The
use of social media in the United States is a current norm among most people,
including school-age children, parents, and educators. Social media is used for
educational purposes: “35% of schools have student and/or instructor-run
blogs”, “46% of schools have students participate in online pen pal or other
international programs”, “49% of National School Boards Association (NSBA)
schools participate in online collaboration with other schools”, “59% of
schools say their students use social networking for educational purposes”, and
“27% of schools have an online community for teachers and administrators”
(Gupta, 2016). Due to the high frequency of social media use, schools must be
aware of the legal discourse that impacts the use of school related social media.
The
use of social media in the educational setting is a fairly new concept,
therefore there is not much legal discourse surrounding the topic. As issues
arise in the years to come, there may be more laws created to protect students
and schools. Currently, New York State has a short statement on their website
stating that NYS agencies may have social media sites, and the information on
those sites is not considered “formal public comment” (New York State, 2014). The New York State Department of Education has
also published information regarding the use of social media and suggests that
organizations must understand the risks of using social media (New York State
Department of Education, 2010). Schools
must make sure that their use of social media aligns with policy established by
New York State and federal cyber agencies (New York State Department of
Education, 2010). There are several models of social media use that schools can
choose from, however; it is suggested that schools take a controlled approach
(New York State Department of Education, 2010).
It
is essential that school boards create written procedures and guidelines in the
district handbook that includes appropriate use of the social media and should “specify
who’s responsible for posting content to social media sites”, “emphasize that
all staff, regardless of whether they contribute to official content, should be
professional, civil, and in compliance with privacy and other applicable laws”,
and “mandate that staff indicate when they are speaking in an official capacity
and when they are offering a personal opinion” (New York State Department of
Education, 2010). Schools should develop and publish statements of appropriate
use of the social media platforms that align with the appropriate use
guidelines of the specific site, and may include specific requirements such as prohibitions
against any inappropriate comments (New York State Department of Education,
2010). Schools must also retain all records of social media usage and must set
up a retrieval system to document this data (New York State Department of
Education, 2010).
Freedom
of expression impacts the use of school sponsored social media, and states that
students are entitled to their First Amendment rights to freedom of speech as
determined in the Tinker case,
however; “school officials may restrict freedom of expression where there is
evidence of material and substantial disruption, indecent or offensive speech,
violation of school rules, destruction of school property, or disregard for
authority” (Essex, 2016, p. 54-57). These restrictions should be included in
the district’s social media policy. Teachers must be aware that when posting on
social media sites on the school’s behalf, they are representing the government
and must adhere to the law. Teachers who post using personal accounts must be
aware that the court views teachers as role models and that information posted
can be grounds for discipline and termination if it demonstrates that they are
ill-fit to teach, even though teachers have the First Amendment right to
freedom of speech (Essex, 2016, p. 209).
Schools
must follow the Family Educational Rights and Privacy Act (FERPA) when posting
information on social media, which entitles parents and students to
confidentiality and fundamental fairness in regards to student records; those
records cannot be released without parental consent (Essex, 2016, p. 188). Records
may include and educational files or documents, information that pertains
specifically to a student under the age of 18, and any materials that are
maintained by an educational organization or someone acting on their behalf (Essex,
2016, p. 189). FERPA protects students’ personal information unless parents
“give prior consent to such access” (School Law, 2014, p. 126). New York State
Law also bans the unapproved disbursement of personally identifiable
information regarding students (School Law, 2014, p. 126).
Districts
may release “directory information” without consent such as student names and
addresses, telephone numbers and email addresses, student photographs, date and
place of birth, grade levels, dates of attendance, participation in sports or other
school-official activities, and enrollment status; however, schools must
publicly state these categories to parents and provide them reasonable time to object
to the release of the information (School Law, 2014, p. 134). Many school
districts have Internet release forms that include the use of school related
social media that must be signed by parents. School districts must also be
aware that communicating personal and sensitive information could be grounds
for legal ramifications under slander and/or libel, and could also be
considered defamation depending on the circumstances of the situation (Essex,
2016, p. 197).
A
case study in a large Louisiana school district demonstrated that the use of
social media sites increased parent and community involvement due to the wider
outreach, therefore proved to be the most effective form of communication
compared to phone calls, letters, and emails (Lavergne, 2017). Lavergne, Instructional
Technology and Social Media Facilitator for the Livingston Parish Public Schools
in Louisiana, suggests that schools must determine the purpose for their social
media account, the frequency of use, and the method of monitoring the account
in order to establish the appropriate legal protection required (2017).
School
districts must be aware of the demographics of their surrounding community in
conjunction with the use of social media. One way for districts to better
understand the use of social media in their area is through data-collection surveys.
Collecting this information can help schools decide how to integrate social
media appropriately. Social media usage in schools can impact districts
regardless of socio-economic class and racial demographics. This issue impacts
districts across the United States, and it is essential that schools are aware
of the legal ramifications associated with the use of social media in order to properly
reap the benefits of modern communication.
References
Essex, N. L. (2016). School
Law and The Public Schools: A practical guide for educational leaders (6th
ed.). Upper Saddle River, NJ: Pearson.
Gupta,
P. (2016, September 24). Some Interesting Statistics & Facts on Social
Media in Education You Must Know. Retrieved October 8, 2018, from http://edtechreview.in/data-statistics/2523-social-media-in-education-statistics
Lavergne,
N. (2017). Improve School District-Community Relationships with Social Media. Delta
Kappa Gamma Bulletin, 84(2), 13–15. Retrieved from
http://search.ebscohost.com.sbu.idm.oclc.org/login.aspx?direct=true&db=a9h&AN=131118226&site=ehost-live
New
York State. (2014, November 13). Social Media Policy. Retrieved October 9,
2018, from https://www.ny.gov/social-media-policy
New
York State Department of Education. (2010, May 24). Records Advisory:
Preliminary Guidance on Social Media. Retrieved October 9, 2018, from http://www.archives.nysed.gov/records/mr_social_media.shtml
Pew
Research Center. (2018, February 05). Demographics of Social Media Users and
Adoption in the United States. Retrieved October 8, 2018, from http://www.pewinternet.org/fact-sheet/social-media/
School Law (36th ed.). (2014). Latham, NY: New
York State School Boards Association.
U.S. Department of State. (n.d.). The Freedom of
Information Act. Retrieved October 9, 2018, from
https://foia.state.gov/Learn/FOIA.apx

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