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IDEA
Hits The Road: First Impressions of the
Individuals With Disabilities Education Act
Editor's
note: Utilizing a Question and Answer format, Dr. Linda Bluth of
the Maryland Dept. of Education begins a two-part series to clarity
the effect to pupil transportation of the newly issued final regulations
of the Individuals with Disabilities Education Act of 1997. In part
one she discusses related service, discipline, behavior, alternative
educational settings, and expulsion from the school bus. In part
two she will address other aspects of the law including requirements
for transportation personnel to attend Individualized Education
Program (IEP) meetings and be familiar with IEP content and the
need for more personnel training for supervisor, drivers, and monitors.
By Linda F.
Bluth, Ed.D.
On March 12,
1999, the final regulations for implementing the IDEA 97 were published
in the Federal Register. The purpose of these regulations is to
provide guidance in meeting the requirements set forth in the Statute.
Not surprisingly, the Statute is long and complex and the regulations
are intricate. In this article, I'll give a brief synopsis of the
Statute and present several transportation aspects of the regulations
in a question and answer format. One thing is for sure, case law
and further guidance from the Department of Education will be necessary
to resolve some differences of interpretation. With that said, let's
take a look at IDEA 97.
QUESTION:
How is the related service transportation defined in the final regulations,
and is there a significant difference in the definition from previous
regulations?
ANSWER: In the final regulations, transportation is defined as:
Travel to and from school and between schools; travel in and around
school buildings; and specialized equipment (such as special or
adapted buses, lifts, and ramps), if required to provide special
transportation for a child with a disability (§300.24 (15)"). There
is no significant difference in this definition from previous IDEA
regulations. However, it does not mean there are no additional responsibilities.
The inclusion of Attention Deficit Disorder/Attention Deficit Hyperactivity
Disorder (ADD/ADHD) under the Other Health Impaired category may
require additional transportation services, such as curbside pick-up
and monitoring on the school bus.
QUESTION:
Does participating in extracurricular and other nonacademic activities
with non-disabled peers include transportation?
ANSWER: Yes. It is reasonable to include transportation among the
extracurricular and nonacademic activities if deemed appropriate
by their Individualized Education Program (IEP) team. Transportation
has been recognized as an opportunity in which students with disabilities
can participate with their non-disabled peers. There is extensive
case law supporting that it is not acceptable to segregate students
with disabilities solely based upon their disability condition or
category. In addition, IDEA regulations require that there be a "statement" of the related services and supplementary aids and services
including program modifications or supports that will be provided
for a child to be served in the least restrictive environment (LRE).
Therefore, it is reasonable to expect before a group of children
are placed on a bus solely for students with disabilities that the
necessary program modifications permitting this student to ride
with his or her peers are addressed.
QUESTION:
Do the IDEA regulations address discipline?
ANSWER: Yes. Discipline is addressed in a more comprehensive manner
than previously. The following information is a summary of key points
that transportation decision-makers need to be aware of:
- If a student's behavior has a negative impact on their ability
to benefit from special education and related services, the IEP
team is required to conduct a behavioral assessment and develop
a behavioral plan.
- If a student is suspended for more than 10 school days in a
school year, the IEP team is responsible for reviewing the student's
behavioral plan and revising it as appropriate.
- School personnel can remove a student with a disability for
up to 10 school days in a school year (if that is the rule for
non-disabled students) for any violation of school rules as long
as there is not a pattern of removals.
- If a student's behavior problems are ongoing and directly related
to the students disability, he/she cannot be permanently suspended
or expelled for a behavior which is described as a manifestation
(result) of the student's disability.
- If a student brings a dangerous weapon or drugs to school or
a school function, school personnel may place a student in an
interim alternative educational setting (IAES) for up to 45 days.
- If a student with a disability demonstrates behavior that is
a serious threat to others, school district officials may seek
to obtain a court order to remove the student. However, the school
district is still required to provide a free appropriate public
education (FAPE).
- It is reasonable
to conclude any of the above situations apply to the school bus
in the same manner as they do to the school building.
It is important
to note neither the statute nor the final regulations impose absolute
limits on the number of days a child can be removed from his or
her current placement in a school year. Limits do exist in the regulations
with respect to what constitutes a change in placement. A change
in placement is anything beyond 10 school days unless both the parents
and school district mutually agree otherwise. However, parents must
be fully informed of their due process rights regarding a change
in placement. Not providing transportation services under any of
the above circumstances can be considered a change in placement
if a student cannot access his or her special education and related
services.
QUESTION:
If a student's behavior is an continuing problem on the school bus
can he/she be suspended or expelled permanently from the bus if
transportation is not on the IEP?
ANSWER: No. A student cannot be permanently suspended or expelled
from school bus transportation. However, if the student is unable
to ride the school bus in an acceptable manner, an IEP meeting should
be held for the purpose of discussing what interventions may be
required for the student to ride on the bus. The student with a
disability who does not have transportation noted on their IEP must
still be afforded the opportunity to access their special education
and related services. All of the appropriate team members (parents,
transportation personnel, psychologists, etc.) should be invited
to attend the IEP meeting.
QUESTION:
If a student is placed in an interim alternative educational setting
(IAES) for inappropriate behavior for up to 45 days must the district
provide transportation to the IAES?
ANSWER: This is one area that may directly impose the requirement
for additional transportation services, including transporting at
times services were not previously required. Re-routing, travel
distance and riding time may all contribute to additional expenditures
for a transportation department to implement a student's IAES. Therefore
it is important that IAES program locations be carefully planned
for in a joint effort between special education officials and transportation
administrators.
QUESTION:
Can a student with a disability be permanently removed from the
bus if it is determined that behavior such as fighting and cursing
is a manifestation of his or her disability?
ANSWER: No. As noted above, a student cannot be permanently removed
from the bus if it is determined that the behavior is a manifestation
of his or her disability. Even when the behavior is not a manifestation
of the student's disability, the student is still entitled to receive
special education and related services. This is another reason why
it is essential that transportation personnel receive ongoing training
and support from school personnel with expertise in behavior management
to manage to assist with the requirement to transport difficult
students.
Dr. Linda
F. Bluth is the branch chief of Community Interagency Services with
the Maryland Department of Education's Division of Special Education.
She is a nationally recognized expert in special needs transportation.
She can be reached at Lbluth@aol.com.
Source:
Reprinted from School Transportation News, May 1999. All rights
reserved.
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