NMU's Compliance Database - Northern Michigan University
Clery Act--Annual Security Report to Secretary of Education
Reviewed By | Internal Auditor Owner |
Regulation Reference Cite | 20 U.S.C. § 1092(f): 34 C.F.R. § 668.41; 34 C.F.R. § 668.46 |
Report Due Date (Actual) | 10/15/2019 Annual |
Level | Compliance Report |
Oversight Unit | PUBLIC SAFETY AND POLICE SVS |
Person Responsible | Michael Bath |
Secondary Person Responsible | |
President / VP Level | President |
Description |
Colleges must report campus crime statistics and security measures to all students and employees by October 1st of each year. The annual security report must also be submitted to the Secretary of Education each year, by October 15th. Must report compliance with the Campus SaVE Act in Annual Security Reports beginning October 1, 2014 As an institution receiving federal financial aid, the University must keep information about crime on and near its respective campuses and provide an annual report (including crime statistics, security measures and policies, and where crimes should be reported) to all students, employees, and the Department of Education. Effective March 7, 2014: Institutions must comply with the following additional requirements under the amendments to the Clery Act: collect and publish in the Annual Security Report (ASR) statistics on incidents of domestic violence, dating violence and stalking that are reported to campus security authorities or local police agencies; expand the definition of reportable hate crimes to include Clery crimes motivated by bias against a victims national origin or gender identity; revise policies and procedures to include the establishment of educational prevention and awareness programs that address issues of domestic violence, dating violence, sexual assault and stalking for all incoming students and new employees; and develop step-by-step procedures for the reporting, investigation and adjudication of reports of domestic violence, dating violence, sexual assault, or stalking, including information on confidentiality and privacy. |
Contacts and Data Sources |
Mike Bath |
Internal Notes |
This compliance item has notes that are available internally to the oversight unit. Please contact the Risk Management Department for more information |