to indicate in PY4 that they
are evaluating their options - Full-blown trial tentatively scheduled for
February 14, 2002
59Court Actions
- Why no lawsuits from schools?
- Perhaps because schools have much greater
flexibility restricting free speech under the
concept of educational suitability and in loco
parentis - Also, schools are limited use facilities,
whereas libraries are considered to be an open
forum upholding intellectual freedom rights
60Advice
- Schools, school districts, libraries and library
consortia should seek the advice of legal counsel
in an attempt to ensure that their actions are in
compliance with the letter of the law(s)
61Resource Sites
- Refer to the following web sites for additional
information on CIPA - http//www.merit.edu/usf/CIPAPA212Comparison.html
- http//www.michiganlegislature.org/law/GetObject.a
sp?objName397-606queryid1818770 - http//www.ala.org/cipa
- http//www.aclu.org/issues/cyber/trial/
appeal.html - http//www.dpi.state.wi.us/dlcl/pld/cipafaq.html
- http//www.merit.edu/usf/CIPADocs.html
62Questions?
- Laurie Taylor
- Michigan Information Network (MIN)
- 517.241.1642
- taylorL4_at_michigan.gov