Welcome to Blinn College
Required Notices
Annual Security and Fire Safety Report
Keeping students, employees, and visitors safe is Blinn College’s top priority. As required by the Jeanne Clery Disclosure of Campus Security Policy and Campus Crime Statistics Act, or “Clery Act,” Blinn alerts students and employees in a timely manner of crimes that pose a serious or continuing threat to the Blinn community. Depending on the nature and location of the incident, Blinn may send a Blinn Alert message to all students, faculty, and staff via email and text message.
To ensure that your Blinn Alert contact information is up-to-date, please visit lta6.photographywaltz.com/alert.
Blinn prepares an annual security report in compliance with the Clery Act. It includes reported campus crime statistics for the past three years, as well as information about campus security policies.
Blinn College also is required to maintain and publish an annual fire safety report, which includes the most recent calendar year’s fire incidents in residential facilities. The federal Higher Education Opportunity Act requires any institution that maintains an on-campus student housing facility to collect fire statistics, publish an Annual Fire Safety Report, and keep a “fire log.”
To view past and current copies of the Blinn College Annual Security and Fire Safety Report containing both the annual security report and fire safety report, please visit http://lta6.photographywaltz.com/police-emergency-management/clery.html.
To obtain a paper copy of the current Annual Security and Fire Safety Report, please contact the Blinn College Police Department at 979-830-4755 or 979-209-7600.
Student Rights and Responsibilities
When students accept admission to the Blinn College District, they are granted specific rights by the College and expected to maintain a high standard of conduct. To view these rights and responsibilities, please see the Student Rights and Responsibilities page of the Blinn Catalog.
Nondiscrimination Annual Public Notice
Blinn College District, including its career and technical education programs, does not discriminate on the basis of race, color, religion, gender, national origin, disability, age, or any other basis prohibited by law. A lack of English language skills is not a barrier to admission and participation in career and technical education programs. However, to complete any of the Health Science programs, students must successfully fulfill all academic requirements of the program as explained in the course catalog and specific program web pages. This includes all requirements set by any outside facility where students are required to participate for portions of the program. For more information on these requirements, please contact health.sciences@photographywaltz.com.
Student: Title IX Coordinators
Title IX Coordinator:
Dr. Adrienne McCain, Dean, Title IX and Student Conduct
902 College Avenue, Brenham, TX 77833
(979) 830-4216 or adrienne.mccain@photographywaltz.com
Jessica Brisco, Title IX Investigator
902 College Avenue, Brenham, TX 77833
(979) 830-4643 or jessica.brisco@photographywaltz.com
Student: ADA/Section 504 Coordinators:
Brenham, Schulenburg, & Sealy Campuses:
Sophia Polk, Director, Disability Services
902 College Avenue, Brenham, TX 77833
(979) 830-4134 or brenham.ods@photographywaltz.com
Brenham Campus: Administration Bldg., Suite 104
Bryan and RELLIS Campuses:
Samantha Johnson, Director, Disability Services
2423 Blinn Boulevard, Bryan, TX 77802
Bryan Campus: Room D-160
(979) 209-7251 or bryan.ods@photographywaltz.com
RELLIS Campus: Schwartz Building, Suite 230
(979) 209-8947 or rellis.ods@photographywaltz.com
Employee: ADA/Section 504 Coordinator:
College District Coordinator:
Marie Kirby, Assistant Vice Chancellor,
Human Resources
2423 Blinn Boulevard, Bryan, TX 77802
(979) 209-7337 or marie.kirby@photographywaltz.com
Employee: Title IX Coordinator:
College District Coordinator:
Marie Kirby, Assistant Vice Chancellor,
Human Resources
2423 Blinn Boulevard, Bryan, TX 77802
(979) 209-7337 or marie.kirby@photographywaltz.com
Student and Employee
All Other Anti-Discrimination Laws Coordinator:
Dr. Mary Hensley, Chancellor
902 College Avenue, Brenham, TX 77833
(979) 830-4111 or chancellor@photographywaltz.com
The College District’s information regarding freedom from discrimination, harassment, and retaliation is located primarily in Board Policies FFDA(LOCAL) and FFDB(LOCAL) for students, and in Board Policies DIAA(LOCAL) and DIAB(LOCAL) for employees.
College District’s Career and Technical programs, both credit and non-credit, are designed to provide students with the necessary knowledge and skills they will need to immediately enter the workforce. Numerous degree and certificate programs prepare students for careers in fields such as health science, information technology, business management and administration, finance, public safety, hospitality, human services, transportation, and manufacturing.
Career and Technical applicants are required to meet the college’s general admission criteria as well as the individual program’s admission criteria. Applicants must contact the program director/coordinator to determine eligibility and qualifications for a specific program. Some programs, such as those in health science, are competitive entry and may have required minimum technical standards.
AVISOS REQUERIDOS
No discriminación y annual aviso público:
Blinn College District, incluyendo su carrera y programas de educación técnica, no discrimina por raza, color, religión, género, origen nacional, discapacidad, edad o cualquier otra base prohibida por la ley. La falta de conocimientos del idioma inglés no será una barrera para la admisión y participación en programas de educación técnica y carrera.
Student: Title IX Coordinators
Title IX Coordinator:
Dr. Adrienne McCain, Dean, Title IX and Student Conduct
902 College Avenue, Brenham, TX 77833
(979) 830-4216 or adrienne.mccain@photographywaltz.com
Deputy Coordinator-Schulenburg Campus:
Dr. Becky Garlick, Executive Dean,
Blinn Schulenburg Campus
100 Ranger Drive, Schulenburg, TX 78956
(979) 743-5222 or bgarlick@photographywaltz.com
Deputy Coordinator-Sealy Campus:
Lisa Caton, Executive Dean, Blinn Sealy Campus
3701 Outlet Center Drive, Sealy, TX 77474
(979) 627-0286 or lisa.caton@photographywaltz.com
Investigator:
Dr. Adrienne McCain, Title IX Investigator
902 College Avenue, Brenham, TX 77833
(979) 830-4216 or adrienne.mccain@photographywaltz.com
Student: ADA/Section 504 Coordinators:
Brenham, Schulenburg, & Sealy Campuses:
Sophia Polk, Director, Disability Services
902 College Avenue, Brenham, TX 77833
(979) 830-4134 or brenham.ods@photographywaltz.com
Brenham Campus: Administration Bldg., Suite 104
Bryan and RELLIS Campuses:
Samantha Johnson, Director, Disability Services
2423 Blinn Boulevard, Bryan, TX 77802
Bryan Campus: Room D-160
(979) 209-7251 or bryan.ods@photographywaltz.com
RELLIS Campus: Schwartz Building, Suite 230
(979) 209-8947 or rellis.ods@photographywaltz.com
Employee: ADA/Section 504 Coordinator:
College District Coordinator:
Marie Kirby, Assistant Vice Chancellor,
Human Resources
2423 Blinn Boulevard, Bryan, TX 77802
(979) 209-7337 or marie.kirby@photographywaltz.com
Employee: Title IX Coordinator:
College District Coordinator:
Marie Kirby, Assistant Vice Chancellor,
Human Resources
2423 Blinn Boulevard, Bryan, TX 77802
(979) 209-7337 or marie.kirby@photographywaltz.com
Student and Employee
All Other Anti-Discrimination Laws Coordinator:
Dr. Mary Hensley, Chancellor
902 College Avenue, Brenham, TX 77833
(979) 830-4111 or chancellor@photographywaltz.com
Puede encontrarse información relativa a la libertad de discriminación, hostigamiento y represalias en Junta Directiva FFDA(LOCAL) y FFDB(LOCAL) para estudiantes y Junta Directiva DIAA(LOCAL) y DIAB(LOCAL) para los empleados.
De Blinn College carrera y programas técnicos de estudio, tanto crédito y sin crédito, están diseñados para proporcionar a los estudiantes con los conocimientos y aptitudes necesarios que necesitarán para entrar inmediatamente en la fuerza de trabajo. Numerosos programas de grado y certificado de preparan a los estudiantes para carreras en campos como la ciencia de la salud, tecnología de la información, gestión empresarial y administración, finanzas, seguridad pública, hospitalidad, servicios humanos, transporte y fabricación. Carrera y técnicos solicitantes están obligados a cumplir con los criterios de admisión general del colegio, así como los criterios de admisión del programa individual. Los solicitantes deben contactar con el director del programa/Coordinator para determinar elegibilidad y requisitos para un programa específico. Algunos programas, como los de Ciencias de la salud, son entrada competitiva y requiera estándares técnicos mínimos.
Blinn College District Notification of Rights under FERPA
The Family Educational Rights and Privacy Act (FERPA) provides eligible students certain rights regarding their education records. (An “eligible student” under FERPA is a student who is 18 years of age or older or who attends a postsecondary institution.) These rights include:
1. The right to inspect and review the student's education records within 45 days after the day the Blinn College District receives a request for access. A student should submit to the registrar, dean, head of the academic department, or other appropriate official, a written request that identifies the record(s) the student wishes to inspect. The school official will make arrangements for access and notify the student of the time and place where the records may be inspected. If the records are not maintained by the school official to whom the request was submitted, that official shall advise the student of the correct official to whom the request should be addressed.
2. he right to request the amendment of the student’s education records that the student believes is inaccurate, misleading, or otherwise in violation of the student’s privacy rights under FERPA.
A student who wishes to ask the school to amend a record should write the school official responsible for the record, clearly identify the part of the record the student wants changed, and specify why it should be changed.
If the school decides not to amend the record as requested, the school will notify the student in writing of the decision and the student’s right to a hearing regarding the request for amendment. Additional information regarding the hearing procedures will be provided to the student when notified of the right to a hearing.
3. The right to provide written consent before the university discloses personally identifiable information (PII) from the student's education records, except to the extent that FERPA authorizes disclosure without consent.
The school discloses education records without a student’s prior written consent under the FERPA exception for disclosure to school officials with legitimate educational interests. A school official is a person employed by the College District in an administrative, supervisory, academic, research, or support staff position (including College District police department personnel and health staff); a person serving on the board of trustees; or a student serving on an official committee, such as a disciplinary or grievance committee. A school official may include a volunteer or contractor outside of the Blinn College District who performs an institutional service or function for which the school would otherwise use its own employees and who is under the direct control of the school with respect to the use and maintenance of PII from education records, such as an attorney, auditor, or collection agent or a student volunteering to assist another school official in performing his or her tasks. A school official has a legitimate educational interest if the official needs to review an education record in order to fulfill his or her professional responsibilities for the College District.Upon request, the school also discloses education records without consent to officials of other schools in which a student seeks or intends to enroll.
4. The right to file a complaint with the U.S. Department of Education concerning alleged failures by the College District to comply with the requirements of FERPA. The name and address of the Office that administers FERPA is:
Family Policy Compliance Office U.S. Department of Education 400 Maryland Avenue, SW Washington, DC 20202
Directory information shall be released to a qualified individual or organization that files a written request with the Chancellor or designee.
The College District shall give public notice of the categories of information designated as directory information and of the period of time after such notice for a student to inform the College District that any or all of the directory information should not be released without prior consent.
The College District designates the following categories of student information as public or directory information. Such information may be disclosed by the institution:
Category I: Name, classification, major field of study, home address, and College District e-mail address.
Category II: Previous institutions attended, attendance status, awards, honors (including Distinguished and Chancellor’s lists), degree(s) conferred (including dates), past and present participation in officially recognized sports and activities, and physical factors (height, weight of athletes).
Currently enrolled students may withhold disclosure of either or both categories of information under the Family Educational Rights and Privacy Act (FERPA) of 1974. To withhold disclosures, the College District must receive written notification from the student, filed in the office of admissions and records on the Brenham Campus or Bryan Campus, within 12 calendar days from the first day of registration for each long term or four days for summer terms. The College District will provide forms for requesting the withholding of directory information in the offices listed above. The College District shall assume that failure on the part of any student to specifically request the withholding of directory information indicates individual approval for disclosure.
FERPA permits the disclosure of PII from students’ education records, without consent of the student, if the disclosure meets certain conditions found in § 99.31 of the FERPA regulations. Except for disclosures to school officials, disclosures related to some judicial orders or lawfully issued subpoenas, disclosures of directory information, and disclosures to the student, § 99.32 of FERPA regulations requires the institution to record the disclosure. Eligible students have a right to inspect and review the record of disclosures. A postsecondary institution may disclose PII from the education records without obtaining prior written consent of the student –
- To other school officials, including teachers, within the Blinn College District whom the school has determined to have legitimate educational interests. This includes contractors, consultants, volunteers, or other parties to whom the school has outsourced institutional services or functions, provided that the conditions listed in §§ 99.31(a)(1)(i)(B)(1) - (a)(1)(i)(B)(2) are met. [§ 99.31(a)(1)]
- To officials of another school where the student seeks or intends to enroll, or where the student is already enrolled if the disclosure is for purposes related to the student’s enrollment or transfer, subject to the requirements of § 99.34. [§99.31(a)(2)]
- To authorized representatives of the U. S. Comptroller General, the U. S. Attorney General, the U.S. Secretary of Education, or State and local educational authorities, such as a State postsecondary authority that is responsible for supervising the university’s State-supported education programs. Disclosures under this provision may be made, subject to the requirements of § 99.35, in connection with an audit or evaluation of Federal- or State-supported education programs, or for the enforcement of or compliance with Federal legal requirements that relate to those programs. These entities may make further disclosures of PII to outside entities that are designated by them as their authorized representatives to conduct any audit, evaluation, or enforcement or compliance activity on their behalf. (§§ 99.31(a)(3) and 99.35)
- In connection with financial aid for which the student has applied or which the student has received, if the information is necessary to determine eligibility for the aid, determine the amount of the aid, determine the conditions of the aid, or enforce the terms and conditions of the aid. (§ 99.31(a)(4))
- To organizations conducting studies for, or on behalf of, the school, in order to: (a) develop, validate, or administer predictive tests; (b) administer student aid programs; or (c) improve instruction. [§ 99.31(a)(6)]
- To accrediting organizations to carry out their accrediting functions. [(§ 99.31(a)(7)]
- To parents of an eligible student if the student is a dependent for IRS tax purposes. [§ 99.31(a)(8)]
- To comply with a judicial order or lawfully issued subpoena. [§ 99.31(a)(9)]
- To appropriate officials in connection with a health or safety emergency, subject to § 99.36. [§99.31(a)(10)]
- Information the school has designated as “directory information” under § 99.37. [§ 99.31(a)(11)]
- To a victim of an alleged perpetrator of a crime of violence or a non-forcible sex offense, subject to the requirements of § 99.39. The disclosure may only include the final results of the disciplinary proceeding with respect to that alleged crime or offense, regardless of the finding. [§ 99.31(a)(13)]
- To the general public, the final results of a disciplinary proceeding, subject to the requirements of § 99.39, if the school determines the student is an alleged perpetrator of a crime of violence or nonforcible sex offense and the student has committed a violation of the school’s rules or policies with respect to the allegation made against him or her. [§ 99.31(a)(14)]
- To parents of a student regarding the student’s violation of any Federal, State, or local law, or of any rule or policy of the school, governing the use or possession of alcohol or a controlled substance if the school determines the student committed a disciplinary violation and the student is under the age of 21. [§ 99.31(a)(15)]
Affirmative Action/Equal Opportunity Statement
The College District affirms its Equal Employment Opportunity policy to all staff members, recruitment resources, and officials of affiliated entities.
The College District shall administer recruitment, hiring, promotions, training, lay off, termination, rate of pay, and other forms of compensation shall be administered without regard to race, color, religion, gender, national origin, disability, age, or any other basis prohibited by law.
It is the College District’s policy [see DIAA(LOCAL), DIAB(LOCAL), among others] to provide equal employment opportunities in full compliance with state and federal law. For more information, please see DAA(LEGAL).
Sexual harassment is a form of sex discrimination. The college shall investigate all allegations of such harassment and shall take appropriate disciplinary action against employees, officials, vendors, and contractors found to engage in such unlawful behavior.
Services for Pregnant and Parenting Students
In accordance with Subchapter Z, Chapter 51 of the Texas Education Code, the Blinn College District offers meaningful support to pregnant and parenting students. For more information, please visit lta6.photographywaltz.com/parenting-services .
Clery Act - Campus Security Authorities
A Campus Security Authority (CSA) is a Clery Act-specific term that encompasses the following groups of individuals and organizations associated with an institution whose functions involve relationships with students. Blinn has chosen to designate all employees as CSAs. CSAs are required to complete annual training offered through Safe Colleges in order to remain current on their responsibilities and reporting processes.
As a CSA, if you observe or someone tells you about a crime or an incident that may be a crime, and you have little or no reason to doubt the validity of the information, you must immediately Report the incident to the Blinn College Police Department.
Further information regarding your responsibilities as a CSA may be found at: http://lta6.photographywaltz.com/police-emergency-management/clery.html
Emergency Response
All members of the Blinn Community are required to notify the Blinn College Police Department, by dialing 9-1-1, of any situation or incident on campus that involves a significant emergency or danger that may pose an immediate or on-going threat to the health and safety of students and/or employees on campus. The Blinn College Police Department is responsible for responding to such situations to assess the potential threat and for summoning the necessary resources to mitigate, investigate, and/or document any situation that may pose a significant emergency or danger.
If the Blinn College Police Department determines that the situation does in fact pose a threat to the community, the Blinn College Police Department will immediately notify Blinn’s Department of Risk Management and Safety and the Department of Marketing and Communications. These departments will work with the Blinn Police Department to notify the campus community or the appropriate segments of the community that may be affected by the situation using various systems that have been implemented to provide emergency information quickly. One of the systems used includes the Blinn Alert System.
Blinn Alert System
The Blinn Alert System is an emergency mass notification tool used by Blinn College District to inform students and provide safety information in the event of an emergency. This system can alert students via e-mail, phone call, and/or text message. To be warned of any pending danger, students must update their cell phone, text messaging, and/or alternative email contact information by going to their MyBlinn portal and completing the instructions for setup. All residents are expected to activate their Blinn e-mail account and check it regularly as Blinn Alert messages will be sent to this account. When the College District initiates an emergency message, by default the student will be contacted by the method(s) selected. The call sequence will cease when the affirmative response message has been received. Enrollment in the program is free. Cell phone carriers may charge fees if students do not possess a plan that includes calls/messaging; consult carrier for details. The College District will not use this contact information except in an emergency with the potential to affect health and safety or for tests of the system
Missing Students
If a member of the Blinn community has reason to believe that a student who resides in on-campus housing is missing, they should immediately notify the Blinn College Police Department at 979-277-7373. The Blinn College Police Department will generate a missing person report and initiate an investigation.
Additional information about the Blinn Police Department, including safety tips, crime prevention information and information on the availability of the Blinn College Police Department crime log are available at http://lta6.photographywaltz.com/police-emergency-management/index.html.
Fire Safety
If a member of the Blinn Community finds evidence that a fire occurred and has been extinguished, and the person is not sure whether the Blinn College Police Department has already responded, the community member should immediately notify the Blinn College Police Department to investigate and document the incident. For example, if a housekeeper finds evidence of a fire in a trashcan in the hallway of a residence hall, they should not touch the trashcan and should report the incident to the Blinn College Police Department immediately and wait for an officer’s response. The officer will document the incident prior to removing the trash can from the area.
Blinn College is providing the following information to increase your awareness of fire and life safety related issues. These include the following:
Making a False Alarm or Report
Occasionally, false alarms/bomb threats are called into institutions of higher education. Under current law in Section 42.06(b) of the Penal Code, "a person commits an offense if he knowingly initiates, communicates or circulates a report of a present, past, or future bombing, fire, offense, or other emergency that he knows is false or baseless and that would ordinarily: cause action by an official or volunteer agency organized to deal with emergencies; place a person in fear of imminent serious bodily injury; or prevent or interrupt the occupation of a building, room or place to which the public has access.” An offense under this section is a Class A misdemeanor. Recently, HB 1284 makes this offense a state jail felony if the false bomb threat is made at a public or private institution of higher education. Additionally, HB 1284 requires these institutions to inform their students of the change in penalty.
A conviction of a Class A misdemeanor in Texas comes with a fine up to $4,000 and the possibility of a jail sentence of up to 1 year. A conviction of a state jail felony in Texas comes with a fine up to $10,000 and a jail sentence between 180 days to 2 years. In addition, a student offender may be subject to appropriate university administrative sanctions.
Fire Protection Equipment
Each year college and university students (on-campus and off-campus) experience hundreds of fire-related emergencies nationwide. Since the 2000 academic year, 86% of the campus-related fire fatalities have occurred in off-campus housing where approximately two-thirds of students live. Missing or disabled smoke alarms were the main cause in the loss of life in these instances.
Smoke detectors within on-campus or off-campus student living areas are required by either the State Fire Marshal, state law (HB 1168) or local ordinances. Additionally, a landlord must (if requested by a tenant as an accommodation for a person with a hearing-impairment disability or as required by law) install a smoke alarm that is capable of alerting a hearing-impaired person in the bedrooms it serves.
Fire Extinguishers/Smoke Alarms - Fire extinguishers are installed in each residence hall and apartment. Replacement of a missing fire extinguisher is $75. The cost of refilling the extinguisher is $50 plus damage and cleanup charges, if applicable. Smoke alarms are in each room. These safety devices must not be disarmed, removed, or maliciously discharged. The safety devices are checked regularly. Disabling or misuse of fire safety equipment is a serious violation. To rewire or replace a smoke alarm is $50 plus cost of equipment. There is no cost to replace batteries unless it becomes excessive. Tampering with smoke alarms including “bagging” or disabling the alarm will result in a $25 charge per occurrence and possible removal from housing. Charges may be distributed amongst the group of students involved in the damage if one party is not able to be named solely responsible. Please note that Blinn College District is not responsible for any damages or injuries that results from a safety devices malfunction
If a smoke detector in your house or apartment is not properly installed, you should submit a maintenance request using the following:
- Log into myBLINN account
- Click "Menu" in left corner
- Click "Student Services"
- Click "Housing"
- Click "Housing Application"
- Click "Menu"
- Click "More Task"
- Select "Work Orders"
Department |
Location |
Phone |
Housing |
902 College Ave. Brenham TX |
979-830-4161 |
Maintenance |
902 College Ave. Brenham TX |
979-830-4161 |
Drug and Alcohol Abuse Prevention Report
The Blinn College District has an ongoing duty to both students and employees to provide a safe learning and working environment. Key components within this environment include the elimination of alcohol and drug abuse. With the responsibility to create a setting where intellectual, physical and psychological well-being is fostered, Blinn College District strives to educate its students and employees in the areas of alcohol and drug abuse prevention.
More information about the District’s focused efforts to implement programs to promote a healthy environment for our learning community and the enforcement of regulations for prevention of alcohol and drug abuse can be found at:
http://lta6.photographywaltz.com/drug-alcohol-abuse-prevention/biennial-review.html.
Mental Health and Suicide Prevention
The counseling experience is designed to help facilitate growth and change in one’s life. Counseling services provides short-term therapy services to students. Counseling can help improve self-awareness, relationships, decision-making, or your overall well-being. The Mental Health Counseling Office provides confidential therapy by professional counselors to all currently enrolled students. The frequency of sessions or services will be made based on the student’s concern and the available resources of Blinn Counseling Services.
For emergency or crisis services, please call 911 or use the MHMR Crisis Helpline at 888-522-8262.
Resources for Suicide Prevention
Recognizing the warning signs that may indicate your student/friend is thinking about suicide is important because it increases the likelihood or early detection and intervention.
National Suicide Prevention Lifeline: 1-800-273-TALK (8255)
http://www.suicidepreventionlifeline.org/
Suicide Help Lines: 1-800-SUICIDE (1-800-784-2433)
Texas Suicide Prevention: 512-454-3706
http://www.texassuicideprevention.org
The Jed Foundation: 212-647-7544
http://www.jedfoundation.org/
The American Foundation for Preventing Suicide: 212-363-3500
http://www.afsp.org/
For more information about mental health counseling, please visit http://lta6.photographywaltz.com/counseling-services/index.html
HIV/AIDS Disclosure
The College District’s policy on HIV infection and AIDS can be found at:
http://pol.tasb.org/Policy/Download/1204?filename=FFAC(LEGAL).pdf
http://pol.tasb.org/Policy/Download/1204?filename=FFAC(LOCAL).pdf
Age Discrimination Disclosure
The Blinn College District prohibits discrimination, including harassment, against any employee or student on the basis of race, color, national origin, religion, age, disability, or any other basis prohibited by law. Retaliation against anyone involved in the complaint process is a violation of College District policy.
http://pol.tasb.org/Policy/Download/1204?filename=DIAB(LOCAL).pdf
http://pol.tasb.org/Policy/Download/1204?filename=FFDB(LOCAL).pdf
Americans With Disabilities Disclosures
The Americans with Disabilities Act (ADA) of 1990:
According to the ADA, an individual with a disability is defined as a person who: (1) has a physical or mental impairment that substantially limits one or more life activities; (2) has a record of such impairment; or (3) is regarded as having such impairment. Major life activities include but are not limited to walking, seeing, hearing, speaking, breathing, learning, working, caring for oneself, and performing manual tasks.
The ADA prohibits discrimination solely based on disability in employment, public services, and accommodations. The person in consideration must be otherwise qualified for the job, program, or service.
The ADA details administrative requirements, complaint procedures, and the consequences for non-compliance related to both services and employment. The ADA requires provision of reasonable, effective accommodations for eligible students across educational activities and settings.
Section 504 of the Rehabilitation Act of 1973:
Section 504 of The Rehabilitation Act of 1973 prohibits discrimination based on disability in programs, public and private, that receive federal financial assistance. Section 504 includes institutions regardless of whether they have open door, selective, or competitive admissions practices.
People with disabilities have the same legal remedies that are available under Title VII of the Civil Rights Act of 1964, as amended in 1991. Thus, individuals who are discriminated against may file a complaint with the relevant federal agency or sue in federal court. Enforcement agencies encourage informal mediation and voluntary compliance.
How these Laws Apply to Higher Education:
The Americans with Disabilities Act (ADA) of 1990 and Section 504 of the Rehabilitation Act of 1973 were designed to ensure that colleges and universities are free from discrimination in their recruitment, admission, and treatment of students.
In the application of both laws, students with disabilities must be qualified to participate in college activities. A qualified student with a disability is one who meets the admission and essential eligibility requirements of a program or service, with or without:
- modifications of rules, policies, or procedures
- removal of architectural, communication, or transportation barriers
- provision of auxiliary aids and services.
Individuals who pose a direct threat to their own health or safety or the health or safety of others will not be considered qualified.
The law requires higher education institutions to ensure that all programs, services, or facilities are accessible to or usable by persons with disabilities. The law does NOT require:
- making each facility accessible if alternatives are effective
- a fundamental alteration of programs or services
- undue financial or administrative burden.
The College District is under no obligation to change academic requirements which the College District, programs, or majors can demonstrate are essential to the program of instruction or to any direct licensing requirement.
The College District does not have to provide personal attendants, individually prescribed devices, readers for personal use or study, or other devices or services of a personal nature, such as tutoring or typing (United States Office of Civil Rights, July 2002).
The institution must provide auxiliary aids to ensure the participation of students in college classes and activities and must accommodate the academic participation of qualified students with disabilities.
The law does not require special treatment of students with disabilities but does require that students be given the opportunity for equal participation in the College District's programs. This is done by providing to eligible and qualified students appropriate academic adjustments necessary to facilitate the students' fullest possible participation in the College District's academic programs.
For more information about the Disability Services Office at Blinn College District, please visit their website.
http://lta6.photographywaltz.com/disability/index.html
Copyright Disclosures
Unauthorized use of Blinn College District computer and networking resources is prohibited. By signing in, you acknowledge your awareness of and concurrence with the College District's Information Resources Acceptable Use, Security and Copyright Infringement Regulation and Information Systems Regulations. Violations of local, state, and federal laws will be reported to appropriate authorities for investigation and prosecution. The College District is not responsible for services provided by third parties authorized to use the College District's authentication service.
http://catalog.photographywaltz.com
Transfer Credit Policy
The Blinn College District offers a broad range of educational opportunities for students whose goal is to transfer to a four-year institution. In addition to offering a strong foundation for the freshman and sophomore years, the associate degrees are coordinated with a number of four-year Texas institutions to ensure the transfer of credits. By consulting the four-year institution regularly and taking advantage of the resources offered at the college, you may ensure that the transfer process is a positive experience.
The Blinn College District guarantees to its Associate of Arts, Associate of Arts in Teaching, Associate of Science, and Associate of Applied Science students who have met the requirements for the degree, that course credits will transfer to other public-supported Texas colleges or universities provided the following conditions are met:
- Transferability means acceptance of credit toward a specific major and degree at a specific institution. These three (3) components must be identified by the student during the application for admission process prior to the first semester of enrollment at the College.
- Limitations on total number of credits accepted in transfer, grades required, relevant grade point average, and duration of transferability apply as states in the general undergraduate catalog of the receiving institution.
- Transferability refers to courses in a written transfer/degree plan filed in a student’s file in the Academic Advising Office at the College.
- Only college-level courses with Texas Higher Education Coordinating Board Community College Academic Course Guide Manual approved numbers are included in this guarantee.
If all the above conditions are met, and a course or courses are not accepted by a receiving institution in transfer, the student must notify the Vice Chancellor of Academic Affairs of the Blinn College District within ten (10) days of notice of transfer credit denial so the “Transfer Dispute Resolution” process can be initiated.
If course denial is not resolved, the College will allow the student to take tuition-free alternate courses, semester hour for semester hour, that are acceptable to the receiving institution within a one-year period from granting of a degree at the College. The graduate is responsible for payment of any fees, books, or other course-related expenses associated with the alternate course or courses.
Equity in Athletics
Blinn College is a member of the National Junior College Athletic Association (NJCAA) Division I, and is committed to providing the resources necessary for its male and female athletes to benefit from the intercollegiate experience.
To view a copy of Blinn College’s 2021 Equity of Athletics Disclosure Report, containing information on Blinn College’s commitment to providing equal opportunities for men’s and women’s intercollegiate athletics, please visit: http://lta6.photographywaltz.com/student-services/pdf/equity-in-athletics-report-fy-2021.pdf
Consumer Information Disclosure
Blinn College is committed to ensuring that everyone who enrolls in Blinn courses is aware of their student rights and responsibilities.
According to federal regulations, colleges and universities that administer Title IV funds must disclose certain information to prospective and enrolled students, parents, and employees. This includes student privacy rights, the disclosure of student records, public notice designating directory information, and the College’s affirmative action/equal opportunity statement.
To learn more about your rights as a Blinn College student, please visit the Student Consumer Information/Right to Know web page at http://lta6.photographywaltz.com/student-services/student-consumer-information.html.
Title IV Disclosures
Various notifications for Title IV Federal Financial Aid are sent out to students as required by regulations to their student email accounts and where required by regulations to their personal email account provided to Blinn College. Situations that cause notification are:
- The requirement to complete loan entrance counseling before their loans can be disbursed.
- The requirement to complete Direct Loan EXIT counseling when a student who has borrowed a student loan drops below half time in a semester, withdraws during a semester, does not return to Blinn College, or graduates.
Notification will be sent to students any time a disbursement of their student loan is made by Blinn College.