Student Registration & Financial Services

Data Privacy: Family Educational Rights and Privacy Act of 1974 (FERPA)

What is FERPA?

FERPA is a Federal law that is designed to protect the privacy of a student’s education record. The law applies to all educational agencies and institutions that receive funding under any program administered by the U.S. Department of Education and to private entities who perform services on behalf of those educational agencies and institutions.

This information is also sent in an annual notice to all enrolled students, as required by FERPA.

Student Rights under FERPA

  1. The right to inspect and review the student’s education record within 45 days of the day the University receives a written request for access.
  2. The 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.
  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.
  4. The right to file a complaint with the U.S. Department of Education concerning alleged failures by the University 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 S.W.
    Washington, DC 20202-4605

View additional requirements concerning education records in the Minnesota Government Data Practices Act.

FERPA Authorization of Disclosure without Consent

Generally, a student must provide written consent using the Data Release Consent Form before the University will release personally identifiable information (PII) from a student record. FERPA has made exceptions to this ruling that allows schools to disclose PII without consent in the following circumstances and/or to the following parties:

  • School officials who have a legitimate educational interest in the records in order to perform their duties
  • Another school in which the student seeks or intends to enroll
  • Accrediting organizations
  • To determine the eligibility, amount, and/or conditions of financial aid, and to determine and enforce the terms and conditions of the aid
  • Parents of dependent students if either parent has claimed the student as a dependent on their most recent year’s income tax statement
  • Parents or other appropriate parties in connection with a health or safety emergency
  • Parents of a student under the age of 21 if that student violates any Federal, State, or local law, or any rule or policy of the school governing the use or possession of controlled substances or alcohol
  • Certain government officials involved in audit or evaluation of Federal or State supported programs, or for the enforcement of or compliance with the legal requirements of those programs
  • Organizations conducting studies on behalf of the school for the purposes of improving instruction or administering predictive tests or student aid programs
  • To comply with a judicial order or lawfully issued subpoena
  • To provide an alleged victim of a crime of violence or non-forcible sexual offense with the final results of a disciplinary proceeding with respect to the alleged crime
  • To any third party the final results (which can only include the alleged perpetrator’s name, the violation committed, and any sanctions imposed) of a disciplinary proceeding related to a crime of violence or non-forcible sexual offense if the student who is the alleged perpetrator is found to have violated the school’s rules or policies
  • Anyone requesting Directory Information unless the student has opted to restrict this information. 


Dependent Student: a student who is a qualifying child or relative as defined in 26 U.S. Code § 152 of the Internal Revenue Code.

Directory Information: information contained in the education records of a student that would not generally be considered harmful or an invasion of privacy if disclosed. (See SCSU’s approved Directory Information List)

Education records: records that are directly related to a “student” and maintained by an “educational agency or institution” or by a party acting for the agency or institution. (The term “student” excludes individuals who have not been in attendance at the agency or institution.)

Financial Aid: payment of funds provided to an individual (or payment in kind of tangible or intangible property to the individual) that is conditioned on the individual's attendance at a school.

Legitimate Educational Interest: interests related to pursuits of higher education, conduct or discipline, the well-being of the student body, or the overall goals of the school which may include, but is not limited to teaching, research, advising, counseling, investigations, job placement, financial assistance, medical services, safety, student government, clubs, intramural sports, events, and public service.A school official only has a legitimate educational interest if the information is required to fulfill his/her professional responsibilities.

Personally Identifiable Information: data including a student’s name and other direct personal identifiers, such as the student’s SSN or student number or biometric identifiers such as fingerprints, DNA, handwriting, or facial characteristics. PII also includes indirect identifiers, such as the name of the student’s parent or other family members; the student’s or family’s address, and personal characteristics or other information that would make the student’s identity easily traceable.

School Officials: parties such as professors; instructors; administrators; health staff; counselors; attorneys; clerical staff; trustees; members of committees and disciplinary boards; and a contractor, volunteer or other party to whom the school has outsourced institutional services or functions.

St. Cloud State's Approved Directory Information List

St. Cloud State may release the following directory information without authorization unless a restriction has been placed.

  • Name
  • Major field of study
  • Class status (freshman, sophomore, etc.)
  • Participation in official recognized activities and sports
  • Weight and height of athletic team members
  • Dates of attendance
  • Degrees and dates awarded
  • Awards and scholarships received
  • Most recent previous educational institution
  • Hometown 

Restricting Disclosure

A student may choose to restrict their directory information from being disclosed by completing a Request to Restrict Information Disclosure form. There are a few things students should understand about this restriction:

  • Even if a restriction is placed, a student’s name can still be disclosed in on-site or online classes.
  • Even if a restriction is placed, SCSU will still use a student’s directory information as needed to perform university business such as processing a financial aid application or preparing a diploma.
  • There may be consequences or inconveniences related to restricting disclosure including, but not limited to, SCSU becoming unable to: notify a potential employer of awards or degrees earned; include a student’s name in the commencement program; or acknowledge participation in a sport or student organization to a scholarship approval/advisory committee.
  • A student’s restriction remains in effect until we receive a formal written request to remove the restriction. This holds true even if a student has graduated or ceases to be enrolled. There is a section at the bottom of the Request to Restrict Information Disclosure form provided for this purpose.

Approved Limited Directory List

St. Cloud State has a limited directory policy, as allowed by FERPA.

This means the University limits to whom, and the purposes for which, the following data are disclosed.

Limited Directory Information

  • Campus and non-campus email address
  • Local and permanent mailing address
  • Telephone numbers
  • StarID

St. Cloud State will not provide a student’s limited directory data to outside parties intending to use the information for strictly commercial marketing purposes, nor will we knowingly make the information readily available to potential identity predators.

This data will only be used internally as needed for university purposes and per the exceptions allowed by FERPA. For example, a student’s email address may be used in on-site or online classes.