
Acknowledgement and Compliance Statement (.pdf)
Office of the Chief Information Officer
The following Acknowledgement and Compliance Statement is provided to protect employees and students at The State University of New York at Stony Brook. Personnel, student, financial, medical and patient information contained within Stony Brook's information systems and external SUNY systems is considered confidential. This confidential information and any other information made confidential by law is limited to those individuals (employees, consultants, adjunct professors, third-party vendors, etc.) whose position requires use of this information.
By signing the statement below, you are acknowledging your acceptance and adherence to the confidentiality requirements imposed by federal and state law and Stony Brook policy. If you should ever be uncertain about what constitutes legitimate use or release of information, err on the side of confidentiality and refer the inquiry to the Office of Legal Counsel for Stony Brook University.
I, _____________________________________________, understand that by virtue of my work for The State University of New York at Stony Brook, that I may have access to data which is confidential and is not to be disclosed to any person or entity without appropriate authorization, subpoena, or court order. In order to access confidential information, I agree to adhere to the following guidelines:
The Family Rights and Privacy Act (FERPA) of 1974 (“Act”), as amended, seeks to guarantee both a student's right of access to records and the confidentiality of student information for anyone who has ever matriculated at an educational institution. Individuals who have been denied admission to the University are not covered by the act.
There is nothing in the act that is intended to restrict the use of student information by University officials in the normal exercise of their duties involving the educational interests of the student. With very limited exceptions, student information must not be transmitted by these officials to anyone outside the University without either the express written release by the student or pursuant to lawfully issued subpoena/order. Releases pursuant to subpoena or other legal mandate must be coordinated through the Office of University Counsel (2-6110).
Education records are defined as records directly related to the student and maintained by the University. This generally does not include records of the law enforcement unit, medical or similar professional records, and employment records (Note: student employment records are considered to be education records by FERPA). Further reference to campus policy may be found in the University's policy manual, section P 507R, Student Access to Academic Records.
Conditions for student access are:
Students must NOT be allowed access to:
The following is considered DIRECTORY INFORMATION and is available to the public upon request in accordance with New York's Freedom of Information Law UNLESS the student has formally requested that this information be held private/confidential.
Student's name, addresses (including email), telephone numbers, date and place of birth, major field of study, class, participation in officially recognized activities and sports, weight and height of members of athletic teams, likenesses used in University publications, dates of attendance, degrees and awards received and previous institutions attended.
This designated directory information is subject to release by the University at any time unless the University, Office of the Registrar, received prior written objection from the student. Currently enrolled students may withhold disclosure of directory information by filing a request from with the Registrar's Office.
The University is authorized to provide access to student records to campus officials and employees who have legitimate educational interest in such access, without the student's written consent. These persons are those who have responsibilities in connection with campus academic, administrative or service functions and who have reason for using student records connected with their campus or other related academic/administrative responsibilities as opposed to a personal or private interest. Such determination will be made on a case-by-case basis.
University officials will release educational information upon receipt of a signed, dated, written consent of the student which must specify the records that may be disclosed and identify the party to whom the disclosure may be made.
Parents of a dependent student, as defined by the Internal Revenue Code of 1954, Section 152 and who supply supporting documentation, may be granted access to a student's educational record under some circumstances.
Other circumstances that allow access to a student's educational record:
Non-University individuals (including parents except as described above) may not have access to educational records other than Directory Information unless authorization from the student is obtained or a lawful subpoena/court order is issued to the University.
Examples of data items not released: grades; grade point average; the specific number of hours enrolled, passed, or failed; Social Security Number; name of parents or next of kin; and/or residency status.
The above are interpretative guidelines only. For clarification and further detail or any specific questions you may have, please write to either: The Office of University Counsel, West Campus, or the University Registrar.
Violators of this policy will be subject to the cancellation of contract and civil action. Illegal acts involving Stony Brook computing and networking resources may also subject users to prosecution by state and federal authorities.
Certain consequences are possible if an individual is found in non-compliance with these rules and regulations as defined by FERPA:
I have read this acknowledgement and do hereby demonstrate my understanding and agreement to abide by these guidelines by affixing my signature and the date below.
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(Signature)
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(Date)