80_FR_34315 80 FR 34201 - Final Priorities, Requirements, Definitions, and Selection Criteria; Charter Schools Program Grants to State Educational Agencies

80 FR 34201 - Final Priorities, Requirements, Definitions, and Selection Criteria; Charter Schools Program Grants to State Educational Agencies

DEPARTMENT OF EDUCATION

Federal Register Volume 80, Issue 114 (June 15, 2015)

Page Range34201-34227
FR Document2015-14391

The Assistant Deputy Secretary for Innovation and Improvement announces priorities, requirements, definitions, and selection criteria under the Charter Schools Program (CSP) Grants to State Educational Agencies (SEAs). The Assistant Deputy Secretary may use one or more of these priorities, requirements, definitions, and selection criteria for competitions in fiscal year (FY) 2015 and later years.

Federal Register, Volume 80 Issue 114 (Monday, June 15, 2015)
[Federal Register Volume 80, Number 114 (Monday, June 15, 2015)]
[Rules and Regulations]
[Pages 34201-34227]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-14391]



[[Page 34201]]

Vol. 80

Monday,

No. 114

June 15, 2015

Part II





Department of Education





-----------------------------------------------------------------------





34 CFR Subtitle A





Final Priorities, Requirements, Definitions, and Selection Criteria; 
Charter Schools Program Grants to State Educational Agencies; 
Applications for New Awards; Final Rule and Notice

Federal Register / Vol. 80 , No. 114 / Monday, June 15, 2015 / Rules 
and Regulations

[[Page 34202]]


-----------------------------------------------------------------------

DEPARTMENT OF EDUCATION

34 CFR Subtitle A

[Docket ID ED-2014-OII-0019]


Final Priorities, Requirements, Definitions, and Selection 
Criteria; Charter Schools Program Grants to State Educational Agencies

Catalog of Federal Domestic Assistance (CFDA) Number: 84.282A

AGENCY: Office of Innovation and Improvement, Department of Education.

ACTION: Final priorities, requirements, definitions, and selection 
criteria.

-----------------------------------------------------------------------

SUMMARY: The Assistant Deputy Secretary for Innovation and Improvement 
announces priorities, requirements, definitions, and selection criteria 
under the Charter Schools Program (CSP) Grants to State Educational 
Agencies (SEAs). The Assistant Deputy Secretary may use one or more of 
these priorities, requirements, definitions, and selection criteria for 
competitions in fiscal year (FY) 2015 and later years.

DATES: These priorities, requirements, definitions and selection 
criteria are effective July 15, 2015.

FOR FURTHER INFORMATION CONTACT: Kathryn Meeley, U.S. Department of 
Education, 400 Maryland Avenue SW., Room 4W257, Washington, DC 20202-
5970. Telephone: (202) 453-6818 or by email: [email protected].
    If you use a telecommunications device for the deaf (TDD) or a text 
telephone (TTY), call the Federal Relay Service (FRS), toll free, at 1-
800-877-8339.

SUPPLEMENTARY INFORMATION:

Executive Summary

    Purpose of This Regulatory Action: The Assistant Deputy Secretary 
for Innovation and Improvement announces the final priorities, 
requirements, definitions, and selection criteria for CSP Grants to 
SEAs. The Assistant Deputy Secretary may use one or more of these 
priorities, requirements, definitions, and selection criteria for 
competitions in FY 2015 and later years. We take this action in order 
to support the development of high-quality charter schools throughout 
the Nation by strengthening several components of the CSP Grants to 
SEAs program, including accountability for grantees, accountability and 
oversight for authorized public chartering agencies in a State, and 
support for educationally disadvantaged students.
    Summary of the Major Provisions of This Regulatory Action: This 
regulatory action announces four priorities, four requirements, four 
definitions, and nine selection criteria that may be used for CSP 
Grants to SEAs competitions in FY 2015 and later years. This regulatory 
action's purpose is to achieve three main goals.
    The first goal is to ensure that CSP funds are directed toward the 
creation of high-quality charter schools. For example, we are creating 
a selection criterion to ask applicants to explain how charter schools 
fit into the State's broader education reform strategy. In addition, 
the selection criteria request information from the SEA regarding how 
it will manage and report on project performance.
    The second goal is to strengthen public accountability and 
oversight for authorized public chartering agencies (also referred to 
as authorizers). The priorities, requirements, definitions, and 
selection criteria collectively provide incentives for SEAs to 
implement CSP requirements, as well as State law and policies, in a 
manner that encourages authorized public chartering agencies to focus 
on school quality through rigorous and transparent charter approval 
processes. For example, Priority 1--Periodic Review and Evaluation and 
Priority 2--Charter School Oversight give priority to SEAs that take 
steps to improve public accountability and oversight for charter 
schools within the State, including by holding authorized public 
chartering agencies accountable for the quality of the charter schools 
in their portfolios.
    The third goal is to support and improve academic outcomes for 
educationally disadvantaged students. Our commitment to equitable 
outcomes for all students, continued growth of high-quality charter 
schools, and addressing ongoing concerns about educationally 
disadvantaged students' access to and performance in charter schools, 
compel the Department to encourage a continued focus on students at the 
greatest risk of academic failure. A critical component of serving all 
students, including educationally disadvantaged students, is 
consideration of student body diversity, including racial, ethnic, and 
socioeconomic diversity. For example, the selection criteria encourage 
applicants to meaningfully incorporate student body diversity into 
charter school models and practices and ask applicants to describe 
specific actions they would take to support educationally disadvantaged 
students through charter schools.
    In addition to the three goals outlined above, we believe this 
notice of final priorities, requirements, definitions, and selection 
criteria (NFP or notice) streamlines the CSP application process. For 
example, selection criterion (f) Dissemination of Information and Best 
Practices combines two statutory criteria that have been used 
separately in previous competitions, asking applicants to describe 
their plans to disseminate best or promising practices of charter 
schools to each local educational agency (LEA) in the State and to 
describe their dissemination subgrant awards processes, thereby 
decreasing the burden on applicants. Additional discussion regarding 
the final priorities, requirements, definitions, and selection criteria 
can be found in the Public Comment section of this document.
    Costs and Benefits: The Department believes that the benefits of 
this regulatory action outweigh any associated costs, which we believe 
will be minimal. This action will not impose cost-bearing requirements 
on participating SEAs apart from those related to preparing an 
application for a CSP grant and would strengthen accountability for the 
use of Federal funds by helping to ensure that the Department awards 
CSP grants to SEAs that are most capable of expanding the number of 
high-quality charter schools available to our Nation's students. Please 
refer to the Regulatory Impact Analysis in this NFP for a more detailed 
discussion of costs and benefits.
    Purposes of Program: The purpose of the CSP is to increase national 
understanding of the charter school model by:
    (1) Providing financial assistance for the planning, program 
design, and initial implementation of charter schools;
    (2) Evaluating the effects of charter schools, including the 
effects on students, student achievement, student growth, staff, and 
parents;
    (3) Expanding the number of high-quality charter schools available 
to students across the Nation; and
    (4) Encouraging the States to provide support to charter schools 
for facilities financing in an amount more nearly commensurate to the 
amount the States have typically provided for traditional public 
schools.
    The purpose of the CSP Grants to SEAs is to enable SEAs to provide 
financial assistance, through subgrants to eligible applicants, for the 
planning, program design, and initial implementation of charter schools 
and for the dissemination of information about successful charter 
schools, including practices that existing charter schools have 
demonstrated are successful.

[[Page 34203]]

    Program Authority: The CSP is authorized under Title V, Part B, 
Subpart 1 of the Elementary and Secondary Education Act of 1965, as 
amended (ESEA) (20 U.S.C. 7221-7221j); and the Consolidated and Further 
Continuing Appropriations Act, 2015 (FY 2015 Appropriations Act), 
Public Law 113-235.
    We published a notice of proposed priorities, requirements, 
definitions, and selection criteria for this program in the Federal 
Register on November 19, 2014 (NPP) (79 FR 68812). That NPP contained 
background information and our reasons for proposing the particular 
priorities, requirements, definitions, and selection criteria.
    The Analysis of Comments and Changes section in this NFP describes 
the differences between the priorities, requirements, and definitions 
we proposed in the NPP and these final priorities, requirements, 
definitions, and selection criteria.
    Public Comment: In response to our invitation in the NPP, 26 
parties submitted comments on the proposed priorities, requirements, 
definitions, and selection criteria.
    We group major issues according to subject. Generally, we do not 
address technical and other minor changes. In addition, we do not 
address comments that raise concerns not directly related to the 
priorities, requirements, definitions, or selection criteria.
    Analysis of Comments and Changes: An analysis of the comments and 
of any changes in the priorities, requirements, definitions, and 
selection criteria since publication of the NPP follows.

Priorities

Priority 1--Periodic Review and Evaluation

    Comment: We received several general comments regarding Priority 1. 
One commenter expressed support for the priority. Another commenter 
recommended that we revise the language of Priority 1 to reflect 
language in the FY 2015 Appropriations Act that requires each SEA to 
provide an assurance that authorizers in the State use increases in 
student academic achievement as one of the most important factors, as 
opposed to the most important factor, when determining whether to renew 
or revoke a school's charter. Another commenter suggested that we 
designate this priority as a minimum requirement for applicants rather 
than a priority that the Department may or may not utilize in any 
particular competition year. Finally, several commenters suggested that 
there is overlap between Priority 1 and the other three priorities.
    Discussion: We agree that the priorities, requirements, definitions 
and selection criteria should be consistent with the FY 2015 
Appropriations Act, which was enacted after publication of the NPP in 
the Federal Register. Accordingly, we have modified Priority 2--Charter 
School Oversight and selection criterion (g) Oversight of Authorized 
Public Chartering Agencies to reflect the language in the FY 2015 
Appropriations Act. We decline, however, to make any additional changes 
to Priority 1.
    Regarding the comment that Priority 1 should be a minimum 
requirement, we agree with the commenter that it is important for 
authorizers to conduct periodic reviews to evaluate how well their 
charter schools are performing. This priority is derived largely from a 
priority in the CSP authorizing statute (20 U.S.C. 7221a(e)(2)), and we 
believe that it is appropriate to retain it as a priority in this NFP.
    Finally, we note that each priority can be used independently in 
any given competition. We believe that the overlapping elements across 
some of the priorities emphasize critical factors and provide the 
Department with flexibility to use or not use a particular priority in 
any given year.
    Changes: None.
    Comment: One commenter expressed concern that Priority 1 diminishes 
the ability of an authorized public chartering agency (authorizer) to 
tailor charter contracts and performance standards in accordance with 
the needs of the charter school and its students. The commenter also 
suggested that charter schools would act responsibly without this 
priority. Similarly, one commenter stated that Priority 1 removes local 
control of a charter school. Finally, one commenter asserted that the 
priority implies that an authorizer will conduct a review only once 
every five years at the time of charter renewal, and suggested that 
this will weaken authorizer oversight.
    Discussion: This priority is based on section 5202(e)(2) of the 
ESEA (20 U.S.C. 7221a(e)(2)), which requires the Department to give 
priority to SEAs in States that provide for periodic review and 
evaluation of a charter school by its authorizer at least once every 
five years. In addition, we disagree that the priority will diminish an 
authorizer's ability to tailor charter contracts or performance 
standards to a specific charter school. Rather, with this priority, we 
can reward States that provide for periodic review and evaluation of 
each charter school by the authorizer, at a minimum, once every five 
years. Furthermore, while the review provides an opportunity for the 
authorizer to take appropriate action or impose meaningful consequences 
on the school for failing to meet certain performance standards, it 
does not prevent the authorizer from determining a more tailored 
approach under specific circumstances.
    Finally, we note that the priority is designed to strengthen 
authorizer oversight. In specific instances, certain State laws allow 
charters to be awarded for a term of up to 15 years before being 
evaluated for renewal. In such circumstances, this priority is designed 
to promote more frequent reviews and evaluations. An SEA in a State 
that requires authorizers to conduct reviews and evaluations more 
frequently than every five years will not be penalized.
    Changes: None.
    Comment: Several commenters stated that the language of Priority 1 
is unclear and some recommended that we delete the priority. One 
commenter inquired whether Priority 1 is designed to address a specific 
policy concern, stating that they were unaware of any scenario in which 
a State would have a charter school policy in place that is 
inconsistent with existing State law. Another commenter objected to the 
reference to the authorizer taking appropriate action, and also 
recommended that we remove the reference to the student academic 
achievement requirements and goals set forth in a State policy 
exceeding such requirements in State law. Finally, one commenter 
recommended that Priority 1 be revised to ensure that the periodic 
reviews actually take place.
    Discussion: Priority 1 is designed to clarify that performance 
standards for charter schools (including those related to student 
academic achievement) should be established in accordance with a State 
law, a State regulation, or a State policy to ensure the rigor of these 
performance standards across the State. Therefore, we decline to delete 
this priority.
    In addition, we decline to remove from Priority 1 the statement 
that periodic review and evaluation provides an opportunity for 
authorizers to take appropriate action or impose meaningful 
consequences on the charter school, if necessary. Often, the State 
charter school law, regulations, or policies that stipulate performance 
standards applicable to charter schools do not specify actions 
associated with meeting or failing to meet those performance standards. 
Given the underlying premise of charter schools--greater autonomy in 
exchange for accountability--we believe this language is critical to 
ensure that the

[[Page 34204]]

periodic review and evaluation result in deliberate, meaningful action 
if a charter school is failing to meet the standards of its charter or 
State charter law, regulation, or policy.
    Changes: We agree that additional language in Priority 1 is 
necessary to ensure that periodic reviews actually take place. For this 
reason, we have revised Priority 1 to add that, in order to meet the 
priority, SEAs must take steps to ensure that periodic reviews take 
place. We believe this revision is consistent with the intent of the 
relevant priority in the authorizing statute.
    Comment: None.
    Discussion: The Department determined through internal review that 
the last sentence of Priority 1 should be clarified to emphasize that 
the authorizer must have an opportunity to take appropriate action in 
order for an SEA to meet this priority.
    Changes: We have revised the last sentence of Priority 1 to clarify 
that periodic review and evaluation must include an opportunity for the 
authorized public chartering agency to take appropriate action or 
impose meaningful consequences on the charter school, if necessary.

Priority 2--Charter School Oversight

    Comment: We received several general comments regarding Priority 
2--Charter School Oversight. One commenter expressed support for the 
priority. One commenter recommended that we designate this priority an 
absolute priority. Another commenter recommended that we revise the 
priority to include language added to the FY 2015 Appropriations Act. 
Specifically, the commenter recommended that paragraph (b) be 
eliminated, and that paragraph (a)(1) refer only to legally binding 
performance contracts rather than to legally binding charters or 
performance contracts. Finally, one commenter expressed concern about 
requiring the use of increases in student academic achievement by 
subgroup as the most important factor in determining whether to renew 
or revoke a charter. The commenter recommended that the Department 
remove this requirement and substitute language that would allow 
greater authorizer discretion in making these renewal or revocation 
decisions.
    Discussion: This NFP establishes the priorities that we may choose 
to use in the CSP Grants for SEAs competitions in FY 2015 and later 
years. We do not designate whether a priority will be absolute, 
competitive preference, or invitational in this NFP; we retain the 
flexibility to determine how best to designate the priorities to ensure 
that funded projects address the most pressing areas of need for 
competitions in FY 2015 and later years. When inviting applications for 
a competition using one or more of these priorities, we will designate 
the type of each priority through a notice published in the Federal 
Register.
    We agree that Priority 2 should reflect the language in the FY 2015 
Appropriations Act, which was enacted after publication of the NPP in 
the Federal Register, and have made the appropriate change to Priority 
2. Likewise, in accordance with the FY 2015 Appropriations Act, we 
believe paragraph (b) needs to remain part of Priority 2 and have opted 
to retain the reference to a legally binding charter or performance 
contract in paragraph (a)(1) of Priority 2.
    Changes: In conformance with the FY 2015 Appropriations Act, we 
have revised paragraph (b) of Priority 2 to state that student 
achievement is one of the most important factors, as opposed to the 
most important factor, when determining whether to renew or revoke a 
school's charter.
    Comment: One commenter recommended that Priority 2 require annual 
financial audits and that the information from such audits describe 
public and private contributions. The commenter also suggested that 
this information be made public and that the Department strengthen the 
priority by requiring that charter schools include F-33 survey data 
(i.e., LEA finance survey data on revenues and expenditures) collected 
by the Department's National Center for Education Statistics (NCES).
    Discussion: We agree with the commenter that fiscal responsibility 
and public reporting are critical aspects of charter school oversight. 
Accordingly, the NFP includes a priority and a selection criterion 
regarding authorizer monitoring of operational performance 
expectations, including financial management, and annual public 
reporting of charter school performance (see Priority 3--High-Quality 
Authorizing and Monitoring Processes and selection criterion (g) 
Oversight of Authorized Public Chartering Agencies). We note, also, 
that in order for an SEA to meet Priority 2, all charter schools in the 
State must be required to file with their authorizers, on an annual 
basis, independent audits of their financial statements. We believe 
these elements address the commenter's concerns and, therefore, decline 
to revise Priority 2.
    We decline to require that SEAs submit F-33 data for charter 
schools in order to meet this priority. The F-33 survey is a data 
collection and data census effort supported by NCES, whereas Priority 2 
is concerned primarily with charter school oversight by authorized 
public chartering agencies. We do not believe that requiring SEAs to 
complete a census report in order to meet this priority would 
strengthen or otherwise improve charter school oversight.
    Changes: None.
    Comment: One commenter suggested that the Department require SEAs 
to provide an assurance that charter schools will comply with the 
McKinney-Vento Homeless Assistance Act (McKinney-Vento) (42 U.S.C. 
11301, et seq.) and that charter schools ensure their compliance by 
designating a McKinney-Vento Homeless liaison within the LEA in order 
to meet Priority 2.
    Discussion: In order to qualify for funds under the CSP, a charter 
school must provide all students in the community, including 
educationally disadvantaged students, such as those served under 
McKinney-Vento, with an equal opportunity to attend the charter school. 
Charter schools that are considered to be independent LEAs under the 
applicable State's charter school law must comply with McKinney-Vento 
on the same basis as other LEAs. For these reasons, we decline to 
revise Priority 2 as suggested by the commenter.
    Changes: None.
    Comment: One commenter expressed concern that paragraph (a)(3) of 
Priority 2 would require State law to mandate that every charter school 
demonstrate academic improvement and recommended that the Department 
make this an assurance rather than a priority. The commenter stated 
that it is unlikely that every charter school in a State would 
demonstrate such improvement and that some charter schools may have 
such a high level of achievement that further improvement is not 
possible.
    Discussion: An SEA is not required to demonstrate improved student 
academic achievement in order to meet the priority. First, if 
designated a competitive preference or invitational priority, Priority 
2 would not impose requirements on applicants. While applicants would 
be required to meet an absolute priority, under Priority 2, an SEA 
would have to show only that State law, regulation, or policy requires 
each charter school in the State to demonstrate improved student 
academic achievement.
    Changes: None.

[[Page 34205]]

Priority 3--High-Quality Authorizing and Monitoring Processes

    Comment: We received several general comments regarding Priority 
3--High-Quality Authorizing and Monitoring Processes. One commenter 
expressed support for the priority. Another commenter recommended that 
Priority 3 be mandatory for all applicants. Another commenter 
recommended designating Priority 3 as an invitational priority because 
the priority necessitates oversight and monitoring that could be 
contrary to the practices States have already established. In addition, 
a commenter stated that Priority 3 could favor States with a single 
authorizer and not work to strengthen authorizer diversity.
    Discussion: This priority is designed to provide an incentive to 
States to adopt high-quality authorizing and monitoring processes. As 
discussed above, this NFP is designed only to establish the priorities 
that we may choose to use in the CSP Grants for SEAs competitions in FY 
2015 and later years. Accordingly, we decline to designate this 
priority as absolute, competitive preference, or invitational in this 
NFP. While Priority 3 is intended to strengthen authorizer quality, it 
is not designed to address authorizer diversity. We believe that States 
with a single authorizer, as well as States with multiple authorizers, 
can meet this priority by focusing on overall authorizer quality.
    Changes: None.
    Comment: One commenter suggested we revise Priority 3 to include 
performance benchmarks that would trigger prompt inquiry by an SEA of 
an authorizer that is persistently poor-performing. The commenter also 
suggested revisions that would provide for ongoing public dissemination 
of authorizers' performance information, thus increasing accountability 
for authorizers.
    Another commenter expressed concerns about the disruptive nature of 
charter school closures and suggested that the Department place a 
greater emphasis on high standards for authorizer performance, 
including consequences for persistently poor-performing authorizers. 
The commenter stated that the Department should focus more on the 
charter application phase to ensure that the authorizer's review of 
charter applications is sufficiently rigorous in order to minimize the 
number of charter closures.
    Discussion: We agree that the public should be informed about 
authorizer performance, and that mechanisms should exist to facilitate 
the termination of chartering authority for persistently poor-
performing authorizers. This priority is designed to encourage States 
to ensure quality practices for charter school authorizing and to take 
appropriate action to strengthen charter school authorizing across the 
State, as necessary. It also is designed to accommodate a wide range of 
State contexts, including where the SEA itself is an authorizer, and 
where an SEA may or may not have the authority to revoke the authorizer 
role from an organization. We believe that Priority 3 is sufficiently 
rigorous and fully addresses Congressional intent while still meeting 
the needs of SEAs in varying contexts.
    Changes: None.
    Comment: One commenter suggested that we revise paragraph (a)(2) of 
Priority 3 to state that performance objectives may, rather than must, 
be school-specific. Additionally, the commenter recommended that the 
Department clarify whether the reference to standardized systems that 
measure and benchmark performance of the authorizer in paragraph (b) of 
Priority 3 applies to authorizers or SEAs. Another commenter 
recommended changing standardized systems to standardized reporting in 
this paragraph.
    Discussion: We believe that performance objectives that are 
developed for each charter school and tie to rigorous academic and 
operational performance expectations are critical to the evaluation of 
school performance. While some performance objectives may be used by 
the authorizer for more than one school, a school's performance 
objectives serve as the basis for measuring performance at that 
specific school, and we believe that some of these objectives must be 
school specific in order to evaluate school performance effectively. 
However, to clarify the purpose of this priority, we have revised 
paragraph (a)(2) of Priority 3 to state that performance objectives for 
each charter school must be aligned to the rigorous academic and 
operational performance expectations established by the authorizer.
    We note that paragraph (b) of Priority 3 gives priority to SEAs 
that demonstrate that all authorizers use standardized systems to 
measure and benchmark their performance, and was not intended to imply 
that an entity other than the authorizer would develop or implement 
these systems. We also agree that the term ``standardized systems'' 
could be misunderstood and understand the recommendation that we change 
this reference to ``standardized reporting.'' However, because our 
intent is to require a State to develop clear and specific standards, 
we have revised this section to clarify that, in order for the SEA to 
meet the priority, each authorizer in the State should be measuring and 
benchmarking performance and disseminating the results annually, but 
the SEA does not need to develop a standardized system across all 
authorizers.
    Changes: We have revised paragraph (a)(2) of Priority 3--High-
Quality Authorizing and Monitoring Processes to refer to the 
performance objectives for each school instead of school-specific 
performance objectives to clarify that the objectives must be aligned 
to the rigorous academic and operational performance expectations 
established by the authorizer. We also have revised paragraph (b) of 
Priority 3 to specify that authorizers must use clear and specific 
standards and formalized processes that measure and benchmark 
authorizer performance, instead of standardized systems, to clarify our 
intent.
    Comment: One commenter recommended that we revise paragraph (a)(2) 
of Priority 3 to allow charter schools to create school-specific 
performance objectives that meet some or all of the outlined 
expectations rather than all expectations.
    Discussion: We believe that it is important for schools to 
establish performance objectives that are aligned with all academic and 
operational expectations and that high-quality charter schools should 
meet all performance objectives. While a charter school that fails to 
meet all of its performance objectives should not automatically have 
its charter revoked, we believe that authorizers should evaluate a 
charter school's performance based on performance objectives that are 
aligned with the academic and operational performance expectations that 
have been established for the charter school. Periodic review and 
evaluation allows an authorizer to assess a charter school's 
performance with respect to defined expectations and ensures that 
charter schools are held accountable for academic and organizational 
performance objectives. We also note that a charter school or 
authorizer can establish performance expectations and objectives that 
are more rigorous or cover more areas than specified under State law.
    Changes: None.
    Comment: One commenter suggested revising paragraph (d) of Priority 
3 to remove the reference to differentiated review based on whether the 
developer has been successful in establishing and operating one or more 
high-quality charter schools. The commenter also suggested removing the 
reference to

[[Page 34206]]

high-quality when referring to charter schools. Another commenter 
stated that, with respect to the concept of differentiated review, 
although applicants' past performance is occasionally a partial 
indicator of an organization's ability to expand successfully, the 
expansion process may raise new and unforeseen challenges that the 
authorizer should consider. Finally, one commenter recommended deleting 
paragraph (d) altogether.
    Discussion: We believe that an applicant could meet Priority 3 if 
authorizers in its State conduct a differentiated review for charter 
school developers who operate charter schools that do not currently 
meet the definition of high-quality charter schools. We agree that 
differentiated review is not exclusive to high-quality charter schools 
and have revised the priority accordingly.
    For purposes of this program, we agree that authorizers should be 
able to exercise discretion in approving charters through a 
differentiated process based on the past performance of charter school 
developers.
    By promoting differentiated review, we intend to encourage 
authorizers to acknowledge that there are additional factors to 
consider when reviewing a charter petition from an existing charter 
school developer versus a charter petition from a charter school 
developer who is not currently operating charter schools. For these 
reasons, we decline to delete the paragraph.
    Changes: We have revised paragraph (d) of Priority 3 to clarify 
that an SEA can meet the priority by demonstrating that authorizers in 
the State use authorizing processes that include differentiated review 
of charter petitions to assess whether and the extent to which, the 
charter school developer has been successful, as opposed to basing the 
differentiated review on those considerations.
    Comment: One commenter stated that Priority 3 is generally 
problematic and should be deleted because it promotes undefined 
authorizer practices that do not work well in actual school settings, 
relies on performance data that are neither clear nor objective, and 
expects authorizers to weigh and interpret data to make closure 
decisions. The commenter also stated that standardized systems of 
measurement governing complex decisions regarding renewal or closure 
serve to embolden weak authorizers and interfere with charter school 
autonomy.
    Discussion: We recognize that the authorizing process may not be 
governed by absolutes in all instances. We also recognize that there 
may be certain qualitative data or additional circumstances that 
authorizers consider when determining whether to approve a charter 
petition or to revoke an existing school's charter, and agree that 
authorizers should use the full range of information available. We 
disagree, however, that the factors of Priority 3 are unfounded or 
unlikely to promote the growth and development of a high-quality 
charter school sector.
    Priority 3 encourages authorizers to define quantifiable and clear 
objectives and expectations, both for themselves and charter schools. 
Furthermore, we believe that this priority encourages SEAs and States 
to invest in and develop an infrastructure that fosters the development 
of high-quality charter schools and chartering practices. As a 
secondary benefit, this priority brings together many entities involved 
in the chartering process, which creates a network for effective 
development and dissemination of information. For example, this may 
provide an opportunity for authorizers to share best practices and 
learn from each other within a State.
    Changes: None.
    Comment: One commenter recommended adding language to Priority 3 to 
state that the reporting referenced in paragraph (a)(5) must provide 
information necessary for the State to benchmark performance. The 
commenter also recommended revising paragraph (b) to require SEAs to 
disseminate information on authorizer performance. Additionally, the 
commenter recommended revising paragraph (c) to remove the factor for 
multi-tiered clearance or review and instead focus on an evaluation of 
an applicant's readiness to open and operate. Finally, the commenter 
recommended that the Department delete from paragraph (d) the reference 
to high-quality charter schools, regarding authorizing processes that 
include differentiated review.
    Discussion: With regard to adding language to require the State to 
benchmark performance in paragraph (a)(5), the paragraph already 
requests the use of frameworks and processes to evaluate performance of 
charter schools on a regular basis and, therefore, already includes the 
commenter's suggestion. In response to the recommendation to revise 
paragraph (b) of Priority 3, the intent of the priority is not to ask 
authorizers to disseminate information on performance in general. 
Paragraph (b) already calls for annual dissemination of performance 
information related to standards and formalized processes that measure 
and benchmark the performance of the authorizer. We believe paragraph 
(b), with our previously described revisions, is clear in that respect 
and decline to revise it further.
    We decline to revise paragraph (c) of this priority. Multi-tiered 
clearance or review will often involve making a determination about 
whether a charter school is prepared to open and operate successfully. 
However, there may be scenarios where the multi-tiered clearance or 
review is more involved or examines other elements, and we want to give 
authorizers latitude to consider those elements. For this reason, we 
believe it would be counter-productive to limit the focus of the 
paragraph to the evaluation of readiness to open and operate.
    Finally, we decline to delete the reference to high-quality in 
paragraph (d) because a major purpose of the CSP Grants for SEAs 
program is to foster the development of high-quality charter schools.
    Changes: We have revised paragraph (b), as described above, to 
refer to clear and specific standards and formalized processes, instead 
of standardized systems.
    Comment: One commenter suggested several revisions to paragraphs 
(a) and (b) of Priority 3. First, the commenter suggested adding 
language regarding the use of student achievement as a factor in 
renewal and revocation decisions. Additionally, the commenter suggested 
that we revise paragraph (b) to provide additional authority for 
intervention for poor-performing authorizers and to emphasize that SEAs 
should be paying close attention to authorizer performance.
    Discussion: We believe that the final priorities, requirements, 
definitions, and selection criteria will provide sufficient incentives 
for SEAs to monitor authorizers and to take appropriate action against 
poor-performing authorizers. As a general rule, authorized public 
chartering agencies are created pursuant to State charter school law 
and, as such, are governed by State law. Therefore, the Department 
defers to States with respect to the oversight of authorizers.
    Changes: None.

Priority 4--SEAs That Have Never Received a CSP Grant

    Comment: We received general comments regarding Priority 4. One 
commenter expressed support for the priority. Another commenter 
recommended that we make Priority 4 invitational.
    Discussion: This NFP establishes the priorities that we may choose 
to use in the CSP Grants for SEAs competitions in

[[Page 34207]]

FY 2015 and later years. We do not designate whether a priority will be 
absolute, competitive preference, or invitational in this NFP; but 
rather, retain the flexibility to designate each priority as 
invitational, competitive preference, or absolute in order to ensure 
that program funds are used to address the most pressing programmatic 
concerns for competitions in FY 2015 and later years. When inviting 
applications for a competition using one or more of these priorities, 
we will designate the type of each priority through the notice inviting 
applications for new awards (NIA).
    Changes: None.
    Comment: Several commenters suggested that Priority 4 penalizes 
States that have established robust charter sectors. One commenter 
stated that the priority is overly broad and would provide an advantage 
to States with new charter school laws that have been unsuccessful in 
previous competitions. Similarly, several commenters stated that the 
Department should be more concerned with directing CSP funds to ensure 
charter school quality and oversight rather than to States that have 
been ineligible to apply for a grant or a State with weak charter 
school laws. One commenter suggested that the priority would favor less 
qualified applications above higher quality applications. Similarly, 
another commenter suggested that the priority would penalize States 
that support innovation or have otherwise demonstrated successful and 
high-quality authorizing practices. Finally, one commenter recommended 
that we remove the priority altogether.
    Discussion: Priority 4 is designed to provide the Department with 
the option to provide incentives to SEAs that have never received a CSP 
grant and might be at a competitive disadvantage due to a limited 
charter school infrastructure or limited record of past performance. 
Additionally, the priority reflects our belief that CSP funds can have 
a greater impact when they help seed a charter sector as a part of a 
State's initial effort to create high-quality public schools.
    We believe that in any year in which we run a competition, the 
combination of priorities, requirements, and selection criteria in the 
NIA will ensure that high-quality applications will have an opportunity 
to receive funding. We disagree that Priority 4 will penalize States 
that support innovation or have demonstrated success in the charter 
school sector. Other priorities, requirements, definitions, and 
selection criteria will provide an opportunity for States to describe 
their proposed activities, regardless of whether they have received a 
CSP grant in the past.
    Changes: None.
    Comment: One commenter stated that Priority 4 provides a 
disincentive to States that have invested in the growth of charter 
schools. The commenter recommended that the Department establish a 
bifurcated process to separate States that have not previously received 
a grant from States that have. Similarly, another commenter recommended 
that the Department limit the priority to States that have been 
ineligible rather than unsuccessful in previous grant competitions.
    Discussion: We disagree that the priority should focus on SEAs that 
were ineligible rather than unsuccessful. As written, this priority 
will already apply to a very limited pool of applicants. Only a small 
number of States with charter school laws have not received a CSP grant 
at any point in the past. We do not believe that it is necessary to 
separate unsuccessful applicants from ineligible applicants; we believe 
that our application review process ensures that only the highest 
quality proposals will be recommended for funding. In addition, the 
priority promotes the purposes of the CSP with respect to innovation 
and geographic diversity.
    Changes: None.
    Comment: One commenter stated that Priority 4 excludes States with 
critical needs to support educationally disadvantaged students; the 
commenter noted that some States have a greater need for funds than 
comparable States that have not previously received an SEA grant. The 
commenter stated that only four SEAs are eligible for points under this 
priority, and that those States would be unlikely to benefit from SEA 
funding. The commenter asserted that charter management organizations 
(CMOs) are reluctant to operate in States that have not received SEA 
grants because the States are isolated, funding is inadequate, or 
talent is limited. A few commenters suggested that SEA funds are better 
expended in States that welcome charter growth and produce conditions 
favorable to charter expansion and that Priority 4 unfairly penalizes 
States that have invested in robust charter sectors and supported 
innovation in the field.
    Several commenters expressed a general concern that the Department 
should not give priority to States that have been unsuccessful in 
receiving a CSP grant over States that have received CSP funding in the 
past. One commenter suggested that Priority 4 would unfairly 
disadvantage States with significant rural school populations, while 
another commenter recommended that we expand the priority to include 
States that submitted applications but were denied funding under the FY 
2011 CSP Grants for SEAs competition. Another commenter recommended 
revising the background statement to state that this priority would 
encourage rather than assist States that have not yet received a CSP 
grant.
    Discussion: We disagree that this priority will exclude States with 
substantial populations of educationally disadvantaged students or that 
States with smaller populations (or more rural communities) will not 
benefit from SEA funding. We do not believe that a developer--including 
a CMO--will be discouraged from operating in a State merely because the 
State has not received a CSP grant previously.
    We also disagree that Priority 4 penalizes States that have 
invested in their charter sectors or that it provides a disincentive 
for SEAs to support innovation in the charter school sector. States in 
both situations will be eligible to respond to this priority if they 
have never received a CSP grant. We do not believe Priority 4 will 
unfairly disadvantage SEAs in States with significant rural 
populations, as the priority does not distinguish between urban and 
rural applicants. Finally, we do not believe that it is appropriate to 
prioritize unsuccessful applicants from the FY 2011 CSP Grants for SEAs 
competition but not give priority to unsuccessful applicants from 
competitions held in other fiscal years. Further, all SEAs that applied 
for funding under the FY 2011 CSP Grants for SEAs competition have 
received CSP grants in the past; therefore, giving priority to those 
States would be contrary to the purpose of Priority 4.
    Changes: None.

Requirements

Lottery and Enrollment Preferences

    Comment: One commenter expressed the view that data on enrollment 
patterns will be essential for understanding the extent to which an 
existing charter school complies with the CSP Nonregulatory Guidance on 
weighted lottery procedures. The commenter asserted that States with 
clusters of specialized charter schools should be required to provide 
assurances that procedures exist to ensure that these charter schools 
do not limit students' access to more inclusive education settings. 
Finally, another commenter stated that the Department should prohibit 
charter schools from having an enrollment preference or exemption that 
would exclude any group of students.

[[Page 34208]]

    Discussion: We agree that equal access for all students is 
important in the context of charter school development and the 
provision of public education generally. The CSP Nonregulatory Guidance 
(www2.ed.gov/programs/charter/nonregulatory-guidance.html) is intended 
to provide information and guidance to CSP grantees on the Department's 
interpretation of various CSP statutory and regulatory requirements. 
The Guidance specifies the circumstances under which a charter school 
receiving CSP funds may use a weighted lottery to give slightly greater 
chances of admission to educationally disadvantaged students. As public 
schools, charter schools must employ open admissions practices and 
comply with applicable Federal civil rights laws, including laws 
prohibiting discrimination on the basis of race, ethnicity, or 
disability, and requirements of Part B of IDEA. For these reasons, we 
do not believe that an additional assurance is necessary.
    Changes: None.
    Comment: One commenter stated that the collective body of Federal 
law related to student enrollment practices was never intended to 
create agency guidance on the matter of weighted lottery processes. 
Rather, the commenter asserted that the original drafters of the 
statutes only intended to distinguish charter schools from magnet or 
other specialized public schools. The commenter suggested a more modest 
role for the Department in the charter school lottery process, focusing 
on relevant statutory language, reducing prescriptive guidance, and 
permitting greater deference to State law, provided that it does not 
conflict with applicable Federal statutes.
    Discussion: We agree that States should have great flexibility in 
administering their charter school subgrant programs, including their 
lottery processes. The purpose of the CSP Nonregulatory Guidance is to 
provide clarity to grantees regarding how Federal requirements apply to 
their projects and to ensure that grantees are aware of permissible 
enrollment practices for charter schools receiving CSP funds.
    Changes: None.
    Comment: Several commenters suggested that an entity other than an 
SEA may be responsible for monitoring charter school lotteries and 
admissions processes. These commenters recommended adding other 
responsible public entities to the current list of entities (SEAs and 
authorized public chartering entities) responsible for reviewing, 
monitoring, or approving lotteries with enrollment preferences to 
account for this difference.
    Discussion: We acknowledge that the SEA may not be the only entity 
responsible for approving and monitoring a charter school's lottery and 
admissions process. Because the SEA is the grant recipient under this 
program and provides subgrants to charter schools and charter school 
developers, for purposes of the CSP, the SEA is primarily responsible 
for ensuring that subgrantees comply with CSP requirements, including 
the definition of a charter school and the lottery requirement in 
section 5210(1) of the ESEA (20 U.S.C. 7221i(1)).
    Changes: None.

Logic Model

    Comment: Several commenters stated that a logic model is either 
unnecessary, unduly burdensome to applicants, or not required for 
monitoring compliance. Other commenters recommended that the Department 
provide additional guidance on the form and composition of the logic 
model requirement (e.g., on granularity, format, components, etc.). One 
commenter argued that the requirement to include a logic model would 
not lead to the creation of high-quality charter schools. Finally, 
another commenter recommended deleting the requirement on the ground 
that a State with a small charter sector or a new charter school law 
might be ill-positioned to articulate a statewide theory of action with 
regard to the use of CSP funds.
    Discussion: We believe that the logic model is an important element 
that will enable us to review and evaluate the theory of action that 
supports each application. All applicants should be able to articulate 
clearly their plan for using Federal funds.
    The logic model represents one of many sources of information to 
allow us to assess grantee progress. In addition, we believe that 
developing a logic model will help SEAs clearly articulate their 
proposed outcomes and methods for achieving them. The logic model will 
also assist peer reviewers in evaluating the merits and key elements of 
each applicant's project plan. Because of its importance to the 
process, we believe that a logic model is not unduly burdensome as part 
of a well-developed application.
    Department regulations define a logic model in 34 CFR 77.1, and we 
will refer all applicants to that definition in any NIA in which we 
utilize this requirement. We may provide supplemental information in an 
NIA or through other means that we believe will benefit applicants 
during a grant competition.
    Changes: None.

High-Quality Charter School

    Comment: One commenter supported allowing a State to develop its 
own definition of high-quality charter school. The commenter suggested 
allowing a State to meet this requirement with an assurance rather than 
requiring the Department to approve the State's definition. The 
commenter explained that the requirement that a State-proposed 
definition be at least as rigorous as the Federal definition is 
unclear, as is the role the Department would play in determining if one 
State's definition is more rigorous than another.
    Discussion: We do not intend to compare one applicant's State 
definition of high-quality charter school to another. Consistent with 
the application requirement, a State's alternative definition will be 
reviewed to determine if it is at least as rigorous as the standard in 
paragraph (a) of the definition based on the reasoning and evidence 
provided by the applicant. We also note that peer reviewers' evaluation 
of a State's alternative definition of high-quality charter schools 
will be reflected in their scoring of the relevant selection criteria 
referencing high-quality charter schools.
    Changes: None.

Definitions

Academically Poor-Performing Charter School

    Comment: One commenter expressed support for the definition. 
Another commenter recommended revising paragraph (b) of the definition 
to clarify that an alternative definition could be used if the SEA 
demonstrates that the alternative definition is at least as rigorous as 
the description in paragraph (a) of the definition of academically 
poor-performing charter school.
    Discussion: We agree that the definition of academically poor-
performing charter school should be clarified to specify the standard 
that an SEA's proposed definition of the term must meet. We believe 
this comment also is applicable to the definition of high-quality 
charter school.
    Changes: We have revised paragraphs (b) of the requirements for 
academically poor-performing charter school and high-quality charter 
school to clarify that an SEA's definition of each term must be at 
least as rigorous as paragraph (a) of the definitions of academically 
poor-performing charter school and high-quality charter school, as set 
forth in this NFP.
    Comment: One commenter suggested that the definition of 
academically poor-

[[Page 34209]]

performing charter school is too rigid, and stated that typical 
students enter charter schools no fewer than two years behind grade 
level in instruction. The commenter asserted that effective charter 
schools will provide opportunities for increased academic growth in 
order to ensure that students meet grade level upon exiting the school. 
The commenter expressed concern that this definition does not present 
the above-described growth trajectory as a significant component of 
assessing student performance when considering whether a charter school 
is academically poor-performing. Finally, one commenter questioned how 
a State-proposed definition would be reviewed, particularly in a 
scenario where an absolute standard, rather than a growth standard, is 
used.
    Discussion: We disagree with the commenter that the definition of 
academically poor-performing charter school does not account for 
student academic growth. In order to meet this definition, a charter 
school would have to both be in the lowest performing five percent of 
all public schools in a State and have failed to demonstrate student 
academic growth of at least one grade level for each cohort of 
students. Therefore, a charter school that is successfully 
demonstrating growth, even if the students remain below grade level, 
would not be considered academically poor-performing.
    We do not intend to compare one applicant's State definition of 
academically poor-performing charter school to another. Consistent with 
the application requirement, a State's alternative definition will be 
reviewed to determine if it is at least as rigorous as the Department's 
definition of the term as specified in paragraph (a) based on the 
reasoning and evidence provided by the applicant.
    Changes: None.
    Comment: One commenter suggested that the Department alternatively 
define an academically poor-performing charter school as one that fails 
to meet the student performance goals established in the school's 
charter or related performance agreements.
    Discussion: We agree that it is important for a charter school to 
adhere to the performance objectives outlined in its charter or 
performance contract. Because these objectives can vary by school, 
however, we do not believe that such an alternative definition would 
facilitate meaningful comparison of academic performance across all 
charter schools in a State. In addition, this definition could 
potentially allow a charter school to underperform without penalty if 
its charter or performance contract includes performance objectives 
that are less rigorous than other State requirements.
    Changes: None.

Educationally Disadvantaged Students

    Comment: One commenter expressed concern that our definition for 
this term includes all subgroups specified in the ESEA except racial 
and ethnic groups and, thus, allows the Department to avoid considering 
achievement gaps among different races and ethnicities.
    Discussion: We disagree that this definition impacts any reporting 
requirements related to achievement gaps, or removes race and ethnicity 
from consideration of achievement gaps. We note that the definition of 
high-quality charter school, which explicitly addresses achievement 
gaps, requires demonstrated success in closing historic achievement 
gaps for the subgroups of students referenced in Section 1111 of the 
ESEA, which includes the reporting of information disaggregated by 
race, ethnicity, and other factors (20 U.S.C. 6311). We believe this 
priority provides incentives for SEAs to support the development of 
charter schools that are expanding educational opportunities for the 
most educationally disadvantaged students.
    Changes: None.
    Comment: One commenter stated that the term homeless youth is 
defined by a number of Federal and State agencies and recommended that 
the Department revise the definition of educationally disadvantaged 
students to include homeless students as defined by subtitle B of title 
VII of McKinney-Vento (42 U.S.C. 11434a). Several commenters 
recommended adding additional categories of students, including foster 
children, to the definition of educationally disadvantaged students.
    Discussion: The definition of educationally disadvantaged students 
in this NFP includes the categories of students eligible for services 
in targeted assistance schools under title I, part A of the ESEA (20 
U.S.C. 6315(b)). We believe that this is an appropriate group of 
students to define as educationally disadvantaged students insofar as 
the services provided in a targeted assistance school are intended to 
be provided to the school's eligible children identified as having the 
greatest need for special assistance. For this reason, we do not 
believe it is necessary to include other groups of students in the 
definition.
    For purposes of this definition, we consider students who meet the 
definition of homeless children and youths under section 725(2) of 
McKinney-Vento (42 U.S.C. 11434a(2)) to be homeless students and thus 
among the groups of students covered. We do not believe it is necessary 
to revise the definition to this end.
    Changes: None.

High-Quality Charter School

    Comment: One commenter stated that the Department should not 
designate a charter school that has been open for fewer than three 
years as a high-quality charter school.
    Discussion: We disagree that a charter school that has been open 
for fewer than three years cannot qualify as a high-quality charter 
school. If, for example, a charter school is only open for one year, it 
must still show evidence of academic growth for all students for that 
period. We believe that a school can demonstrate successfully the 
elements of the definition with fewer than three years of data. If the 
elements of the definition are met, then the school can be considered a 
high-quality charter school.
    Changes: None.
    Comment: Several commenters recommended that the Department adopt 
the definition of high-quality charter school in legislation proposed 
(but not enacted) by the 114th Congress. Specifically, the commenters 
recommended we adopt the definition described in S. 2304 and H.R. 10. 
Expanding Opportunity through Quality Charter Schools Act. S.2304, 
114th Cong. (2014).
    Discussion: The definition of high-quality charter school from S. 
2304 and H.R. 10 requires strong academic results, which may include 
academic growth as determined by a state, highlights strong financial 
and organizational management, and asks that the school demonstrate 
success in significantly increasing student academic achievement, 
including graduation rates where applicable. This definition does not 
specify a time period over which results must be demonstrated. The 
definition announced in this NFP is consistent with the definition of 
high-quality charter school used in other Department programs, and we 
believe it is the appropriate definition for this program.
    Changes: None.
    Comment: One commenter recommended that the Department permit 
applicants to satisfy three of the five elements of the definition, 
rather than all five. In the alternative, the commenter proposed that 
we revise paragraph (a)(1) to refer to high or increased student 
academic achievement rather than simply increased student academic 
achievement. The commenter stated that

[[Page 34210]]

an already high-achieving charter school could be penalized without the 
change.
    Discussion: We believe that each of the five elements represents an 
outcome or characteristic that is important and necessary to identify 
high-quality charter schools. If, for example, a charter school 
demonstrates an increase in student achievement and success in closing 
historic achievement gaps but has significant compliance issues, we do 
not believe that school should be considered a high-quality charter 
school. Removing one or more of these factors from consideration would 
substantially erode the definition.
    We also decline to revise paragraph (a)(1) of the definition to 
require high or increased student academic achievement. We do not 
believe that the definition, as written, will penalize an existing 
high-achieving charter school. A charter school with students who 
demonstrate high rates of proficiency on State assessments, for 
example, can still demonstrate increases in academic achievement in 
other ways, such as increasing school-wide proficiency rates or 
increasing the number of students at the advanced level. We believe 
that it is important to encourage increases in student academic 
achievement and attainment even in a school with comparatively high-
performing students. We also note that this definition addresses 
student mastery of grade-level standards.
    Changes: None.
    Comment: One commenter stated that paragraph (a)(1) should not 
distinguish between educationally disadvantaged students and all other 
students. The commenter suggested a technical revision to the language 
or, as an alternative, removing the reference to educationally 
disadvantaged students as it adds complexity to an already complex 
definition.
    Discussion: The CSP statute emphasizes the importance of assisting 
educationally disadvantaged students, as well as other students, in 
meeting State academic content standards and State student academic 
achievement standards. Therefore, we believe that it is important that 
a charter school specifically identify and increase academic 
achievement for educationally disadvantaged and other students in order 
to be considered a high-quality charter school. Consequently, we 
decline to remove this element of the definition.
    Changes: None.
    Comment: One commenter asserted that paragraph (a)(2)(ii) of the 
definition of high-quality charter school is ambiguous as written. The 
commenter stated that the paragraph implies that we would require a 
school to compare performance independently between each racial and 
ethnic, income, disability, and English proficiency category, thus 
requiring approximately 28 comparisons. The commenter recommended that 
instead of requiring that a school demonstrate no significant 
achievement gap between any of the identified subgroups, we should 
require no gap between subgroups or, if applicable, appropriate 
comparison populations. Additionally, the commenter recommended 
referring to Section 1111(b)(2)(C)(v)(II) of the ESEA, rather than 
1111(h)(1)(C)(i) because the former statutory reference is most 
commonly used for performance accountability purposes.
    Discussion: We believe that, if an applicant chooses to respond to 
paragraph (2) of this definition, they have decided to demonstrate that 
there are no significant achievement gaps between any of the subgroups 
of students described in section 1111(b)(2)(C)(v)(II) of the ESEA (20 
U.S.C. 6311(b)(2)(C)(v)(II)); therefore, they would have the data to 
support this claim with applicable subgroup information. An applicant 
that responds to paragraph (a)(2)(i) of this definition has decided to 
demonstrate that it is successfully closing the achievement gap and is 
able to provide the relevant supporting data. This definition has been 
used in previous CSP competitions with that understanding. However, we 
agree that section 1111(b)(2)(C)(v)(II) is the more appropriate 
reference, consistent with other CSP grants, and have revised the 
definition accordingly.
    Changes: We have revised paragraphs (a)(2)(i) and (ii) of the high-
quality charter school definition to reference section 
1111(b)(2)(C)(v)(II) of the ESEA.
    Comment: One commenter asserted that a school should not be 
required to take into account the performance of a particular subgroup 
listed under (a)(2)(i) or (a)(2)(ii) if the number of students in that 
subgroup is so small that the data are statistically unreliable. The 
commenter stated that this is the operating procedure for Title I 
grants.
    Discussion: We agree that the data for the various subgroups should 
not be compared in cases where the data sample is so small it is 
statistically unreliable or would infringe upon the privacy of a 
student. When using the definition of high-quality charter school, or 
providing other data for CSP programs, we intend for applicants to use 
only data that are available and reportable and provide any necessary 
explanations to clarify the use of such data.
    Changes: None.
    Comment: One commenter suggested that the Department define a high-
quality charter school as a school that meets or exceeds goals stated 
in the school's approved charter or performance contract, rather than 
focus on State tests, attendance rates, graduation rates, or 
postsecondary attendance at the expense of other assessment tools 
(e.g., preparation for careers).
    Discussion: We agree that other methods exist to evaluate the 
quality of a charter school. This is captured throughout the 
priorities, requirements, definitions, and criteria in this NFP, 
particularly in sections focused on authorizer quality. However, 
because the performance goals in a charter or performance contract will 
vary from school to school, we believe it would be difficult for an SEA 
to use the goals in a charter school's performance contract to assess 
the quality of charter schools across the State.
    Changes: None.
    Comment: Several commenters suggested that this definition is too 
narrow and could lead to ``creaming'' high-aspiration students from 
non-charter public schools. One commenter expressed confusion over many 
elements of the definition, such as the references to increased student 
achievement and the need to close historic achievement gaps. 
Additionally, the commenter stated that the definition ignores other 
assessment tools such as preparation for careers.
    Discussion: We first note that the final priorities, requirements, 
definitions, and selection criteria are designed to provide incentives 
to SEAs to increase the number of high-quality charter schools in the 
State and, thus, provide more high-quality options for all students. In 
addition, the selection criteria are related to a State's broader plan 
to ensure equitable access for students throughout the State by 
ensuring that all students--including educationally disadvantaged 
students--have equal access and opportunities to attend high-quality 
charter schools. Charter schools receiving CSP funds are required to 
provide all students in the community with an equal opportunity to 
attend the charter school and admit students by lottery if the charter 
school is oversubscribed. We believe the final priorities, 
requirements, definitions, and selection criteria will support and 
reinforce these program requirements.
    We next address the comment that many of the elements of the 
definition are confusing. This definition provides discrete and 
measurable indicators for defining a charter school as high-quality. 
The rate at which a charter

[[Page 34211]]

school reduces or closes a historic achievement gap is a quantifiable 
measure of student achievement and school success. Similarly, testing 
and attendance rates provide data that can be used to examine school 
performance. We believe that the percentage of charter school students 
who go on to enroll in postsecondary institutions is yet another 
indicator of the performance and efficacy of a State's charter schools. 
Finally, we note that the term ``postsecondary education'' may 
encompass both non-traditional postsecondary education options as well 
as other career and technical training. We agree that there are other 
tools that measure student achievement, including career readiness. We 
believe the definition of high-quality charter school in this NFP, 
however, promotes the purposes of the CSP and provides a consistent, 
clear, and measurable metric of student academic achievement. For these 
reasons, we decline to revise the definition.
    Changes: None.
    Comment: One commenter recommended that we revise the definition of 
high-quality charter school to examine growth differentially. The 
commenter stated that comparing graduation rates of a school serving 
students who are at a very low percentile of proficiency with a school 
serving students at a very high percentile of proficiency is neither 
comparable nor fair, and contended that what success looks like at 
those schools will manifest in different ways.
    Discussion: The definition states that academic results for 
students served by a high-quality charter school must be above the 
average academic results for such students in the State. Because the 
definition allows for comparisons among similar populations of 
students, we believe that it addresses the commenter's concern.
    Changes: None.
    Comment: One commenter recommended several substantive revisions to 
elements of the definition that would remove references to the 
achievement gap, evidence of academic achievement over three years, and 
references to attainment and postsecondary enrollment, as well as add a 
requirement for compliance in the area of safety, financial management, 
or statutory or regulatory compliance.
    Discussion: We decline to adopt these proposed changes. First, it 
is unclear from the commenter's suggested revisions whether a CSP 
applicant's high-quality charter schools would have to show increased 
achievement in one or more (or all) subgroups. We decline to remove the 
three-year achievement requirement because we believe that a three-year 
period provides a reasonable time within which a charter school's 
performance can be evaluated to determine whether the school is high-
quality. This does not mean the charter school could not be deemed 
high-quality with fewer than three years of data available, as noted 
within the definition. However, if three years of data exist, the 
charter should be evaluated based on all three years. Further, we 
believe the references to attendance, attainment, and retention are 
critical to the spirit of this definition given their correlation to 
performance. Finally, we believe the recommended revisions would remove 
or substantially diminish the focus of charter schools on serving 
educationally disadvantaged students and treating all students 
equitably, which are crucial elements that promote the purposes of the 
CSP.
    Changes: None.
    Comment: One commenter asked why, under paragraph (a)(2)(i) of the 
definition for high-quality charter school, demonstrated success in 
closing historic achievement gaps would be acceptable, while in 
paragraph (a)(2)(ii), an applicant must show actual significant gains 
rather than the closing of gaps. The commenter stated that a school 
could satisfy the requirements of paragraph (a)(2)(i) if its higher-
achieving students decreased in performance and its lower achieving 
students did not make gains. Additionally, the commenter asked when, 
under paragraph (3) of the definition for high-quality charter school, 
results on statewide tests might not be considered applicable to 
meeting the definition of high-quality charter school, if those results 
are available.
    Discussion: First, we note that in order for a school to be 
considered high-quality, all subgroups would have to demonstrate 
significant progress and the school would have to close achievement 
gaps simultaneously. These are two distinct but equally important 
components of this definition that work in tandem to ensure that SEA 
subgrants are used to support high-quality charter schools. In order to 
be considered high-quality, a charter school must meet elements (a)(1)-
(5), unless the State opts to use an alternate definition. With regard 
to the commenter's second question, we note that an example of 
available but not necessarily applicable results could be an elementary 
charter school that tracks college completion rates of its alumni. 
Although these data theoretically could be collected, unless there was 
a general requirement for the collection of this information by all 
charter schools, it might not be a relevant measure. Without uniform 
data collection for all charter schools, there would be no comparison 
data to illustrate meaningful impact, and the data likely would not 
take into consideration other influences, such as the other secondary 
schools the students attended before going to college.
    Changes: None.
    Comment: One commenter suggested two revisions to the definition. 
First, the commenter recommended moving element (a)(5), which prohibits 
a high-quality charter school from having any significant compliance 
issues, (to paragraph (b); and replacing the term particularly with 
including, to make the provision more logical.
    Discussion: We decline to revise paragraph (a)(5) or paragraph (b). 
Paragraph (a) provides the Department's definition of high-quality 
charter school, and paragraph (b) provides an SEA the option to propose 
its own definition. Paragraph (a)(5) is intended to highlight three 
areas where significant compliance issues can occur, but is not meant 
to be exhaustive.
    Changes: None.
    Comment: One commenter recommended that the Department define 
``significant achievement gap.''
    Discussion: We decline to define ``significant achievement gap'' in 
this NFP because we believe that not defining the term affords States 
greater flexibility. An applicant should be able to provide the 
necessary evidence and information in its application, demonstrating 
that schools identified as high-quality charter schools are either 
closing the achievement gap or have no significant achievement gap.
    Changes: None.

Selection Criteria

(a) State-Level Strategy

    Comment: Two commenters recommended expanding paragraph (1) of 
selection criterion (a) State-Level Strategy to include activities of 
authorizers and other entities that impact charter schools in the 
State.
    Discussion: We agree that it is important for authorizers and other 
entities that impact charter schools to be part of the State's overall 
strategy for improving student academic achievement and attainment, and 
we encourage States to address the extent to which the activities of 
authorizers and other entities are integrated into the State-level 
strategy. For purposes of this program, however, we believe that the 
focus should be on the individual State's plan for integrating its CSP 
grant activities with its broader public education strategy. While a 
State whose

[[Page 34212]]

charter school authorizing practices are integrated into its CSP 
activities should include this information, we only expect States to 
discuss such practices in relation to proposed CSP grant activities. 
Likewise, if the CSP activities are integrated into the practices of 
authorizers and other entities, we would expect the State to discuss 
that as well.
    Changes: None.
    Comment: One commenter opined that a State's charter sector is 
purposefully designed to serve as an alternative to, rather than an 
integrated component of, a State's overall strategy for school 
improvement.
    Discussion: Although charter schools are an alternative to 
traditional public schools, charter schools also are public schools, 
and we believe that it is important for States to include charter 
schools as part of their overall strategy for providing public 
education.
    Changes: None.
    Comment: One commenter recommended that we expand the criterion to 
require SEAs to explain how the State will ensure that charter schools 
serve the same or similar student populations as their non-charter 
public school counterparts.
    Discussion: Charter schools are public schools and, as such, must 
employ open admissions policies and ensure that all students in the 
community have an equal opportunity to attend the charter school. A 
charter school's admissions practices must comply with applicable 
Federal and State laws, including Federal civil rights laws, such as 
title VI of the Civil Rights Act of 1964, section 504 of the 
Rehabilitation Act of 1973, and title II of the Americans with 
Disabilities Act of 1990. Further, paragraph (2) of selection criterion 
(d) Quality of Plan to Support Educationally Disadvantaged Students 
addresses the quality of the SEA's plan to ensure that charter schools 
attract, recruit, admit, enroll, serve, and retain educationally 
disadvantaged students. Additionally, the CSP Nonregulatory Guidance 
clarifies that section 5203(b)(3)(E) of the ESEA (20 U.S.C. 
7221b(b)(3)(E)) requires SEAs to provide an assurance that applications 
for CSP subgrants will include a description of how parents and other 
members of the community will be involved in the planning, program 
design, and initial implementation of the charter school.
    Changes: None.
    Comment: One commenter expressed concern about referring to a 
State's Race to the Top application or ESEA Flexibility request as 
examples of statewide education reform efforts in paragraph (1) of 
selection criterion (a) State-Level Strategy. The commenter questioned 
whether a charter sector could be strong in a State that did not 
receive a Race to the Top grant or an ESEA Flexibility waiver. 
Additionally, the commenter recommended revising the language to 
consider the extent to which the authorizer, in addition to the State, 
encourages strategies for improving student academic achievement.
    Discussion: While States' Race to the Top applications and ESEA 
Flexibility requests are examples of initiatives that could be 
discussed in relation to State-level strategy, the list we provided was 
not intended to be exhaustive or exclusive. A State that has not 
received a Race to the Top grant or an ESEA Flexibility waiver may 
discuss its State-level strategy within the context of other efforts 
and receive full points on this criterion. We decline to expand the 
list of examples in this element of the criterion to include authorizer 
actions and authorizer strategy but agree that limiting the examples to 
Race to the Top and ESEA Flexibility applications may be confusing. 
Therefore, we have removed the examples from the final selection 
criterion. While an SEA may discuss its authorizer practices within the 
context of its State-level strategy, a discussion of authorizer quality 
and practice alone is unlikely to be deemed an adequate response to the 
criterion.
    Changes: We have removed the reference to State Race to the Top 
applications and ESEA Flexibility waivers from paragraph (1) of this 
selection criterion.
    Comment: One commenter recommended adding the State Systemic 
Improvement Plan (SSIP) as an example of an improvement effort in 
paragraph (1). The commenter stated that adding the SSIP will ensure 
that charter schools and the students they serve are actively 
considered in any and all State planning efforts.
    Discussion: SSIPs are multi-year plans that each State produces to 
describe how it will improve educational outcomes for children with 
disabilities served under IDEA. The Department's Office of Special 
Education Programs administers the IDEA and works with States as they 
implement these plans. Like a State's Race to the Top application and 
ESEA Flexibility waiver request, a SSIP describes activities that could 
be responsive to this selection criterion. We agree that providing only 
a few examples for this criterion may be confusing, however, and are 
removing the examples from the final selection criterion and decline to 
include this revision.
    Changes: None.
    Comment: One commenter expressed concern about how the Department 
will consider States' various funding needs in relation to the 
composition of the student body, in cases where charter schools do not 
enroll student populations that are demographically similar to 
traditional non-charter public schools. The commenter mentioned 
students with disabilities and English learners as populations that may 
require additional funding in order to ensure that they are adequately 
served, and asked whether this will be a consideration in review of 
funding equity for paragraph (2) of selection criterion (a) State-Level 
Strategy.
    Discussion: We recognize that the demographic composition and 
funding needs of schools may vary at the State and local levels. For 
this reason, this criterion is designed to allow applicants to describe 
the State's overall systems for funding public schools generally, and 
charter schools specifically, including any variances between the two, 
to demonstrate the extent to which funding equity for similar students 
is incorporated into the State's overall strategy.
    Changes: None.

(b) Policy Context for Charter Schools

    Comment: Several commenters stated that charter school policy is a 
local issue rather than an SEA-focused issue. One commenter stated that 
selection criterion (b) Policy Context for Charter Schools generally 
speaks to the SEA as the primary force behind information 
dissemination, growth, oversight, and other factors related to charter 
schools. The commenter stated that, in some States, an emphasis on the 
SEA would be misguided because the SEA may be hostile towards charter 
schools or may lack the legal ability to play a large role in the 
charter sector.
    Discussion: The Department administers several grant programs under 
the CSP, including direct grants to non-SEA eligible applicants (i.e., 
charter school developers and charter schools). The purpose of these 
priorities, requirements, definitions, and section criteria, however, 
is to implement the provisions of the CSP statute that authorize the 
Secretary to award grants to SEAs to enable them to conduct charter 
school subgrant programs in their States, in accordance with the 
requirements of the ESEA. In some cases, State charter school laws 
assign the primary role for charter school oversight to entities other 
than the SEA, and these entities play critical roles in information 
dissemination and growth of charter schools. This selection criterion 
asks SEA applicants to respond

[[Page 34213]]

to each factor within the context of their State activities. We 
understand, however, that the SEA may not be the sole entity 
responsible for executing these activities.
    Changes: None.
    Comment: One commenter expressed support for the selection 
criterion (b) Policy Context for Charter Schools. Another commenter 
expressed concern about the promotion of policies that weaken the 
collective bargaining rights of certain State or school employees based 
on the language contained in paragraph (1)(i) regarding the extent to 
which charter schools in the State are exempt from State or local rules 
that inhibit the flexible operation and management of public schools.
    Discussion: By definition, charter schools are exempt from many 
significant State and local rules that inhibit the flexible operation 
and management of public schools. In exchange for this increased 
flexibility, charter schools are held accountable for results, 
including improved student academic achievement. Charter schools still 
must comply with Federal and State laws generally and meet all health 
and safety requirements. The criterion is designed to enable reviewers 
to assess the flexibility afforded charter schools, including 
flexibility with respect to school operations and management. The 
criterion bears no relation to employment policies or employee rights. 
Therefore, we decline to make any changes in response to the concern 
raised by the commenter.
    Changes: None.
    Comment: One commenter acknowledged the appropriateness of 
including flexibility under paragraph (1) of selection criterion (b) 
Policy Context for Charter Schools and recommended expanding the 
flexibility relative to establishing goals and quality measures related 
to State-mandated standards or assessments. The commenter referred to 
section 5210(1)(C) of the ESEA (20 U.S.C. 7221i(1)(C)), which defines a 
charter school as a public school that, among other things, operates in 
pursuit of a specific set of educational objectives determined by the 
school's developer.
    Discussion: We believe the autonomy of charter schools to develop 
their own educational objectives and performance goals is critical, and 
this criterion acknowledges that importance by specifically emphasizing 
autonomy within paragraph (1)(ii). This criterion addresses the policy 
context for charter schools in a State, rather than the development of 
specific performance objectives, which would happen during the charter 
approval process. We believe Priority 3--High-Quality Authorizing and 
Monitoring Processes provides a strong incentive for the development of 
rigorous objectives that an authorizer would apply to the charter 
schools in its portfolio, and that this criterion would capture the 
unique qualities of individual charter schools. However, charter 
schools are still required to report on certain objectives applicable 
to all public schools. Together, the elements of this selection 
criterion ensure that an individual charter school's autonomy over the 
development of educational objectives is reflected in the CSP Grants 
for SEAs application.
    Changes: None.
    Comment: One commenter supported paragraph 3 of selection criterion 
(b) Policy Context for Charter Schools, which requests that SEAs 
describe their plans for ensuring that LEAs, including charter school 
LEAs, comply with IDEA. The commenter referenced several recently 
negotiated settlement agreements between schools and the Department's 
Office for Civil Rights related to IDEA compliance and recommended that 
we develop clear means to monitor charter school compliance with IDEA 
and other applicable statutes governing civil rights.
    Discussion: Paragraph (3) of selection criterion (b) Policy Context 
for Charter Schools will enable peer reviewers to evaluate the quality 
of an SEA's plan to ensure charter schools' compliance with applicable 
Federal civil rights laws and part B of IDEA. We believe that this 
element of IDEA oversight is one that States are already required to 
have in place under section 612(a)(11) of the IDEA (20 U.S.C. 
1412(a)(11)). This provision requires each SEA to exercise general 
supervision over all educational programs for children with 
disabilities administered in the State and to ensure that all such 
programs meet the requirements of part B of the IDEA. In addition, the 
Federal definition of a charter school ensures compliance with Federal 
civil rights laws and part B of IDEA. See section 5210(1)(G) of the 
ESEA (20 U.S.C. 7221i).
    Changes: None.

(c) Past Performance

    Comment: Several commenters supported the inclusion of selection 
criterion (c) Past Performance. Several commenters questioned how a 
State with a new charter school law (and, therefore, no previous 
charter experience) would receive points or otherwise not be unfairly 
disadvantaged during the application process. Additionally, one 
commenter asked how the Department would ensure that States with few or 
no academically poor-performing charter schools are not unfairly 
disadvantaged under this criterion.
    Discussion: This selection criterion applies only to SEAs in States 
with charter school laws that have been in effect for five years or 
more. Therefore, an SEA in a state that enacted its first charter 
school law less than five years before the closing date of the relevant 
competition will not be scored on this criterion, and its total score 
will be calculated against a maximum point value that does not include 
the points assigned to this criterion.
    In addition, SEAs that are required to respond to this criterion 
will not be at a disadvantage for having few or no academically poor-
performing charter schools. In such a case, the SEA should include 
sufficient information for the reviewers to understand and evaluate the 
quality of its charter schools, including an explanation of how the 
State has minimized its number of academically poor-performing charter 
schools.
    Changes: None.
    Comment: Multiple commenters stated that the reduction in the 
number and percentage of academically poor-performing charter schools 
should not be evaluated based on a reduction of ``each'' of the past 
five years.
    Discussion: We believe that it is important to examine the 
reduction in the number and percentage of academically poor-performing 
charter schools each year in order to determine the rate and 
consistency at which academically poor-performing charter schools have 
been closed or improved in a State. In addition, providing past 
performance data for each year gives the peer reviewers a more complete 
picture on which to score the applications. We encourage applicants to 
provide context about the performance of charter schools in the State.
    Changes: None.
    Comment: Several commenters recommended that we add past 
performance information as an application requirement. Specifically, 
one commenter suggested that we focus CSP funds on States that enhance, 
rather than diminish, the overall quality of public education.
    Discussion: Selection criterion (c) Past Performance allows us to 
evaluate the extent to which an SEA's past performance has led to an 
increase in high-quality charter schools and a decrease in academically 
poor-performing charter schools within their State. An application 
requirement would only collect this information,

[[Page 34214]]

rather than allow for evaluation. For this reason, past performance 
will remain a selection criterion. We agree with the commenter that CSP 
funds should be awarded to States that enhance the overall quality of 
public schools, including charter schools. We believe that the final 
priorities, requirements, definitions, and selection criteria will 
achieve that purpose. The NIA for each competition will provide the 
specific criteria against which applications will be evaluated in that 
year.
    Changes: None.
    Comment: One commenter suggested that the evaluation of an SEA's 
past performance also be based on (1) the extent to which the 
demographic composition of the State's charter schools (in terms of 
educationally disadvantaged students) is similar to the demographic 
composition of non-charter public schools; (2) the extent to which 
approved charter applications in the State reflect innovations in 
charter schools; (3) the track record of the State's lead authorizer in 
minimizing compliance issues in its charter schools; and (4) the track 
record of the SEA in ensuring high-quality authorizer performance 
through early identification of authorizer performance issues with 
appropriate remedies.
    Discussion: The focus of this criterion is on the SEA's performance 
in increasing the number of high-quality charter schools, decreasing 
the number of academically poor-performing charter schools, and 
improving student academic achievement. While we agree that the 
additional factors proposed by the commenter could inform an evaluation 
of an SEA's past performance, in many cases, an SEA providing a 
detailed response to the criteria will address the additional factors 
proposed by the commenter. Moreover, proposed addition (1) is covered 
by paragraph (2) of selection criterion (d) Quality of Plan to Support 
Educationally Disadvantaged Students, assessing the quality of the 
SEA's plan to serve an equitable number of educationally disadvantaged 
students. Proposed addition (2) is covered broadly under selection 
criterion (f) Dissemination of Information and Best Practices, which 
assesses the quality of the SEA's plan to disseminate best and 
promising practices of successful charter schools in the State. 
Proposed addition (3) is covered under the definition of a high-quality 
charter school in paragraph (5) which notes that a high-quality charter 
school should have no significant compliance issues. Finally, proposed 
addition (4) is covered under Priority 1--Periodic Review and 
Evaluation, which asks for SEAs to demonstrate that periodic review and 
evaluation occurs at least once every five years and provides an 
opportunity for authorizers to take appropriate action and impose 
meaningful consequences. Proposed addition (4) may also be addressed in 
an SEA's response to selection criterion (g), which asks SEAs how they 
will monitor and hold accountable authorizing public chartering 
agencies.
    Changes: None.
    Comment: One commenter stated that selection criterion (c) Past 
Performance does not consider the quality of States' existing charter 
schools and opined that it should be a specific focus for the SEA grant 
competition. Another commenter suggested that the Department consider 
revising this criterion to examine an SEA's performance only by its 
reduction of the number of academically poor-performing charter 
schools.
    Discussion: We agree that the quality of a State's existing charter 
schools is an important consideration when evaluating the overall 
quality of an SEA's application for CSP funds and believe we have 
addressed that factor in these priorities, requirements, definitions, 
and selection criteria. While reducing the number of academically poor-
performing charter schools is an important measure of an SEA's past 
performance with respect to administration of its charter schools, we 
believe that is only one aspect of the overall quality of a State's 
charter schools program. A major purpose of the CSP Grants to SEAs 
program is to increase the number of high-quality charter schools 
across the Nation and to improve student academic achievement. For 
these reasons, we decline to make the recommended change.
    Changes: None.

(d) Quality of Plan To Support Educationally Disadvantaged Students

    Comment: One commenter stated that the Department should include a 
reference to diversity in all of the selection criteria, beyond what is 
included in selection criterion (d) Quality of Plan to Support 
Educationally Disadvantaged Students. Additionally, the commenter 
suggested that the Department expand selection criterion (d) Quality of 
Plan to Support Educationally Disadvantaged Students to include the 
following 10 additional factors, to ensure that charter schools are 
fully inclusive and do not either directly or indirectly discourage 
enrollment of all students: (a) Compliance with Federal and State laws, 
particularly laws related to educational equity, nondiscrimination, and 
access to public schools for educationally disadvantaged students; (b) 
broad-reaching, inclusive marketing efforts; (c) streamlined 
applications with no enrollment or other barriers; (d) receptive 
processes that do not steer away educationally disadvantaged students; 
(e) availability of services for students with disabilities and English 
learners; (f) positive practices to address behavioral issues, avoiding 
practices that encourage students to leave the charter school; (g) 
sparing use of grade retention practices; (h) provision of services for 
disadvantaged students that are comparable to those offered in nearby 
public schools, including free- and reduced-price meals; (i) addressing 
location and transportation in ways that are designed to serve a 
diverse community that includes educationally disadvantaged students; 
and (j) comprehensive planning to ensure that charter school enrollment 
patterns do not contribute to increased racial and economic isolation 
in proximate schools within the same school district.
    Discussion: Many of the factors proposed by the commenter are 
covered under selection criterion (d) Quality of Plan to Support 
Educationally Disadvantaged Students and the other criteria. More 
broadly, these selection criteria provide a basis for SEAs to address 
each of the factors proposed by the commenter at a level of detail that 
we believe will enable peer reviewers to evaluate the quality of the 
applications effectively.
    Changes: None.
    Comment: One commenter recommended that the Department revise this 
selection criterion to include a description of how SEAs plan to avoid 
disproportionate enrollment of homeless students in charter schools. 
The commenter stated that some non-charter public schools have shifted 
homeless students from their schools to charter schools.
    Discussion: As public schools, charter schools must employ open 
admissions policies and ensure that all students in the community have 
an equal opportunity to attend the charter school. Further, charter 
schools receiving CSP funds must admit students by lottery if there are 
more applicants than spaces available at the charter school. While 
charter schools may weight their lotteries in favor of educationally 
disadvantaged students, which may include homeless students, they are 
not required to do so. Accordingly, the criterion includes a review of 
the SEA's plan to ensure that charter schools attract, recruit, admit, 
enroll, serve, and retain educationally disadvantaged and other 
students equitably. Although this criterion emphasizes the importance 
of

[[Page 34215]]

charter schools serving educationally disadvantaged students, which may 
include homeless students, the criterion does not diminish the 
requirement that charter schools receiving CSP funds provide all 
students in the community with an equal opportunity to attend the 
charter school.
    Changes: None.
    Comment: Several commenters recommended that the Department amend 
paragraphs (2), (3), and (4) of the selection criterion to address the 
quality of authorizers' and other State entities' plans to support 
educationally disadvantaged students, in addition to the SEA's plans to 
support such students.
    Discussion: We agree that it is important for authorizers and other 
State entities to contribute to an SEA's efforts to support 
educationally disadvantaged students. Because this program authorizes 
the Secretary to award CSP grants to SEAs, however, the focus of these 
final priorities, requirements, definitions, and selection criteria is 
on SEAs' plans to support educationally disadvantaged students. To the 
extent that it is relevant, however, an SEA should include in its 
response to this criterion information regarding how its plan includes 
collaboration, coordination, and communication with other State 
entities for the purpose of providing effective support for 
educationally disadvantaged students and other students.
    Changes: None.
    Comment: One commenter stated that the criterion speaks to 
innovation in paragraph (3), and recommended that we make innovation a 
priority driven by individual schools rather than the SEA. The 
commenter recommended that the Department define innovation to include 
innovative curriculum, instructional methods, governance, 
administration, professional roles of teachers, instructional goals and 
standards, student assessments, use of technology, and stated that 
innovation should be a priority for all students, rather than just 
educationally disadvantaged students and other students.
    Discussion: The CSP authorizing statute does not define innovation, 
and we prefer to permit applicants to exercise more flexibility by not 
defining the term in this NFP. We agree that innovation often happens 
at the school level but, for the purposes of this program, we are 
interested in how SEAs are encouraging innovation in charter schools 
within their State.
    Changes: None.

(e) Vision for Growth and Accountability

    Comment: Two commenters recommended revising selection criterion 
(e) Vision for Growth and Accountability to focus on the overall State 
plan by asking the SEA to describe the statewide vision for cultivating 
high-performing charter schools, as opposed to merely the SEA's vision. 
One commenter noted that a statewide vision may include the views of 
the SEA, authorizer(s), or other bodies. The other commenter suggested 
that the criterion should request information on charter schools with 
the capacity to become high-quality, rather than focus on the creation 
of high-quality charter schools.
    Discussion: We agree that the statewide vision for growth and 
accountability is important and that the SEA should play a role in 
defining and assisting the State in realizing that vision. Thus, the 
SEA should describe a broad vision for cultivating high-quality charter 
schools. We agree that a charter school's capacity to become high-
quality is relevant to an evaluation of the statewide vision for 
charter school growth and accountability. Therefore, we have revised 
paragraph (2) to request that SEAs provide a reasonable estimate of the 
overall number of high-quality charter schools in the State at both the 
beginning and end of the grant period.
    Changes: We have revised selection criterion (e) Vision for Growth 
and Accountability to clarify that the SEA should describe its 
statewide vision for charter school growth and accountability, 
including the role of the SEA instead of just the vision of the SEA. We 
also revised the priority to list the factors the Secretary will 
consider in determining the quality of that statewide vision.
    Comment: One commenter expressed concern about administrative 
burden within the context of selection criteria (e), (f), and (g). The 
commenter suggested that the Department add language that would 
incentivize States to reduce reporting and administrative requirements 
for charter schools, particularly when a school has a proven track 
record of high student achievement.
    Discussion: We are mindful of the general reporting burden charter 
schools face as they comply with Federal, State, local, and authorizer 
reporting and other administrative requirements. However, the purpose 
of this regulatory action is to support the development of high-quality 
charter schools throughout the Nation by strengthening several 
components of the CSP Grants to SEAs program. These final priorities, 
requirements, definitions, and selection criteria do not address State 
or local reporting requirements. We believe that the factors outlined 
in the three selection criteria noted above do not increase reporting 
burden on charter schools, but rather, request that SEAs communicate 
how their plans address accountability within areas of reporting that 
already exist; how they plan to disseminate information about charter 
schools across the State, which is a requirement of the grant; and how, 
within the construct of their laws, they plan to provide oversight to 
authorizers.
    Changes: None.
    Comment: One commenter stated that selection criterion (e) Vision 
for Growth and Accountability is inherently subjective and recommended 
that the Department clarify what it would consider to be a highly rated 
plan.
    Discussion: We rely on a team of independent peer reviewers to use 
their professional knowledge and expertise to evaluate responses to the 
selection criteria and rate the quality of the applications based on 
those responses. For these reasons, the Department declines to further 
delineate what constitutes a highly rated plan. Applicants are asked to 
address the criterion in their proposed plans in a way that they 
believe successfully responds to the selection criterion.
    Changes: None.

(f) Dissemination of Information and Best Practices

    Comment: Two commenters suggested that the Department revise 
selection criterion (f) Dissemination of Information and Best Practices 
to request a description of the extent to which authorizers or other 
State entities, as well as the SEA, will serve as leaders in 
identifying and disseminating information, including information 
regarding the quality of their plans to disseminate information and 
research on best or promising practices that effectively incorporate 
student body diversity and are related to school discipline and school 
climate.
    Discussion: We understand that SEAs often collaborate with 
authorizers or other State entities to disseminate information about 
charter schools and best practices in charter schools. Information 
dissemination is a requirement for all SEAs that receive CSP funding. 
This criterion is intended to collect specific information about how 
the SEA plans to meet this requirement. Although we support 
collaboration, because SEAs are the grantees under the program, we 
decline to make the proposed revision.
    Changes: None.

[[Page 34216]]

(g) Oversight of Authorized Public Chartering Agencies

    Comment: One commenter expressed support for selection criterion 
(g) Oversight of Authorized Public Chartering Agencies. Another 
commenter recommended deleting this selection criterion, stating that 
it assumes that authorizers are providing inadequate or ineffective 
oversight and that requiring SEAs to oversee and manage authorizers' 
activities would impose undue costs and require more funding than the 
CSP Grants for SEAs program currently provides. The commenter also 
stated that the criterion should be deleted because it assumes that 
SEAs have statutory authority to monitor, evaluate, or otherwise hold 
accountable authorizers.
    Discussion: This criterion is not intended to imply that 
authorizers are not providing adequate or effective oversight. Rather, 
the criterion is intended to challenge SEAs to take steps to ensure 
higher-quality charter school authorizing. We understand that SEAs do 
not always have the statutory authority to take action against 
authorizers that perform poorly or approve low-quality charter schools. 
However, all SEAs can review and evaluate data on authorizer and 
charter school performance, and this criterion is designed to encourage 
that role within the administrative plans SEAs put in place for the CSP 
grant. The CSP Grants for SEAs program allows up to five percent of 
funds to be set aside for administrative costs, which can be used for a 
wide range of activities to support charter schools funded under the 
grant, including monitoring and oversight and providing technical 
assistance.
    Changes: None.
    Comment: One commenter suggested revising paragraph (1) of 
selection criterion (g) Oversight of Authorized Public Chartering 
Agencies to require authorizers only to seek charter school petitions 
from developers that have the capacity to create high-quality charter 
schools, rather than requiring authorizers to seek and approve charter 
school petitions from such developers. Second, two commenters 
recommended revising paragraph (1) to focus on the capacity of 
developers to create charter schools that can become high-quality 
charter schools.
    Discussion: We decline to delete the word ``approving'' from 
paragraph (1), which asks for the SEA's plan on how it will ensure that 
authorizers both seek and approve applications from developers with the 
capacity to create high-quality charter schools. We believe that, in 
addition to seeking applications from developers that have the capacity 
to create high-quality charter schools, authorizers should strive to 
assess the likelihood that applications will result in high-quality 
charter schools. However, we agree that it would be useful to clarify 
that these developers need only demonstrate that they have the capacity 
to create charter schools that can become high-quality charter schools. 
These suggested changes are consistent with other changes that we are 
making to these priorities, requirements, definitions, and selection 
criteria.
    Changes: We have revised paragraph (1) of selection criterion (g) 
Oversight of Authorized Public Chartering Agencies to refer to 
developers that have the capacity to create charter schools that can 
become high-quality charter schools.
    Comment: Several commenters recommended either substantial edits to 
paragraph (2) of selection criterion (g) Oversight of Authorized Public 
Chartering Agencies or the deletion of paragraph (2) altogether. These 
commenters stated that the focus on evidence-based whole-school models 
and practices related to racial and ethnic diversity would 
significantly limit charter school and authorizer autonomy and restrict 
innovation in the charter school sector. Finally, some commenters 
opined that this factor would create an obstacle for charter school 
developers seeking to open schools in communities that are not racially 
and ethnically diverse.
    Discussion: We agree that innovation is a critical and fundamental 
attribute of charter schools. We disagree, however, that asking SEAs to 
describe how they will ensure that authorizers are approving charter 
schools with design elements that incorporate evidence-based school 
models and practices would limit innovation or preclude the creation of 
charter schools in certain communities. Despite the commenter's 
concern, this criterion does not ask applicants to ensure that all 
approved charter schools solely use evidence-based approaches--
authorizers may approve charter school petitions that include new or 
untested ideas as long as there are elements within their new approach 
that are supported by evidence.
    As discussed above, selection criteria do not impose requirements 
on applicants, but merely request information to enable peer reviewers 
to evaluate how well an applicant will comply with certain programmatic 
requirements based on their responses to the selection criteria. Thus, 
while we encourage SEAs and charter schools to take steps to improve 
student body diversity in charter schools, paragraph (2) of selection 
criterion (g) Oversight of Authorized Public Chartering Agencies does 
not require every approved school to be racially and ethnically 
diverse.
    Changes: None.
    Comment: Multiple commenters recommended that the Department revise 
paragraph (5) of selection criterion (g) Oversight of Authorized Public 
Chartering to reflect language added in the FY 2015 Appropriations Act 
which requires applicants to provide assurances that authorizers use 
increases in student academic achievement for all groups of students as 
one of the most important factors in deciding whether to renew a 
school's charter.
    Discussion: We agree that this factor should be consistent with the 
language in the FY 2015 Appropriations Act, which was enacted after 
publication of the NPP in the Federal Register, and have made 
appropriate revisions.
    Changes: We have revised paragraph (5) of selection criterion (g) 
Oversight of Authorized Public Chartering Agencies to reflect the 
requirement in the FY 2015 Appropriations Act that SEAs provide 
assurances that State law, regulations, or other policies require 
authorizers to use increases in student academic achievement as one of 
the most important factors in charter renewal decisions, instead of the 
most important factor.
    Comment: One commenter recommended that the Department clarify 
selection criterion (g) Oversight of Authorized Public Chartering 
Agencies to ensure that States hold authorizers accountable for the 
enrollment, recruitment, retention and outcomes of all students, 
including students with disabilities. The commenter noted that all 
State charter school laws have provisions regarding special education 
and related services but that the substance of these statutes varies 
considerably from State to State. The commenter recommended providing 
clarity within selection criterion (g) Oversight of Authorized Public 
Chartering Agencies to specify that in accordance with IDEA, SEAs must 
exercise their authority to ensure authorizers provide students with 
disabilities equal access to the State's charter schools, and provide 
students with disabilities a free appropriate public education in the 
least restrictive environment.
    Discussion: In general, selection criteria do not impose 
requirements on applicants. Rather, they are intended to solicit 
information to enable peer reviewers to evaluate an SEA's plan to

[[Page 34217]]

hold authorizers accountable within the constraints of the State's 
charter school law. One factor in selection criterion (g) provides for 
consideration of the quality of the SEA's plan to monitor, evaluate, 
assist, and hold authorized public chartering agencies accountable in 
monitoring their charter schools on at least an annual basis, including 
ensuring that the charter schools are complying with applicable State 
and Federal laws. Charter law provisions regarding IDEA requirements 
would be part of the SEA's plan.
    In addition, although SEAs' statutory authority over authorizers 
varies from State to State, all charter schools receiving CSP subgrants 
through the SEA must comply with applicable Federal and State laws, 
including Federal civil rights laws and part B of the IDEA, to meet the 
Federal definition of a charter school (section 5210(1)(G) of the ESEA, 
20 U.S.C. 7221i).
    We also refer the commenter to selection criterion (a) State-Level 
Strategy, which requires SEAs to demonstrate how they will improve 
educational outcomes for students throughout the State. Finally, we 
refer the commenter to selection criterion (d) Quality of Plan to 
Support Educationally Disadvantaged Students, which explicitly requires 
SEAs to provide a plan and vision for supporting educationally 
disadvantaged students, which includes students with disabilities.
    Changes: None.
    Comment: One commenter recommended revising selection criterion (g) 
Oversight of Authorized Public Chartering Agencies to allow the 
Secretary to consider the quality of an authorizer either in addition 
to, or in place of, the quality of an SEA's plan to monitor the 
authorizer. The commenter expressed concern that the elements of this 
criterion will give an SEA undue influence over authorizers.
    Discussion: The CSP Grants for SEAs program provides funds to SEAs 
to enable them to conduct charter school subgrant programs in their 
State. State charter school laws vary with respect to an SEA's 
oversight authority over authorizers. Therefore, this criterion is 
intended to challenge SEAs to take steps to ensure that charter school 
authorizers establish policies and employ practices to create and 
retain high-quality charter schools that meet the terms of their 
charter contracts and comply with applicable State and Federal laws, 
within the constraints of the State's charter school law. For this 
reason, we leave the language as originally drafted.
    Changes: None.
    Comment: Several commenters suggested textual revisions to 
selection criterion (g) Oversight of Authorized Public Chartering 
Agencies. First, one commenter recommended extensive changes to 
paragraph (2) in order to emphasize the need for an authorizer to 
conduct a petition approval process that considers an individual 
developer's capacity to create high-quality charter schools, among 
other factors. Additionally, one commenter suggested adding financial 
measures to academic and operational performance measures as an element 
of paragraph (3). One commenter recommended that we revise paragraph 
(7) to emphasize providing rather than supporting charter school 
autonomy. Finally, one commenter stated that the words ``public'' and 
``government'' are not synonymous with regard to authorizing entities, 
but did not provide additional context for the comment.
    Discussion: We decline to change paragraph (2) as suggested. We 
believe that it is critically important for an authorizer to evaluate 
entities for the capacity to develop a high-quality charter school. We 
also do not believe that it is appropriate to add a reference to 
financial factors to paragraph (3), as financial performance 
expectations are included as part of the general operational 
performance expectations discussed in the paragraph.
    We also disagree with the proposed revisions to paragraph (7). We 
recognize that autonomy manifests in many ways and that the degree of 
autonomy afforded to charter schools is based on State law. With this 
criterion, we ask SEAs to describe their plans to ensure that 
authorizers are supporting charter school autonomy; this could be 
through the authorizer's provision of that autonomy, but also could 
occur in other indirect ways. For this reason, we decline to revise the 
language as suggested by the commenter. Finally, we agree that the 
terms ``public'' and ``government'' are not synonymous with respect to 
authorizers.
    Changes: None.
    Comment: One commenter suggested that we revise selection criterion 
(g) Oversight of Authorized Public Chartering Agencies to request that 
an SEA describe all efforts in the State to strengthen authorized 
public chartering agencies, rather than describe only the SEA's 
efforts. The commenter expressed expectations that an SEA will have 
robust oversight over authorizers.
    Discussion: Because SEAs are the grantees under this program, we 
believe the emphasis should remain on the SEA rather than other 
entities within the State. We note that selection criterion (e) Vision 
for Growth and Accountability addresses the statewide vision for 
strengthening authorizers, which may involve direct State action or 
other entities playing an oversight or performance management role in 
partnership with the State.
    Changes: None.
    Comment: One commenter recommended that we revise selection 
criterion (g) Oversight of Authorized Public Chartering Agencies to ask 
SEAs to include an analysis of whether the State's budget is adequate 
for the SEA's plan to support high-quality authorizing within the 
context of each State's charter school law.
    Discussion: We agree with the commenter that the adequacy of a 
State's budget for an SEA's plan is relevant in determining the quality 
of the SEA's plan to support high-quality authorizing. While we 
encourage each SEA to provide a detailed description of its plan, 
including any available resources to implement the plan, we decline to 
specify what constitutes a quality plan.
    Changes: None.

(h) Management Plan and Theory of Action

    Comment: One commenter suggested that we limit consideration of 
monitoring reviews under paragraph (3)(ii) of selection criterion (h) 
Management Plan and Theory of Action to those that have occurred within 
the past three years.
    Discussion: Restricting the time period for monitoring reviews to 
three years may not provide a full picture of an applicant's capacity 
for effective program administration. Further, permitting an SEA to 
address compliance issues or findings identified in reviews beyond the 
three-year period will enable it to describe any corrective actions 
that have been implemented successfully.
    Changes: None.

(i) Project Design

    Comment: One commenter recommended that we revise paragraph (1)(i) 
of selection criterion (i) Project Design to request information about 
how the SEA will ensure that subgrants will be awarded to applicants 
demonstrating the capacity to create charter schools that can become 
high-quality charter schools, as opposed to the capacity to create 
high-quality charter schools.
    Discussion: With this criterion, we ask SEAs to describe the 
likelihood of awarding subgrants to applicants that demonstrate the 
capacity to create high-quality charter schools. Asking

[[Page 34218]]

applicants to demonstrate their capacity to create high-quality charter 
schools implies that the SEA will employ rigorous subgrant review 
processes to assure subgrants are awarded to eligible applicants with 
the capacity to create high-quality charter schools. This criterion 
does not impose a time limit by which new charter schools must be able 
to demonstrate that they are high-quality charter schools, but still 
conveys the ultimate goal of SEAs awarding CSP subgrants to charter 
school developers that will create high-quality charter schools. We 
believe that this language already achieves the commenter's goal and 
decline to revise the criterion.
    Changes: None.
    Comment: One commenter stated that it is not useful to ask SEAs to 
estimate the number of high-quality charter schools they will create 
during the life of the grant or the proportion of charter schools that 
have yet to open that will become high-quality. The commenter suggested 
that we strike paragraph (1)(i) of selection criterion (i) Project 
Design, which requests the SEA to discuss the subgrant application and 
peer review processes, and how the SEA intends to ensure that subgrants 
will be awarded to applicants demonstrating the capacity to create 
high-quality charter schools and retain the language in paragraph 
(1)(ii), which requests that the SEA provide a reasonable year-by-year 
estimate of the number of subgrants the SEA expects to award during the 
project period.
    Discussion: Paragraph (1)(i) of selection criterion (i) Project 
Design does not ask SEAs to provide an estimate of new charter schools 
that will become high-quality, but rather, focuses on the quality of 
the SEA's subgrant award process and how the SEA will ensure that 
subgrants are awarded to applicants demonstrating the capacity to 
create high-quality charter schools. On the other hand, we agree that 
the determination of the amount of CSP funds to award to an SEA 
requires a reasonable estimate of the number and size of subgrants the 
SEA expects to award during the grant period. For these reasons, we 
decline to make the change suggested by the commenter.
    Changes: None.
    Comment: One commenter suggested that the Department revise 
paragraph (3) of selection criterion (i) Project Design to include 
maintaining as well as increasing student body diversity as examples of 
areas of need in the State on which the SEA's subgrant program might 
focus.
    Discussion: We agree that it would be useful to add maintaining a 
high level of student body diversity as an example of a potential area 
of need in a State. For this reason, we have made the recommended 
revision.
    Changes: We have revised paragraph (3) of selection criterion (i) 
Project Design to refer to increasing student body diversity or 
maintaining a high level of student body diversity, as opposed to just 
increasing diversity.

General Comments

    Comment: Several commenters expressed the opinion that charter 
school law is a State and local concern and should be subject to less 
Federal regulation. Several other commenters expressed concern that the 
proposed priorities, requirements, definitions, and selection criteria 
fail to acknowledge that States may have charter school laws that 
minimize the importance of SEAs in the charter school sector.
    Discussion: We recognize that charter schools are authorized under 
State law and that State charter school laws vary. The CSP Grants for 
SEAs program, however, provides funds to SEAs to enable them to conduct 
charter school subgrant programs in the State. In order for SEAs to 
qualify for CSP funds, they must comply with the statutory and 
regulatory requirements governing the program. These priorities, 
requirements, definitions, and selection criteria are intended to 
clarify CSP requirements and to ensure that CSP funds are spent in 
accordance with those requirements.
    Changes: None.
    Comment: One commenter suggested that the Department require SEAs 
to ensure that education management organizations (EMOs) make their 
financial records available to governing boards on request.
    Discussion: As for-profit entities, EMOs are not eligible to apply 
for CSP subgrants under the CSP Grants to SEAs program. While CSP 
subgrant recipients may enter into contracts with EMOs for the 
provision of goods and services within the scope of authorized 
activities under the program and approved subgrant project, the 
subgrantee is responsible for administering the project and supervising 
the administration of the project. When negotiating the terms of the 
contract with the EMO, the subgrantee should ensure that the contract 
includes whatever provisions are necessary for the proper and efficient 
administration of the subgrant (e.g. a provision that would give the 
grant and subgrant recipients, the Department, the Comptroller of the 
United States, or any of their duly authorized representatives, access 
to any books, documents, papers, and records of the contractor that are 
directly pertinent to the program for the purpose of conducting audits 
or examinations).
    Changes: None.
    Comment: One commenter expressed concern that the priorities, 
requirements, definitions, and selection criteria collectively 
disadvantage students with disabilities.
    Discussion: We disagree that these final priorities, requirements, 
definitions, and selection criteria disadvantage students with 
disabilities. A major focus of the CSP grants for SEAs program is to 
provide financial assistance to SEAs to enable them to conduct charter 
school subgrant programs to assist educationally disadvantaged and 
other students in meeting State academic content standards and State 
student academic achievement standards. Likewise, these final 
priorities, requirements, definitions, and selection criteria reflect 
the Department's interest in ensuring that charter schools receiving 
CSP funds serve educationally disadvantaged students, including 
students with disabilities.
    Changes: None.
    Comment: One commenter stated that the priorities, requirements, 
definitions, and selection criteria imply that economically 
disadvantaged students as well as ethnic and racial minority students 
are not well-represented in charter schools and that this is not true 
in all States. In addition, the commenter provided an example of a 
State in which charter schools primarily serve students at greatest 
academic risk, and suggested that the Department emphasize academic 
growth as opposed to student achievement in order to capture the 
success of charter schools serving those students.
    Discussion: These final priorities, requirements, definitions, and 
selection criteria are not intended to imply that economically 
disadvantaged, racial, or ethnic minority students are underrepresented 
in charter schools nationwide. We recognize that student demographic 
distributions vary by State and that many charter schools are 
successfully serving diverse student populations, including 
educationally disadvantaged students (i.e., students at risk of 
academic failure) and students who are members of racial or ethnic 
minorities. In addition, the final priorities, requirements, 
definitions, and selection criteria provide opportunities for SEAs to 
demonstrate academic growth as well as improved student academic 
achievement in charter schools for all students, including 
educationally disadvantaged students. For example, paragraph (1) of the 
definition of a high-quality charter

[[Page 34219]]

school requires a charter school to demonstrate increased academic 
achievement and attainment for all students.
    Changes: None.
    Comment: One commenter recommended that the Department consider 
diversity-enhancing policies in the charter, magnet, and non-charter 
school sectors. Specifically, the commenter recommended that the 
Department support strategies that reflect collaborative cross-sector 
efforts and community input, consider actual and potential cross-sector 
student enrollment dynamics and impacts, and broadly increase school 
diversity across all taxpayer-supported school sectors.
    Discussion: We agree that cross-sector collaboration can be useful 
in increasing student body diversity in public schools, including 
charter schools. Although SEAs are the only eligible applicants under 
this program, SEAs have great flexibility to devise charter school 
subgrant programs that promote cross-sector collaboration within the 
parameters of the CSP authorizing statute and applicable regulations.
    Changes: None.
    Comment: One commenter suggested that paragraph (3) of selection 
criterion (d) Quality of Plan to Support Educationally Disadvantaged 
Students, which considers the extent to which an SEA encourages 
innovations in charter schools in order to improve the academic 
achievement of educationally disadvantaged students, and paragraph (2) 
of selection criterion (g) Oversight of Authorized Public Chartering 
Agencies, which considers whether an SEA's plan ensures that 
authorizers are approving charter school petitions with design elements 
that incorporate evidence-based school models and practices, are 
contradictory.
    Discussion: We disagree that the two factors contradict each other. 
For example, an SEA may support charter schools that incorporate 
evidence-based practices into an innovative school model focused on 
improving the academic achievement of educationally disadvantaged 
students. While the entirety of the proposed model may not have been 
evaluated because of the demographics of educationally disadvantaged 
students served, some or all of the individual components of the model 
or practices used may be evidence-based. In the context of selection 
criterion (g) Oversight of Authorized Public Chartering Agencies, the 
intent of encouraging SEAs to propose a plan whereby authorizers 
approve charter schools petitions with design elements that incorporate 
evidence-based school models is to promote rigorous review as it 
relates to authorizing but not to discourage authorizers from approving 
an untested innovative school design model focused on serving a subset 
of educationally disadvantaged students, as long as the model, or 
elements or practices with the model, are sufficiently based in 
research.
    Changes: None.
    Comment: One commenter stated that the Department should require 
SEAs to work with all partners in the field to ensure that the pool of 
charter school developers is diverse and focused on the needs of 
educationally disadvantaged students.
    Discussion: We believe that it is important for SEAs to work with 
other entities that are relevant to charter schools to improve the 
overall quality of the charter school sector and to improve academic 
outcomes for educationally disadvantaged students. To that end, we have 
included selection criteria that ask applicants to discuss their State-
level strategies and plans to serve educationally disadvantaged 
students.
    Changes: None.
    Comment: One commenter recommended that the Department consider 
additional options for a State to submit a competitive application. The 
commenter indicated that, in some States, the chief education officer 
(e.g., superintendent of instruction or similar position) may lack the 
will or ability to advance a strong grant proposal under the CSP Grants 
for SEAs program.
    Discussion: Given that this program awards funds to SEAs, we cannot 
compel a State to advance charter schools when the relevant leadership 
believes that it is not appropriate to do so. In States in which the 
SEA does not have an approved application under the CSP, non-SEA 
eligible applicants (i.e., charter school developers and charter 
schools) may apply directly to the Department for CSP startup and 
dissemination grants. Additional information about the Department's CSP 
Grants to Non-SEA Eligible Applicants program can be found at 
www2.ed.gov/programs/charternonsea/applicant.html.
    Changes: None.
    Comment: One commenter expressed general concern about the 
structure of the priorities, requirements, definitions, and selection 
criteria, stating that the priorities are long and vague and may be 
difficult for the Department to apply. The commenter opined that the 
priorities, requirements, definitions, and selection criteria favor a 
narrow interpretation of sound chartering practices that lacks 
research-based support.
    Discussion: These final priorities, requirements, definitions, and 
selection criteria will form the basis of our CSP Grants for SEAs 
competition for FY 2015 and future years. While we do not identify 
which priorities we will utilize for any particular competition, we 
believe that the substance of the priorities in this NFP is appropriate 
given the amount of Federal funds that will flow to the States and 
their subgrantees. We also disagree that these final priorities, 
requirements, definitions, and selection criteria lack appropriate 
alignment with leading practices. Rather, we believe that these final 
priorities, requirements, definitions, and selection criteria are well-
founded in current educational research and widely-accepted practice.
    For applicants that require additional information about these 
final priorities, requirements, definitions, and selection criteria, 
the Department will include information in each NIA on any planned pre-
application meetings as well as instructions on how to request 
additional information.
    Changes: None.
    Comment: One commenter recommended that the Department add a 
selection criterion to measure the strength of a State's charter school 
law with respect to provisions related to the closure of academically 
poor-performing charter schools.
    Discussion: We agree that an SEA's ability to close academically 
poor-performing charter schools is an important factor in assessing the 
quality of an SEA's grant application. These priorities, requirements, 
definitions, and selection criteria address school closure in several 
areas, including Priority 3--High-Quality Authorizing and Monitoring 
Processes, selection criterion (c) Past Performance, and selection 
criterion (e) Vision for Growth and Accountability. These provisions 
address State charter authorizing practices, including charter school 
closure policies, and their impact on the development of high-quality 
charter schools and closure of academically poor-performing charter 
schools.
    Changes: None.
    Comment: One commenter recommended that we add a new priority 
related to facilities access, based on the following additional 
factors: (1) Funding for facilities; (2) assistance with facilities 
acquisition; (3) access to public facilities; (4) the ability to share 
in bonds or mill levies; (5) the right of first refusal to purchase 
public school buildings; or (6) low- or no-cost leasing privileges.
    Discussion: We support State efforts to assist charter schools in 
acquiring

[[Page 34220]]

facilities. Accordingly, selection criterion (a) State-Level Strategy 
considers the extent to which funding equity for charter school 
facilities is incorporated into the State-level strategy.
    Changes: None.
    Comment: One commenter stated that the proposed priorities 
generally imply that authorizers must follow a uniform path for 
decision-making, that such a path will lead to homogony across 
authorizers, and that this monoculture is not preferable. The commenter 
suggested that the Department address authorizer diversity and an 
authorizer's ability to exercise its own judgment and discretion with 
regard to chartering decisions.
    Discussion: We agree that authorizers should exercise judgment over 
their portfolio of charter schools and should be evaluated based on the 
success of those portfolios. We also note that it is important for SEAs 
to develop and adopt principles and standards around charter school 
authorizing to ensure some level of quality control and public 
accountability within the charter sector if charter schools are to 
fulfill their intended purposes. These final priorities, requirements, 
definitions, and selection criteria enable the Department and peer 
reviewers to evaluate SEA applications regarding quality control and 
public accountability around charter school authorizing within their 
State.
    Changes: None.
    Comment: Two commenters expressed concern about charter schools' 
compliance with open records and meeting laws. One of the commenters 
recommended that the Department require States to ensure that charter 
schools comply with these laws, while the other commenter suggested 
that the Department require SEAs to provide guidance to charter 
schools, LEAs, and authorizers clarifying that neither the Family 
Educational Rights and Privacy Act (FERPA) nor IDEA prevent the sharing 
of student data in an efficient and timely manner.
    Discussion: We support transparency across all aspects of the 
chartering process. Open meetings laws are not addressed in ESEA or 
other areas of Federal law. Therefore, the decision to include charter 
schools in open meetings requirements is a State issue. It is worth 
noting, however, that factors (4) and (6) of selection criterion (g) 
Oversight of Authorized Public Chartering Agencies ask charter schools 
how they comply with all related State laws. Regarding the request to 
add an additional assurance regarding records transfer, we note that 
section 5208 of the ESEA (20 U.S.C. 7221g) requires an SEA and LEA to 
transfer a student's records when that student transfers schools.
    Changes: None.
    Comment: One commenter expressed general concern over parent 
contracts in certain charter school settings. The commenter stated that 
these contracts have the potential to deny eligibility to a student if 
a child's parent or guardian is unable to comply with the contract, and 
that such contracts can have a discriminatory impact on certain 
students. The commenter recommended that the Department determine CSP 
Grants to SEAs program eligibility on the condition that subgrantees 
prohibit parent contracts. The commenter also recommended that the 
Department require school districts, authorizers, and individual 
schools to provide a city-wide, multi-year plan to note demographic 
changes, criteria for new school openings or closings, and equitable 
geographic distribution of schools. Additionally, the commenter asked 
that the Department require authorizers to submit an impact statement 
before approving any new charter school application. Finally, the 
commenter recommended that the Department require an SEA to conduct an 
annual assessment of the cumulative impact of charter schools on 
traditional school districts. This assessment would analyze funding, 
enrollment trends, and educational outcomes.
    Discussion: While the CSP authorizing statute does not expressly 
prohibit parent contracts, SEAs are required to ensure that charter 
schools are providing equal educational opportunities for all students. 
In addition, charter schools receiving CSP subgrants may not charge 
tuition and, as public schools, ls must employ open admissions policies 
and provide all students with an equal opportunity to attend the 
charter school. While SEAs have great flexibility to conduct their 
charter schools subgrant programs in a manner that promotes State goals 
and objectives, they must do so consistent with CSP requirements. Thus, 
SEAs may not require or allow charter schools to employ admissions or 
other policies that are discriminatory or otherwise exclude certain 
students from applying for admission to the charter school.
    With regard to the commenter's request that we require impact 
statements, we do not believe that requiring an SEA to conduct an 
annual impact assessment of charter schools represents the best 
expenditure of CSP funds. Further, elements related to impact could be 
addressed in selection criterion (a) State-Level Strategy, and also 
under selection criterion (g) Oversight of Authorized Public Chartering 
Agencies, through the development of a State-level strategy and 
authorizers' review and monitoring of their school portfolios. For 
these reasons, we decline to impose any of the recommended 
requirements.
    Changes: None.
    Comment: One commenter recommended that the Department require SEAs 
to post information regarding individual charter schools online, such 
as the school's charter, performance contract, and school rules. The 
commenter also stated that members of the charter sector should be 
subject to financial conflict of interest guidelines similar to those 
that magnet schools follow.
    Discussion: We believe that charter schools should be transparent 
in their operations and make information as widely available to the 
public as possible. In addition, charter schools are public schools 
and, as such, are subject to all applicable laws governing information 
access. However, we defer to States regarding the specific information 
they choose to post on a particular Web site.
    Changes: None.
    Comment: One commenter supported the inclusion of the statutory 
priority for States that have a non-LEA authorizer as described in 
section 5202(e)(3)(B) of the ESEA (20 U.S.C. 7221a(e)(3)(B)). The 
commenter expressed the belief that the priority was not included in 
the NPP because the Department does not propose to supplement the 
statutory language, and that the priority should be used in the FY 2015 
CSP Grants for SEAs competition.
    Discussion: The commenter is correct that the final priorities in 
this NFP do not alter the statutory priority described in section 
5202(e)(3)(B) of the ESEA (20 U.S.C. 7221a(e)(3)(B)), which delineates 
priority criteria to incentivize States who have an authorizer that is 
not a LEA or, if only LEAs can authorize charter schools within a given 
State, an appeals process for the denial of a charter school 
application.
    Changes: None.
    Comment: One commenter asked the Department to require applicants 
to submit information about the SEA's process for awarding grants to 
charter schools with a significant expansion of enrollment under the 
CSP program and noted that current CSP regulations give States latitude 
in defining significant expansion of enrollment.
    Discussion: Under this program, the Department awards grants to 
SEAs to assist them in conducting a charter school subgrant program in 
their States. As a general matter, funds may be used

[[Page 34221]]

only for post-award planning and initial implementation of charter 
schools and the dissemination of information about charter schools. The 
CSP Replication and Expansion Grant program (CFDA Number 84.282M) 
awards grants to non-profit charter management organizations (CMOs) and 
other not for-profit entities to support the replication and expansion 
of high-quality charter schools. In limited circumstances, the 
Department has granted waiver requests submitted by SEAs under this 
program to enable the SEA to award a CSP grant to a charter school that 
has substantially expanded its enrollment. Because CSP Grants to SEAs 
generally do not support charter school expansions, however, the 
Department declines to include the proposed requirement.
    Changes: None.
    Comment: One commenter suggested including a note in the NIA 
stating that, while guiding growth within the priorities of a State or 
district is an admirable goal, the application and review process 
should not remove a strong community charter school proposal from 
consideration just because it does not focus on a priority for a State 
or authorizer.
    Discussion: We acknowledge that a community charter school 
applicant may propose models to a specific authorizer that may not be 
aligned with a State's specific priorities for charter growth. While 
SEAs may exercise flexibility in designing and establishing priorities 
for their CSP subgrant programs, they are required to utilize a peer 
review process to evaluate subgrant applications to ensure fairness in 
the competitive subgrant award process and that the highest quality 
applications are approved for funding. We encourage the State to have a 
deliberate plan for innovative charter school growth, but individual 
authorizers approve or reject charter school petitions based on the 
requirements of the applicable State charter school law.
    Changes: None.
    Comment: We received several general comments about the goals 
stated in the Executive Summary section. One commenter stated that 
including annual measurable objectives as the most important factor in 
charter renewal decisions will exclude other equally important factors 
such as health, safety, finances, and governance. Additionally, one 
commenter stated that requiring all subgroups to attain high levels of 
achievement is inappropriate at the present time. Finally, two 
commenters asserted that an SEA should have the authority to establish 
academic outcomes related to its authorizers' portfolios so that the 
SEA can drive systemic and systematic changes in charter practices 
while also increasing the performance standards of a State's charter 
school system.
    Discussion: With regard to the first point, we do not intend to 
imply that annual measurable objectives are the most important factor. 
All enumerated factors are equally important and include the elements 
enumerated by the commenter. Further, we recognize that various 
subgroups will achieve differing gains over time. In addition, while 
SEA oversight authority over authorizers varies based on State charter 
school law, we believe that having a State-Level Strategy provides the 
SEA with an opportunity to create systemic and systematic change while 
also increasing student academic achievement in charter schools.
    With regard to the final point, we disagree with the commenter and 
note that an SEA's authority is an issue of State law. We do, however, 
believe that these priorities, requirements, definitions, and selection 
criteria may motivate a State to exercise a more active role over 
authorizer accountability.
    Changes: None.
    Comment: One commenter commended the Department's focus on 
educationally disadvantaged students and recommended that we reward 
States that present data demonstrating that there is equitable access 
to charter schools for all subgroups.
    Discussion: We believe that equitable access to charter schools for 
all subgroups is addressed in paragraph (2) of selection criterion (d) 
Quality of Plan to Support Educationally Disadvantaged Students. A 
critical aspect of these priorities, requirements, definitions, and 
selection criteria is to ensure equitable access to charter schools for 
students across all subgroups, including educationally disadvantaged 
students. For this reason, we decline to make the suggested revision.
    Changes: None.
    FINAL PRIORITIES:
    Priority 1--Periodic Review and Evaluation.
    To meet this priority, the applicant must demonstrate that the 
State provides for periodic review and evaluation by the authorized 
public chartering agency of each charter school at least once every 
five years, unless required more frequently by State law, and takes 
steps to ensure that such reviews take place. The review and evaluation 
must serve to determine whether the charter school is meeting the terms 
of the school's charter and meeting or exceeding the student academic 
achievement requirements and goals for charter schools as set forth in 
the school's charter or under State law, a State regulation, or a State 
policy, provided that the student academic achievement requirements and 
goals for charter schools established by that policy meet or exceed 
those set forth under applicable State law or State regulation. This 
periodic review and evaluation must include an opportunity for the 
authorized public chartering agency to take appropriate action or 
impose meaningful consequences on the charter school, if necessary.
    Priority 2--Charter School Oversight.
    To meet this priority, an application must demonstrate that State 
law, regulations, or other policies in the State where the applicant is 
located require the following:
    (a) That each charter school in the State--
    (1) Operates under a legally binding charter or performance 
contract between itself and the school's authorized public chartering 
agency that describes the rights and responsibilities of the school and 
the authorized public chartering agency;
    (2) Conducts annual, timely, and independent audits of the school's 
financial statements that are filed with the school's authorized public 
chartering agency; and
    (3) Demonstrates improved student academic achievement; and
    (b) That all authorized public chartering agencies in the State use 
increases in student academic achievement for all groups of students 
described in section 1111(b)(2)(C)(v) of the ESEA (20 U.S.C. 
6311(b)(2)(C)(v)) as one of the most important factors when determining 
whether to renew or revoke a school's charter.
    Priority 3--High-Quality Authorizing and Monitoring Processes.
    To meet this priority, an applicant must demonstrate that all 
authorized public chartering agencies in the State use one or more of 
the following:
    (a) Frameworks and processes to evaluate the performance of charter 
schools on a regular basis that include--
    (1) Rigorous academic and operational performance expectations 
(including performance expectations related to financial management and 
equitable treatment of all students and applicants);
    (2) Performance objectives for each school aligned to those 
expectations;
    (3) Clear criteria for renewing the charter of a school based on an 
objective body of evidence, including evidence that the charter school 
has (a) met the performance objectives outlined in the charter or 
performance contract; (b)

[[Page 34222]]

demonstrated organizational and fiscal viability; and (c) demonstrated 
fidelity to the terms of the charter or performance contract and 
applicable law;
    (4) Clear criteria for revoking the charter of a school if there is 
violation of a law or public trust regarding student safety or public 
funds, or evidence of poor student academic achievement; and
    (5) Annual reporting by authorized public chartering agencies to 
each of their authorized charter schools that summarizes the individual 
school's performance and compliance, based on this framework, and 
identifies any areas that need improvement.
    (b) Clear and specific standards and formalized processes that 
measure and benchmark the performance of the authorized public 
chartering agency or agencies, including the performance of its 
portfolio of charter schools, and provide for the annual dissemination 
of information on such performance;
    (c) Authorizing processes that establish clear criteria for 
evaluating charter applications and include a multi-tiered clearance or 
review of a charter school, including a final review immediately before 
the school opens for its first operational year; or
    (d) Authorizing processes that include differentiated review of 
charter petitions to assess whether, and the extent to which, the 
charter school developer has been successful (as determined by the 
authorized public chartering agency) in establishing and operating one 
or more high-quality charter schools.
    Priority 4--SEAs that Have Never Received a CSP Grant.
    To meet this priority, an applicant must be an eligible SEA 
applicant that has never received a CSP grant.
    Types of Priorities:
    When inviting applications for a competition using one or more 
priorities, we designate the type of each priority as absolute, 
competitive preference, or invitational through a notice in the Federal 
Register. The effect of each type of priority follows:
    Absolute priority: Under an absolute priority, we consider only 
applications that meet the priority (34 CFR 75.105(c)(3)).
    Competitive preference priority: Under a competitive preference 
priority, we give competitive preference to an application by (1) 
awarding additional points, depending on the extent to which the 
application meets the priority (34 CFR 75.105(c)(2)(i)); or (2) 
selecting an application that meets the priority over an application of 
comparable merit that does not meet the priority (34 CFR 
75.105(c)(2)(ii)).
    Invitational priority: Under an invitational priority, we are 
particularly interested in applications that meet the priority. 
However, we do not give an application that meets the priority a 
preference over other applications (34 CFR 75.105(c)(1)).
    FINAL REQUIREMENTS:
    Academically poor-performing charter school: Provide one of the 
following:
    (a) Written certification that, for purposes of the CSP grant, the 
SEA uses the definition of academically poor-performing charter school 
provided in this notice; or
    (b) If the State proposes to use an alternative definition of 
academically poor-performing charter school in accordance with 
paragraph (b) of the definition of the term in this notice, (1) the 
specific definition the State proposes to use; and (2) a written 
explanation of how the proposed definition is at least as rigorous as 
the standard in paragraph (a) of the definition of academically poor-
performing charter school set forth in the Definitions section of this 
notice.
    High-quality charter school: Provide one of the following:
    (a) Written certification that, for purposes of the CSP grant, the 
SEA uses the definition of high-quality charter school provided in this 
notice; or
    (b) If the State proposes to use an alternative definition of high-
quality charter school in accordance with paragraph (b) of the 
definition of the term in this notice, (1) the specific definition the 
State proposes to use; and (2) a written explanation of how the 
proposed definition is at least as rigorous as the standard in 
paragraph (a) of the definition of high-quality charter school set 
forth in the Definitions section of this notice.
    Logic model: Provide a complete logic model (as defined in 34 CFR. 
77.1) for the project. The logic model must address the role of the 
grant in promoting the State-level strategy for expanding the number of 
high-quality charter schools through startup subgrants, optional 
dissemination subgrants, optional revolving loan funds, and other 
strategies.
    Lottery and Enrollment Preferences: Describe (1) how lotteries for 
admission to charter schools will be conducted in the State, including 
any student enrollment preferences or exemptions from the lottery that 
charter schools are required or expressly permitted by the State to 
employ; and (2) any mechanisms that exist for the SEA or authorized 
public chartering agency to review, monitor, or approve such lotteries 
or student enrollment preferences or exemptions from the lottery. In 
addition, the SEA must provide an assurance that it will require each 
applicant for a CSP subgrant to include in its application descriptions 
of its recruitment and admissions policies and practices, including a 
description of the proposed lottery and any enrollment preferences or 
exemptions from the lottery the charter school employs or plans to 
employ, and how those enrollment preferences or exemptions are 
consistent with State law and the CSP authorizing statute (for 
information related to admissions and lotteries under the CSP, please 
see Section E of the CSP Nonregulatory Guidance (January 2014) at 
www2.ed.gov/programs/charter/nonregulatory-guidance.html).
    FINAL DEFINITIONS:
    Academically poor-performing charter school means--
    (a) A charter school that has been in operation for at least three 
years and that--
    (1) Has been identified as being in the lowest-performing five 
percent of all schools in the State and has failed to improve school 
performance (based on the SEA's accountability system under the ESEA) 
over the past three years; and
    (2) Has failed to demonstrate student academic growth of at least 
an average of one grade level for each cohort of students in each of 
the past three years, as demonstrated by statewide or other assessments 
approved by the authorized public chartering agency; or
    (b) An SEA may use an alternative definition for academically poor-
performing charter school, provided that the SEA complies with the 
requirements for proposing to use an alternative definition for the 
term as set forth in paragraph (b) of academically poor-performing 
charter school in the Requirements section of this notice.
    Educationally disadvantaged students means economically 
disadvantaged students, students with disabilities, migrant students, 
limited English proficient students (also referred to as English 
learners or English language learners), neglected or delinquent 
students, or homeless students.
    High-quality charter school means--
    (a) A charter school that shows evidence of strong academic results 
for the past three years (or over the life of the school, if the school 
has been open for fewer than three years), based on the following 
factors:
    (1) Increased student academic achievement and attainment 
(including, if applicable and available, high school graduation rates 
and college and other postsecondary education enrollment rates) for all 
students, including, as

[[Page 34223]]

applicable, educationally disadvantaged students served by the charter 
school;
    (2) Either--
    (i) Demonstrated success in closing historic achievement gaps for 
the subgroups of students described in section 1111(b)(2)(C)(v)(II) of 
the ESEA (20 U.S.C. 6311(b)(2)(C)(v)(II)) at the charter school; or
    (ii) No significant achievement gaps between any of the subgroups 
of students described in section 1111 (b)(2)(C)(v)(II) of the ESEA (20 
U.S.C. 6311) at the charter school and significant gains in student 
academic achievement for all populations of students served by the 
charter school;
    (3) Results (including, if applicable and available, performance on 
statewide tests, annual student attendance and retention rates, high 
school graduation rates, college and other postsecondary education 
attendance rates, and college and other postsecondary education 
persistence rates) for low-income and other educationally disadvantaged 
students served by the charter school that are above the average 
academic achievement results for such students in the State;
    (4) Results on a performance framework established by the State or 
authorized public chartering agency for the purpose of evaluating 
charter school quality; and
    (5) No significant compliance issues, particularly in the areas of 
student safety, financial management, and equitable treatment of 
students; or
    (b) An SEA may use an alternative definition for high-quality 
charter school, provided that the SEA complies with the requirements 
for proposing to use an alternative definition for the term as set 
forth in paragraph (b) of high-quality charter school in the 
Requirements section of this notice.
    Significant compliance issue means a violation that did, will, or 
could (if not addressed or if it represents a pattern of repeated 
misconduct or material non-compliance) lead to the revocation of a 
school's charter by the authorizer.
    FINAL SELECTION CRITERIA:
    (a) State-Level Strategy. The Secretary considers the quality of 
the State-level strategy for using charter schools to improve 
educational outcomes for students throughout the State. In determining 
the quality of the State-level strategy, the Secretary considers one or 
more of the following factors:
    (1) The extent to which the SEA's CSP activities, including the 
subgrant program, are integrated into the State's overall strategy for 
improving student academic achievement and attainment (including high 
school graduation rates and college and other postsecondary education 
enrollment rates) and closing achievement and attainment gaps, and 
complement or leverage other statewide education reform efforts;
    (2) The extent to which funding equity for charter schools 
(including equitable funding for charter school facilities) is 
incorporated into the SEA's State-level strategy; and
    (3) The extent to which the State encourages local strategies for 
improving student academic achievement and attainment that involve 
charter schools, including but not limited to the following:
    (i) Collaboration, including the sharing of data and promising 
instructional and other practices, between charter schools and other 
public schools or providers of early learning and development programs 
or alternative education programs; and
    (ii) The creation of charter schools that would serve as viable 
options for students who currently attend, or would otherwise attend, 
the State's lowest-performing schools.
    (b) Policy Context for Charter Schools. The Secretary considers the 
policy context for charter schools under the proposed project. In 
determining the policy context for charter schools under the proposed 
project, the Secretary considers one or more of the following factors:
    (1) The degree of flexibility afforded to charter schools under the 
State's charter school law, including:
    (i) The extent to which charter schools in the State are exempt 
from State or local rules that inhibit the flexible operation and 
management of public schools; and
    (ii) The extent to which charter schools in the State have a high 
degree of autonomy, including autonomy over the charter school's 
budget, expenditures, staffing, procurement, and curriculum;
    (2) The quality of the SEA's processes for:
    (i) Annually informing each charter school in the State about 
Federal funds the charter school is eligible to receive and Federal 
programs in which the charter school may participate; and
    (ii) Annually ensuring that each charter school in the State 
receives, in a timely fashion, the school's commensurate share of 
Federal funds that are allocated by formula each year, particularly 
during the first year of operation of the school and during a year in 
which the school's enrollment expands significantly; and
    (3) The quality of the SEA's plan to ensure that charter schools 
that are considered to be LEAs under State law and LEAs in which 
charter schools are located will comply with sections 613(a)(5) and 
613(e)(1)(B) of the Individuals with Disabilities Education Act (20 
U.S.C. 1400, et seq.), the Age Discrimination Act of 1975 (42 U.S.C. 
6101, et seq.), title VI of the Civil Rights Act of 1964 (42 U.S.C. 
2000d, et seq.), title IX of the Education Amendments of 1972 (20 
U.S.C. 1681, et seq.), and section 504 of the Rehabilitation Act of 
1973 (29 U.S.C. 794).
    (c) Past Performance. The Secretary considers the past performance 
of charter schools in a State that enacted a charter school law for the 
first time five or more years before submission of its application. In 
determining the past performance of charter schools in such a State, 
the Secretary considers one or more of the following factors:
    (1) The extent to which there has been a demonstrated increase, for 
each of the past five years, in the number and percentage of high-
quality charter schools (as defined in this notice) in the State;
    (2) The extent to which there has been a demonstrated reduction, 
for each of the past five years, in the number and percentage of 
academically poor-performing charter schools (as defined in this 
notice) in the State; and
    (3) Whether, and the extent to which, the academic achievement and 
academic attainment (including high school graduation rates and college 
and other postsecondary education enrollment rates) of charter school 
students equal or exceed the academic achievement and academic 
attainment of similar students in other public schools in the State 
over the past five years.
    (d) Quality of Plan to Support Educationally Disadvantaged 
Students. The Secretary considers the quality of the SEA's plan to 
support educationally disadvantaged students. In determining the 
quality of the plan to support educationally disadvantaged students, 
the Secretary considers one or more of the following factors:
    (1) The extent to which the SEA's charter school subgrant program 
would--
    (i) Assist students, particularly educationally disadvantaged 
students, in meeting and exceeding State academic content standards and 
State student achievement standards; and
    (ii) Reduce or eliminate achievement gaps for educationally 
disadvantaged students;
    (2) The quality of the SEA's plan to ensure that charter schools 
attract, recruit, admit, enroll, serve, and retain educationally 
disadvantaged students equitably, meaningfully, and, with regard to 
educationally disadvantaged

[[Page 34224]]

students who are students with disabilities or English learners, in a 
manner consistent with, as appropriate, the IDEA (regarding students 
with disabilities) and civil rights laws, in particular, section 504 of 
the Rehabilitation Act of 1973, as amended, and title VI of the Civil 
Rights Act of 1964;
    (3) The extent to which the SEA will encourage innovations in 
charter schools, such as models, policies, supports, or structures, 
that are designed to improve the academic achievement of educationally 
disadvantaged students; and
    (4) The quality of the SEA's plan for monitoring all charter 
schools to ensure compliance with Federal and State laws, particularly 
laws related to educational equity, nondiscrimination, and access to 
public schools for educationally disadvantaged students.
    (e) Vision for Growth and Accountability. The Secretary determines 
the quality of the statewide vision, including the role of the SEA, for 
charter school growth and accountability. In determining the quality of 
the statewide vision, the Secretary considers one or more of the 
following factors:
    (1) The quality of the SEA's systems for collecting, analyzing, and 
publicly reporting data on charter school performance, including data 
on student academic achievement, attainment (including high school 
graduation rates and college and other postsecondary education 
enrollment rates), retention, and discipline for all students and 
disaggregated by student subgroup;
    (2) The ambitiousness, quality of vision, and feasibility of the 
SEA's plan (including key actions) to support the creation of high-
quality charter schools during the project period, including a 
reasonable estimate of the number of high-quality charter schools in 
the State at both the beginning and the end of the project period; and
    (3) The ambitiousness, quality of vision, and feasibility of the 
SEA's plan (including key actions) to support the closure of 
academically poor-performing charter schools in the State (i.e., 
through revocation, non-renewal, or voluntary termination of a charter) 
during the project period.
    (f) Dissemination of Information and Best Practices. The Secretary 
considers the quality of the SEA's plan to disseminate information 
about charter schools and best or promising practices of successful 
charter schools to each LEA in the State as well as to charter schools, 
other public schools, and charter school developers (20 U.S.C. 
7221b(b)(2)(C) and 7221c(f)(6)). If an SEA proposes to use a portion of 
its grant funds for dissemination subgrants under section 5204(f)(6)(B) 
of the ESEA (20 U.S.C. 7221c(f)(6)(B)), the SEA should incorporate 
these subgrants into the overall plan for dissemination. In determining 
the quality of the SEA's plan to disseminate information about charter 
schools and best or promising practices of successful charter schools, 
the Secretary considers one or more of the following factors:
    (1) The extent to which the SEA will serve as a leader in the State 
for identifying and disseminating information and research (which may 
include, but is not limited to, providing technical assistance) about 
best or promising practices in successful charter schools, including 
how the SEA will use measures of efficacy and data in identifying such 
practices and assessing the impact of its dissemination activities;
    (2) The quality of the SEA's plan for disseminating information and 
research on best or promising practices used by, and the benefits of, 
charter schools that effectively incorporate student body diversity, 
including racial and ethnic diversity and diversity with respect to 
educationally disadvantaged students, consistent with applicable law;
    (3) The quality of the SEA's plan for disseminating information and 
research on best or promising practices in charter schools related to 
student discipline and school climate; and
    (4) For an SEA that proposes to use a portion of its grant funds to 
award dissemination subgrants under section 5204(f)(6)(B) of the ESEA 
(20 U.S.C. 7221a(f)(6)(B)), the quality of the subgrant award process 
and the likelihood that such dissemination activities will increase the 
number of high-quality charter schools in the State and contribute to 
improved student academic achievement.
    (g) Oversight of Authorized Public Chartering Agencies. The 
Secretary considers the quality of the SEA's plan (including any use of 
grant administrative or other funds) to monitor, evaluate, assist, and 
hold accountable authorized public chartering agencies. In determining 
the quality of the SEA's plan to provide oversight to authorized public 
chartering agencies, the Secretary considers how well the SEA's plan 
will ensure that authorized public chartering agencies are--
    (1) Seeking and approving charter school petitions from developers 
that have the capacity to create charter schools that can become high-
quality charter schools;
    (2) Approving charter school petitions with design elements that 
incorporate evidence-based school models and practices, including, but 
not limited to, school models and practices that focus on racial and 
ethnic diversity in student bodies and diversity in student bodies with 
respect to educationally disadvantaged students, consistent with 
applicable law;
    (3) Establishing measureable academic and operational performance 
expectations for all charter schools (including alternative charter 
schools, virtual charter schools, and charter schools that include pre-
kindergarten, if such schools exist in the State) that are consistent 
with the definition of high-quality charter school in this notice;
    (4) Monitoring their charter schools on at least an annual basis, 
including conducting an in-depth review of each charter school at least 
once every five years, to ensure that charter schools are meeting the 
terms of their charters or performance contracts and complying with 
applicable State and Federal laws;
    (5) Using increases in student academic achievement as one of the 
most important factors in renewal decisions; basing renewal decisions 
on a comprehensive set of criteria, which are set forth in the charter 
or performance contract; and revoking, not renewing, or encouraging the 
voluntary termination of charters held by academically poor-performing 
charter schools;
    (6) Providing, on an annual basis, public reports on the 
performance of their portfolios of charter schools, including the 
performance of each individual charter school with respect to meeting 
the terms of, and expectations set forth in, the school's charter or 
performance contract;
    (7) Supporting charter school autonomy while holding charter 
schools accountable for results and meeting the terms of their charters 
or performance contracts; and
    (8) Ensuring the continued accountability of charter schools during 
any transition to new State assessments or accountability systems, 
including those based on college- and career-ready standards.
    (h) Management Plan and Theory of Action. The Secretary considers 
the quality of the management plan and the project's theory of action. 
In determining the quality of the management plan and the project's 
theory of action, the Secretary considers one or more of the following 
factors:
    (1) The quality, including the cohesiveness and strength of 
reasoning, of the logic model (as defined in 34 CFR 77.1(c)), and the 
extent to which it

[[Page 34225]]

addresses the role of the grant in promoting the State-level strategy 
for using charter schools to improve educational outcomes for students 
through CSP subgrants for planning, program design, and initial 
implementation; optional dissemination subgrants; optional revolving 
loan funds; and other strategies;
    (2) The extent to which the SEA's project-specific performance 
measures, including any measures required by the Department, support 
the logic model; and
    (3) The adequacy of the management plan to--
    (i) Achieve the objectives of the proposed project on time and 
within budget, including the existence of clearly defined 
responsibilities, timelines, and milestones for accomplishing project 
tasks; and
    (ii) Address any compliance issues or findings related to the CSP 
that are identified in an audit or other monitoring review.
    (i) Project Design. The Secretary considers the quality of the 
design of the SEA's charter school subgrant program, including the 
extent to which the project design furthers the SEA's overall strategy 
for increasing the number of high-quality charter schools in the State 
and improving student academic achievement. In determining the quality 
of the project design, the Secretary considers one or more of the 
following factors:
    (1) The quality of the SEA's process for awarding subgrants for 
planning, program design, and initial implementation, and, if 
applicable, for dissemination, including:
    (i) The subgrant application and peer review process, timelines for 
these processes, and how the SEA intends to ensure that subgrants will 
be awarded to eligible applicants demonstrating the capacity to create 
high-quality charter schools; and
    (ii) A reasonable year-by-year estimate, with supporting evidence, 
of (a) the number of subgrants the SEA expects to award during the 
project period and the average size of those subgrants, including an 
explanation of any assumptions upon which the estimates are based; and 
(b) if the SEA has previously received a CSP grant, the percentage of 
eligible applicants that were awarded subgrants and how this percentage 
related to the overall quality of the applicant pool;
    (2) The process for monitoring CSP subgrantees;
    (3) How the SEA will create a portfolio of subgrantees that focuses 
on areas of need within the State, such as increasing student body 
diversity or maintaining a high level of student body diversity, and 
how this focus aligns with the State-Level Strategy;
    (4) The steps the SEA will take to inform teachers, parents, and 
communities of the SEA's charter school subgrant program; and
    (5) A description of any requested waivers of statutory or 
regulatory provisions over which the Secretary exercises administrative 
authority and the extent to which those waivers will, if granted, 
further the objectives of the project.
    This notice does not preclude us from proposing additional 
priorities, requirements, definitions, or selection criteria, subject 
to meeting applicable rulemaking requirements.

    Note: This notice does not solicit applications. In any year in 
which we choose to use one or more of these priorities, 
requirements, and definitions we invite applications through a 
notice in the Federal Register.

Executive Orders 12866 and 13563

Regulatory Impact Analysis

    Under Executive Order 12866, the Secretary must determine whether 
this regulatory action is ``significant'' and, therefore, subject to 
the requirements of the Executive order and subject to review by the 
Office of Management and Budget (OMB). Section 3(f) of Executive Order 
12866 defines a ``significant regulatory action'' as an action likely 
to result in a rule that may--
    (1) Have an annual effect on the economy of $100 million or more, 
or adversely affect a sector of the economy, productivity, competition, 
jobs, the environment, public health or safety, or State, local or 
tribal governments or communities in a material way (also referred to 
as an ``economically significant'' rule);
    (2) Create serious inconsistency or otherwise interfere with an 
action taken or planned by another agency;
    (3) Materially alter the budgetary impacts of entitlement grants, 
user fees, or loan programs or the rights and obligations of recipients 
thereof; or
    (4) Raise novel legal or policy issues arising out of legal 
mandates, the President's priorities, or the principles stated in the 
Executive order.
    This regulatory action would have an annual effect on the economy 
of more than $100 million because we anticipate awarding more than $100 
million in grants to SEAs in FY 2015. Therefore, this action is 
``economically significant'' and subject to review by OMB under section 
3(f)(1) of Executive Order 12866. Notwithstanding this determination, 
we have assessed the potential costs and benefits, both quantitative 
and qualitative, of this final regulatory action and have determined 
that the benefits would justify the costs.
    We have also reviewed this final regulatory action under Executive 
Order 13563, which supplements and explicitly reaffirms the principles, 
structures, and definitions governing regulatory review established in 
Executive Order 12866. To the extent permitted by law, Executive Order 
13563 requires that an agency--
    (1) Propose or adopt regulations only upon a reasoned determination 
that their benefits justify their costs (recognizing that some benefits 
and costs are difficult to quantify);
    (2) Tailor its regulations to impose the least burden on society, 
consistent with obtaining regulatory objectives and taking into 
account--among other things and to the extent practicable--the costs of 
cumulative regulations;
    (3) In choosing among alternative regulatory approaches, select 
those approaches that maximize net benefits (including potential 
economic, environmental, public health and safety, and other 
advantages; distributive impacts; and equity);
    (4) To the extent feasible, specify performance objectives, rather 
than the behavior or manner of compliance a regulated entity must 
adopt; and
    (5) Identify and assess available alternatives to direct 
regulation, including economic incentives--such as user fees or 
marketable permits--to encourage the desired behavior, or provide 
information that enables the public to make choices.
    Executive Order 13563 also requires an agency ``to use the best 
available techniques to quantify anticipated present and future 
benefits and costs as accurately as possible.'' The Office of 
Information and Regulatory Affairs of OMB has emphasized that these 
techniques may include ``identifying changing future compliance costs 
that might result from technological innovation or anticipated 
behavioral changes.''
    We are issuing these final priorities, requirements, definitions 
and selection criteria only on a reasoned determination that their 
benefits justify their costs. In choosing among alternative regulatory 
approaches, we selected those approaches that maximize net benefits. 
Based on the analysis that follows, the Department believes that this 
regulatory action is consistent with the principles in Executive Order 
13563.
    We also have determined that this regulatory action does not unduly 
interfere with State, local, and Tribal

[[Page 34226]]

governments in the exercise of their governmental functions.
    In this regulatory impact analysis we discuss the potential costs 
and benefits of this action, comments we received regarding those costs 
and benefits, and regulatory alternatives we considered.

Discussion of Potential Costs and Benefits

    The Department believes that this regulatory action would not 
impose significant costs on eligible SEAs, whose participation in this 
program is voluntary. This action would not impose requirements on 
participating SEAs apart from those related to preparing an application 
for a CSP grant. The costs associated with meeting these requirements 
are, in the Department's estimation, minimal.
    This regulatory action would strengthen accountability for the use 
of Federal funds by helping to ensure that the Department selects for 
CSP grants the SEAs that are most capable of expanding the number of 
high-quality charter schools available to our Nation's students, 
consistent with the purpose of the program as described in section 5201 
of the ESEA (20 U.S.C. 7221). Similarly, this action would benefit 
participating SEAs by supporting their efforts to encourage the 
development and operation of high-quality charter schools. The 
Department believes that these benefits to the Federal government and 
to SEAs outweigh the costs associated with this action.

Discussion of Comments

    We received several comments expressing concern that this 
regulatory action imposes undue administrative burden on applicants and 
grantees. Although the Department recognizes that there are costs to 
SEAs associated with applying for and receiving CSP grants, we do not 
believe that the requirements imposed on SEAs through this regulatory 
action--which relate only to preparing an application for a CSP grant--
carry significant costs. Moreover, for the reasons noted in the 
preceding section, we believe the benefits of this action to the 
Federal government and to SEAs outweigh those costs.
    We note, in addition, that SEAs receiving CSP grants may use up to 
5 percent of grant funds for administrative costs associated with 
carrying out their grant projects.

Regulatory Alternatives Considered

    The Department believes that the final priorities, requirements, 
definitions, and selection criteria in this notice are needed to 
administer the program effectively. As an alternative to promulgating 
the selection criteria, the Department could choose from among the 
selection factors authorized for CSP grants to SEAs in section 5204(a) 
of the ESEA (20 U.S.C. 7221c(a)) and the general selection criteria in 
34 CFR 75.210. We do not believe that these factors and criteria 
provide a sufficient basis on which to evaluate the quality of 
applications. In particular, the factors and criteria would not 
sufficiently enable the Department to assess an applicant's past 
performance with respect to the operation of high-quality charter 
schools or the closure of academically poor-performing charter schools 
(as examined under selection criterion (c) Past Performance) or its 
plan to hold authorized public chartering agencies accountable for the 
performance of charter schools that they approve (as under selection 
criterion (g) Oversight of Authorized Public Chartering Agencies), 
considerations which are critically important in determining applicant 
quality.
    We note that several of the priorities, requirements, and selection 
criteria in this NFP are based on priorities, requirements, selection 
criteria, and other provisions in the authorizing statute for this 
program.

Accounting Statement

    As required by OMB Circular A-4 (available at www.whitehouse.gov/sites/default/files/omb/assets/omb/circulars/a004/a-4.pdf), in the 
following table we have prepared an accounting statement showing the 
classification of the expenditures associated with the provisions of 
this regulatory action. This table provides our best estimate of the 
changes in annual monetized transfers as a result of this regulatory 
action. Expenditures are classified as transfers from the Federal 
Government to SEAs.

      Accounting Statement Classification of Estimated Expenditures
                              [In millions]
------------------------------------------------------------------------
                 Category                             Transfers
------------------------------------------------------------------------
Annualized Monetized Transfers............  $115.
From Whom To Whom?                          From The Federal Government
                                             to SEAs.
------------------------------------------------------------------------

    Intergovernmental Review: This program is subject to Executive 
Order 12372 and the regulations in 34 CFR part 79. One of the 
objectives of the Executive order is to foster an intergovernmental 
partnership and a strengthened federalism. The Executive order relies 
on processes developed by State and local governments for coordination 
and review of proposed Federal financial assistance.
    This document provides early notification of our specific plans and 
actions for this program.

Waiver of Congressional Review Act

    These regulations have been determined to be major for purposes of 
the Congressional Review Act (CRA) (5 U.S.C. 801, et seq.). Generally, 
under the CRA, a major rule takes effect 60 days after the date on 
which the rule is published in the Federal Register. Section 808(2) of 
the CRA, however, provides that any rule which an agency for good cause 
finds (and incorporates the finding and a brief statement of reasons 
therefor in the rule issued) that notice and public procedure thereon 
are impracticable, unnecessary, or contrary to the public interest, 
shall take effect at such time as the Federal agency promulgating the 
rule determines.
    These final priorities, requirements, definitions, and selection 
criteria are needed to conduct the 2015 CSP Grants for SEAs 
competition. The Department must award funds authorized for this 
program under the FY 2015 Appropriations Act for this competition to 
qualified applicants by September 30, 2015, or the funds will lapse. 
Even on an extremely expedited timeline, it is impracticable for the 
Department to adhere to a 60-day delayed effective date for the final 
priorities, requirements, definitions, and selection criteria and make 
grant awards to qualified applicants by the September 30, 2015 
deadline. When the 60-day delayed effective date is added to the time 
the Department will need to receive applications (approximately 35 
days), review the applications (approximately 45 days), and finally 
approve applications (approximately 30 days), the Department will not 
be able to allocate funds authorized under the FY 2015 Appropriations 
Act to all qualified applicants by September 30, 2015.
    Not being able to allocate the approximately $116 million would 
have a significant negative effect on the quality of charter schools 
and public accountability and oversight. The Department has therefore 
determined that, pursuant to section 808(2) of the CRA, the 60-day 
delay in the effective date generally required for congressional review 
is impracticable, contrary to the public interest, and waived for good 
cause.
    Accessible Format: Individuals with disabilities can obtain this 
document in an accessible format (e.g., braille, large print, 
audiotape, or compact disc) on

[[Page 34227]]

request to either of the program contact persons listed under FOR 
FURTHER INFORMATION CONTACT.
    Electronic Access to This Document: The official version of this 
document is the document published in the Federal Register. Free 
Internet access to the official edition of the Federal Register and the 
Code of Federal Regulations is available via the Federal Digital System 
at: www.thefederalregister.org/fdsys. At this site you can view this document, as well 
as all other documents of this Department published in the Federal 
Register, in text or Adobe Portable Document Format (PDF). To use PDF 
you must have Adobe Acrobat Reader, which is available free at the 
site.
    You may also access documents of the Department published in the 
Federal Register by using the article search feature at: 
www.federalregister.gov. Specifically, through the advanced search 
feature at this site, you can limit your search to documents published 
by the Department.

    Dated: June 8, 2015.
Nadya Chinoy Dabby,
Assistant Deputy Secretary for Innovation and Improvement.
[FR Doc. 2015-14391 Filed 6-12-15; 8:45 am]
 BILLING CODE 4000-01-P



                                                                                                        Vol. 80                           Monday,
                                                                                                        No. 114                           June 15, 2015




                                                                                                        Part II


                                                                                                        Department of Education
                                                                                                        34 CFR Subtitle A
                                                                                                        Final Priorities, Requirements, Definitions, and Selection Criteria; Charter
                                                                                                        Schools Program Grants to State Educational Agencies; Applications for
                                                                                                        New Awards; Final Rule and Notice
asabaliauskas on DSK5VPTVN1PROD with RULES




                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00001   Fmt 4717   Sfmt 4717   E:\FR\FM\15JNR2.SGM   15JNR2


                                                  34202               Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations

                                                  DEPARTMENT OF EDUCATION                                 action announces four priorities, four                 selection criteria (NFP or notice)
                                                                                                          requirements, four definitions, and nine               streamlines the CSP application process.
                                                  34 CFR Subtitle A                                       selection criteria that may be used for                For example, selection criterion (f)
                                                  [Docket ID ED–2014–OII–0019]                            CSP Grants to SEAs competitions in FY                  Dissemination of Information and Best
                                                                                                          2015 and later years. This regulatory                  Practices combines two statutory
                                                  Final Priorities, Requirements,                         action’s purpose is to achieve three                   criteria that have been used separately
                                                  Definitions, and Selection Criteria;                    main goals.                                            in previous competitions, asking
                                                  Charter Schools Program Grants to                          The first goal is to ensure that CSP                applicants to describe their plans to
                                                  State Educational Agencies                              funds are directed toward the creation                 disseminate best or promising practices
                                                                                                          of high-quality charter schools. For                   of charter schools to each local
                                                  Catalog of Federal Domestic Assistance                  example, we are creating a selection                   educational agency (LEA) in the State
                                                    (CFDA) Number: 84.282A                                criterion to ask applicants to explain                 and to describe their dissemination
                                                  AGENCY:  Office of Innovation and                       how charter schools fit into the State’s               subgrant awards processes, thereby
                                                  Improvement, Department of Education.                   broader education reform strategy. In                  decreasing the burden on applicants.
                                                  ACTION: Final priorities, requirements,                 addition, the selection criteria request               Additional discussion regarding the
                                                  definitions, and selection criteria.                    information from the SEA regarding                     final priorities, requirements,
                                                                                                          how it will manage and report on                       definitions, and selection criteria can be
                                                  SUMMARY:    The Assistant Deputy                        project performance.                                   found in the Public Comment section of
                                                  Secretary for Innovation and                               The second goal is to strengthen                    this document.
                                                  Improvement announces priorities,                       public accountability and oversight for                   Costs and Benefits: The Department
                                                  requirements, definitions, and selection                authorized public chartering agencies                  believes that the benefits of this
                                                  criteria under the Charter Schools                      (also referred to as authorizers). The                 regulatory action outweigh any
                                                  Program (CSP) Grants to State                           priorities, requirements, definitions, and             associated costs, which we believe will
                                                  Educational Agencies (SEAs). The                        selection criteria collectively provide                be minimal. This action will not impose
                                                  Assistant Deputy Secretary may use one                  incentives for SEAs to implement CSP                   cost-bearing requirements on
                                                  or more of these priorities,                            requirements, as well as State law and                 participating SEAs apart from those
                                                  requirements, definitions, and selection                policies, in a manner that encourages                  related to preparing an application for a
                                                  criteria for competitions in fiscal year                authorized public chartering agencies to               CSP grant and would strengthen
                                                  (FY) 2015 and later years.                              focus on school quality through rigorous               accountability for the use of Federal
                                                  DATES: These priorities, requirements,
                                                                                                          and transparent charter approval                       funds by helping to ensure that the
                                                  definitions and selection criteria are                  processes. For example, Priority 1—                    Department awards CSP grants to SEAs
                                                  effective July 15, 2015.                                Periodic Review and Evaluation and                     that are most capable of expanding the
                                                                                                          Priority 2—Charter School Oversight                    number of high-quality charter schools
                                                  FOR FURTHER INFORMATION CONTACT:
                                                                                                          give priority to SEAs that take steps to               available to our Nation’s students.
                                                  Kathryn Meeley, U.S. Department of                      improve public accountability and
                                                  Education, 400 Maryland Avenue SW.,                                                                            Please refer to the Regulatory Impact
                                                                                                          oversight for charter schools within the               Analysis in this NFP for a more detailed
                                                  Room 4W257, Washington, DC 20202–                       State, including by holding authorized
                                                  5970. Telephone: (202) 453–6818 or by                                                                          discussion of costs and benefits.
                                                                                                          public chartering agencies accountable                    Purposes of Program: The purpose of
                                                  email: Kathryn.Meeley@ed.gov.                           for the quality of the charter schools in              the CSP is to increase national
                                                     If you use a telecommunications                      their portfolios.                                      understanding of the charter school
                                                  device for the deaf (TDD) or a text                        The third goal is to support and                    model by:
                                                  telephone (TTY), call the Federal Relay                 improve academic outcomes for                             (1) Providing financial assistance for
                                                  Service (FRS), toll free, at 1–800–877–                 educationally disadvantaged students.                  the planning, program design, and
                                                  8339.                                                   Our commitment to equitable outcomes                   initial implementation of charter
                                                  SUPPLEMENTARY INFORMATION:                              for all students, continued growth of                  schools;
                                                                                                          high-quality charter schools, and                         (2) Evaluating the effects of charter
                                                  Executive Summary                                       addressing ongoing concerns about                      schools, including the effects on
                                                     Purpose of This Regulatory Action:                   educationally disadvantaged students’                  students, student achievement, student
                                                  The Assistant Deputy Secretary for                      access to and performance in charter                   growth, staff, and parents;
                                                  Innovation and Improvement announces                    schools, compel the Department to                         (3) Expanding the number of high-
                                                  the final priorities, requirements,                     encourage a continued focus on                         quality charter schools available to
                                                  definitions, and selection criteria for                 students at the greatest risk of academic              students across the Nation; and
                                                  CSP Grants to SEAs. The Assistant                       failure. A critical component of serving                  (4) Encouraging the States to provide
                                                  Deputy Secretary may use one or more                    all students, including educationally                  support to charter schools for facilities
                                                  of these priorities, requirements,                      disadvantaged students, is                             financing in an amount more nearly
                                                  definitions, and selection criteria for                 consideration of student body diversity,               commensurate to the amount the States
                                                  competitions in FY 2015 and later years.                including racial, ethnic, and                          have typically provided for traditional
                                                  We take this action in order to support                 socioeconomic diversity. For example,                  public schools.
                                                  the development of high-quality charter                 the selection criteria encourage                          The purpose of the CSP Grants to
                                                  schools throughout the Nation by                        applicants to meaningfully incorporate                 SEAs is to enable SEAs to provide
                                                  strengthening several components of the                 student body diversity into charter                    financial assistance, through subgrants
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  CSP Grants to SEAs program, including                   school models and practices and ask                    to eligible applicants, for the planning,
                                                  accountability for grantees,                            applicants to describe specific actions                program design, and initial
                                                  accountability and oversight for                        they would take to support                             implementation of charter schools and
                                                  authorized public chartering agencies in                educationally disadvantaged students                   for the dissemination of information
                                                  a State, and support for educationally                  through charter schools.                               about successful charter schools,
                                                  disadvantaged students.                                    In addition to the three goals outlined             including practices that existing charter
                                                     Summary of the Major Provisions of                   above, we believe this notice of final                 schools have demonstrated are
                                                  This Regulatory Action: This regulatory                 priorities, requirements, definitions, and             successful.


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00002   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                                      Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations                                          34203

                                                    Program Authority: The CSP is                            Discussion: We agree that the                       opportunity for the authorizer to take
                                                  authorized under Title V, Part B,                       priorities, requirements, definitions and              appropriate action or impose
                                                  Subpart 1 of the Elementary and                         selection criteria should be consistent                meaningful consequences on the school
                                                  Secondary Education Act of 1965, as                     with the FY 2015 Appropriations Act,                   for failing to meet certain performance
                                                  amended (ESEA) (20 U.S.C. 7221–                         which was enacted after publication of                 standards, it does not prevent the
                                                  7221j); and the Consolidated and                        the NPP in the Federal Register.                       authorizer from determining a more
                                                  Further Continuing Appropriations Act,                  Accordingly, we have modified Priority                 tailored approach under specific
                                                  2015 (FY 2015 Appropriations Act),                      2—Charter School Oversight and                         circumstances.
                                                  Public Law 113–235.                                     selection criterion (g) Oversight of                      Finally, we note that the priority is
                                                    We published a notice of proposed                     Authorized Public Chartering Agencies                  designed to strengthen authorizer
                                                  priorities, requirements, definitions, and              to reflect the language in the FY 2015                 oversight. In specific instances, certain
                                                  selection criteria for this program in the              Appropriations Act. We decline,                        State laws allow charters to be awarded
                                                  Federal Register on November 19, 2014                   however, to make any additional                        for a term of up to 15 years before being
                                                  (NPP) (79 FR 68812). That NPP                           changes to Priority 1.                                 evaluated for renewal. In such
                                                  contained background information and                       Regarding the comment that Priority 1               circumstances, this priority is designed
                                                  our reasons for proposing the particular                should be a minimum requirement, we                    to promote more frequent reviews and
                                                  priorities, requirements, definitions, and              agree with the commenter that it is                    evaluations. An SEA in a State that
                                                  selection criteria.                                     important for authorizers to conduct                   requires authorizers to conduct reviews
                                                    The Analysis of Comments and                          periodic reviews to evaluate how well                  and evaluations more frequently than
                                                  Changes section in this NFP describes                   their charter schools are performing.                  every five years will not be penalized.
                                                  the differences between the priorities,                 This priority is derived largely from a                   Changes: None.
                                                  requirements, and definitions we                        priority in the CSP authorizing statute                   Comment: Several commenters stated
                                                  proposed in the NPP and these final                     (20 U.S.C. 7221a(e)(2)), and we believe                that the language of Priority 1 is unclear
                                                  priorities, requirements, definitions, and              that it is appropriate to retain it as a               and some recommended that we delete
                                                  selection criteria.                                     priority in this NFP.                                  the priority. One commenter inquired
                                                    Public Comment: In response to our                       Finally, we note that each priority can             whether Priority 1 is designed to
                                                  invitation in the NPP, 26 parties                       be used independently in any given                     address a specific policy concern,
                                                  submitted comments on the proposed                      competition. We believe that the                       stating that they were unaware of any
                                                  priorities, requirements, definitions, and              overlapping elements across some of the                scenario in which a State would have a
                                                  selection criteria.                                     priorities emphasize critical factors and              charter school policy in place that is
                                                    We group major issues according to                    provide the Department with flexibility                inconsistent with existing State law.
                                                  subject. Generally, we do not address                   to use or not use a particular priority in             Another commenter objected to the
                                                  technical and other minor changes. In                   any given year.                                        reference to the authorizer taking
                                                  addition, we do not address comments                       Changes: None.                                      appropriate action, and also
                                                  that raise concerns not directly related                   Comment: One commenter expressed                    recommended that we remove the
                                                  to the priorities, requirements,                        concern that Priority 1 diminishes the                 reference to the student academic
                                                  definitions, or selection criteria.                     ability of an authorized public                        achievement requirements and goals set
                                                    Analysis of Comments and Changes:                     chartering agency (authorizer) to tailor               forth in a State policy exceeding such
                                                  An analysis of the comments and of any                  charter contracts and performance                      requirements in State law. Finally, one
                                                  changes in the priorities, requirements,                standards in accordance with the needs                 commenter recommended that Priority 1
                                                  definitions, and selection criteria since               of the charter school and its students.                be revised to ensure that the periodic
                                                  publication of the NPP follows.                         The commenter also suggested that                      reviews actually take place.
                                                  Priorities                                              charter schools would act responsibly                     Discussion: Priority 1 is designed to
                                                                                                          without this priority. Similarly, one                  clarify that performance standards for
                                                  Priority 1—Periodic Review and                          commenter stated that Priority 1                       charter schools (including those related
                                                  Evaluation                                              removes local control of a charter                     to student academic achievement)
                                                     Comment: We received several                         school. Finally, one commenter asserted                should be established in accordance
                                                  general comments regarding Priority 1.                  that the priority implies that an                      with a State law, a State regulation, or
                                                  One commenter expressed support for                     authorizer will conduct a review only                  a State policy to ensure the rigor of
                                                  the priority. Another commenter                         once every five years at the time of                   these performance standards across the
                                                  recommended that we revise the                          charter renewal, and suggested that this               State. Therefore, we decline to delete
                                                  language of Priority 1 to reflect language              will weaken authorizer oversight.                      this priority.
                                                  in the FY 2015 Appropriations Act that                     Discussion: This priority is based on                  In addition, we decline to remove
                                                  requires each SEA to provide an                         section 5202(e)(2) of the ESEA (20                     from Priority 1 the statement that
                                                  assurance that authorizers in the State                 U.S.C. 7221a(e)(2)), which requires the                periodic review and evaluation provides
                                                  use increases in student academic                       Department to give priority to SEAs in                 an opportunity for authorizers to take
                                                  achievement as one of the most                          States that provide for periodic review                appropriate action or impose
                                                  important factors, as opposed to the                    and evaluation of a charter school by its              meaningful consequences on the charter
                                                  most important factor, when                             authorizer at least once every five years.             school, if necessary. Often, the State
                                                  determining whether to renew or revoke                  In addition, we disagree that the priority             charter school law, regulations, or
                                                  a school’s charter. Another commenter                   will diminish an authorizer’s ability to               policies that stipulate performance
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  suggested that we designate this priority               tailor charter contracts or performance                standards applicable to charter schools
                                                  as a minimum requirement for                            standards to a specific charter school.                do not specify actions associated with
                                                  applicants rather than a priority that the              Rather, with this priority, we can                     meeting or failing to meet those
                                                  Department may or may not utilize in                    reward States that provide for periodic                performance standards. Given the
                                                  any particular competition year. Finally,               review and evaluation of each charter                  underlying premise of charter schools—
                                                  several commenters suggested that there                 school by the authorizer, at a minimum,                greater autonomy in exchange for
                                                  is overlap between Priority 1 and the                   once every five years. Furthermore,                    accountability—we believe this
                                                  other three priorities.                                 while the review provides an                           language is critical to ensure that the


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00003   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                  34204               Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations

                                                  periodic review and evaluation result in                designate the priorities to ensure that                survey is a data collection and data
                                                  deliberate, meaningful action if a charter              funded projects address the most                       census effort supported by NCES,
                                                  school is failing to meet the standards                 pressing areas of need for competitions                whereas Priority 2 is concerned
                                                  of its charter or State charter law,                    in FY 2015 and later years. When                       primarily with charter school oversight
                                                  regulation, or policy.                                  inviting applications for a competition                by authorized public chartering
                                                    Changes: We agree that additional                     using one or more of these priorities, we              agencies. We do not believe that
                                                  language in Priority 1 is necessary to                  will designate the type of each priority               requiring SEAs to complete a census
                                                  ensure that periodic reviews actually                   through a notice published in the                      report in order to meet this priority
                                                  take place. For this reason, we have                    Federal Register.                                      would strengthen or otherwise improve
                                                  revised Priority 1 to add that, in order                   We agree that Priority 2 should reflect             charter school oversight.
                                                  to meet the priority, SEAs must take                    the language in the FY 2015                               Changes: None.
                                                  steps to ensure that periodic reviews                   Appropriations Act, which was enacted
                                                                                                                                                                    Comment: One commenter suggested
                                                  take place. We believe this revision is                 after publication of the NPP in the
                                                                                                                                                                 that the Department require SEAs to
                                                  consistent with the intent of the relevant              Federal Register, and have made the
                                                                                                          appropriate change to Priority 2.                      provide an assurance that charter
                                                  priority in the authorizing statute.
                                                    Comment: None.                                        Likewise, in accordance with the FY                    schools will comply with the
                                                    Discussion: The Department                            2015 Appropriations Act, we believe                    McKinney-Vento Homeless Assistance
                                                  determined through internal review that                 paragraph (b) needs to remain part of                  Act (McKinney-Vento) (42 U.S.C. 11301,
                                                  the last sentence of Priority 1 should be               Priority 2 and have opted to retain the                et seq.) and that charter schools ensure
                                                  clarified to emphasize that the                         reference to a legally binding charter or              their compliance by designating a
                                                  authorizer must have an opportunity to                  performance contract in paragraph (a)(1)               McKinney-Vento Homeless liaison
                                                  take appropriate action in order for an                 of Priority 2.                                         within the LEA in order to meet Priority
                                                  SEA to meet this priority.                                 Changes: In conformance with the FY                 2.
                                                    Changes: We have revised the last                     2015 Appropriations Act, we have                          Discussion: In order to qualify for
                                                  sentence of Priority 1 to clarify that                  revised paragraph (b) of Priority 2 to                 funds under the CSP, a charter school
                                                  periodic review and evaluation must                     state that student achievement is one of               must provide all students in the
                                                  include an opportunity for the                          the most important factors, as opposed                 community, including educationally
                                                  authorized public chartering agency to                  to the most important factor, when                     disadvantaged students, such as those
                                                  take appropriate action or impose                       determining whether to renew or revoke                 served under McKinney-Vento, with an
                                                  meaningful consequences on the charter                  a school’s charter.                                    equal opportunity to attend the charter
                                                  school, if necessary.                                      Comment: One commenter                              school. Charter schools that are
                                                                                                          recommended that Priority 2 require                    considered to be independent LEAs
                                                  Priority 2—Charter School Oversight
                                                                                                          annual financial audits and that the                   under the applicable State’s charter
                                                     Comment: We received several                         information from such audits describe                  school law must comply with
                                                  general comments regarding Priority 2—                  public and private contributions. The                  McKinney-Vento on the same basis as
                                                  Charter School Oversight. One                           commenter also suggested that this                     other LEAs. For these reasons, we
                                                  commenter expressed support for the                     information be made public and that the                decline to revise Priority 2 as suggested
                                                  priority. One commenter recommended                     Department strengthen the priority by                  by the commenter.
                                                  that we designate this priority an                      requiring that charter schools include                    Changes: None.
                                                  absolute priority. Another commenter                    F–33 survey data (i.e., LEA finance
                                                  recommended that we revise the                                                                                    Comment: One commenter expressed
                                                                                                          survey data on revenues and
                                                  priority to include language added to                                                                          concern that paragraph (a)(3) of Priority
                                                                                                          expenditures) collected by the
                                                  the FY 2015 Appropriations Act.                                                                                2 would require State law to mandate
                                                                                                          Department’s National Center for
                                                  Specifically, the commenter                                                                                    that every charter school demonstrate
                                                                                                          Education Statistics (NCES).
                                                  recommended that paragraph (b) be                          Discussion: We agree with the                       academic improvement and
                                                  eliminated, and that paragraph (a)(1)                   commenter that fiscal responsibility and               recommended that the Department
                                                  refer only to legally binding                           public reporting are critical aspects of               make this an assurance rather than a
                                                  performance contracts rather than to                    charter school oversight. Accordingly,                 priority. The commenter stated that it is
                                                  legally binding charters or performance                 the NFP includes a priority and a                      unlikely that every charter school in a
                                                  contracts. Finally, one commenter                       selection criterion regarding authorizer               State would demonstrate such
                                                  expressed concern about requiring the                   monitoring of operational performance                  improvement and that some charter
                                                  use of increases in student academic                    expectations, including financial                      schools may have such a high level of
                                                  achievement by subgroup as the most                     management, and annual public                          achievement that further improvement
                                                  important factor in determining whether                 reporting of charter school performance                is not possible.
                                                  to renew or revoke a charter. The                       (see Priority 3—High-Quality                              Discussion: An SEA is not required to
                                                  commenter recommended that the                          Authorizing and Monitoring Processes                   demonstrate improved student
                                                  Department remove this requirement                      and selection criterion (g) Oversight of               academic achievement in order to meet
                                                  and substitute language that would                      Authorized Public Chartering Agencies).                the priority. First, if designated a
                                                  allow greater authorizer discretion in                  We note, also, that in order for an SEA                competitive preference or invitational
                                                  making these renewal or revocation                      to meet Priority 2, all charter schools in             priority, Priority 2 would not impose
                                                  decisions.                                              the State must be required to file with                requirements on applicants. While
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                     Discussion: This NFP establishes the                 their authorizers, on an annual basis,                 applicants would be required to meet an
                                                  priorities that we may choose to use in                 independent audits of their financial                  absolute priority, under Priority 2, an
                                                  the CSP Grants for SEAs competitions in                 statements. We believe these elements                  SEA would have to show only that State
                                                  FY 2015 and later years. We do not                      address the commenter’s concerns and,                  law, regulation, or policy requires each
                                                  designate whether a priority will be                    therefore, decline to revise Priority 2.               charter school in the State to
                                                  absolute, competitive preference, or                       We decline to require that SEAs                     demonstrate improved student
                                                  invitational in this NFP; we retain the                 submit F–33 data for charter schools in                academic achievement.
                                                  flexibility to determine how best to                    order to meet this priority. The F–33                     Changes: None.


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00004   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                                      Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations                                           34205

                                                  Priority 3—High-Quality Authorizing                     of chartering authority for persistently               specific standards, we have revised this
                                                  and Monitoring Processes                                poor-performing authorizers. This                      section to clarify that, in order for the
                                                     Comment: We received several                         priority is designed to encourage States               SEA to meet the priority, each
                                                  general comments regarding Priority 3—                  to ensure quality practices for charter                authorizer in the State should be
                                                  High-Quality Authorizing and                            school authorizing and to take                         measuring and benchmarking
                                                  Monitoring Processes. One commenter                     appropriate action to strengthen charter               performance and disseminating the
                                                  expressed support for the priority.                     school authorizing across the State, as                results annually, but the SEA does not
                                                  Another commenter recommended that                      necessary. It also is designed to                      need to develop a standardized system
                                                  Priority 3 be mandatory for all                         accommodate a wide range of State                      across all authorizers.
                                                                                                          contexts, including where the SEA itself                  Changes: We have revised paragraph
                                                  applicants. Another commenter
                                                                                                          is an authorizer, and where an SEA may                 (a)(2) of Priority 3—High-Quality
                                                  recommended designating Priority 3 as
                                                                                                          or may not have the authority to revoke                Authorizing and Monitoring Processes
                                                  an invitational priority because the                                                                           to refer to the performance objectives for
                                                                                                          the authorizer role from an organization.
                                                  priority necessitates oversight and                                                                            each school instead of school-specific
                                                                                                          We believe that Priority 3 is sufficiently
                                                  monitoring that could be contrary to the                                                                       performance objectives to clarify that
                                                                                                          rigorous and fully addresses
                                                  practices States have already                                                                                  the objectives must be aligned to the
                                                                                                          Congressional intent while still meeting
                                                  established. In addition, a commenter                                                                          rigorous academic and operational
                                                                                                          the needs of SEAs in varying contexts.
                                                  stated that Priority 3 could favor States                  Changes: None.                                      performance expectations established by
                                                  with a single authorizer and not work to                   Comment: One commenter suggested                    the authorizer. We also have revised
                                                  strengthen authorizer diversity.                        that we revise paragraph (a)(2) of                     paragraph (b) of Priority 3 to specify that
                                                     Discussion: This priority is designed                Priority 3 to state that performance                   authorizers must use clear and specific
                                                  to provide an incentive to States to                    objectives may, rather than must, be                   standards and formalized processes that
                                                  adopt high-quality authorizing and                      school-specific. Additionally, the                     measure and benchmark authorizer
                                                  monitoring processes. As discussed                      commenter recommended that the                         performance, instead of standardized
                                                  above, this NFP is designed only to                     Department clarify whether the                         systems, to clarify our intent.
                                                  establish the priorities that we may                    reference to standardized systems that                    Comment: One commenter
                                                  choose to use in the CSP Grants for                     measure and benchmark performance of                   recommended that we revise paragraph
                                                  SEAs competitions in FY 2015 and later                  the authorizer in paragraph (b) of                     (a)(2) of Priority 3 to allow charter
                                                  years. Accordingly, we decline to                       Priority 3 applies to authorizers or                   schools to create school-specific
                                                  designate this priority as absolute,                    SEAs. Another commenter                                performance objectives that meet some
                                                  competitive preference, or invitational                 recommended changing standardized                      or all of the outlined expectations rather
                                                  in this NFP. While Priority 3 is intended               systems to standardized reporting in                   than all expectations.
                                                  to strengthen authorizer quality, it is not             this paragraph.                                           Discussion: We believe that it is
                                                  designed to address authorizer diversity.                  Discussion: We believe that                         important for schools to establish
                                                  We believe that States with a single                    performance objectives that are                        performance objectives that are aligned
                                                  authorizer, as well as States with                      developed for each charter school and                  with all academic and operational
                                                  multiple authorizers, can meet this                     tie to rigorous academic and operational               expectations and that high-quality
                                                  priority by focusing on overall                         performance expectations are critical to               charter schools should meet all
                                                  authorizer quality.                                     the evaluation of school performance.                  performance objectives. While a charter
                                                     Changes: None.                                       While some performance objectives may                  school that fails to meet all of its
                                                     Comment: One commenter suggested                     be used by the authorizer for more than                performance objectives should not
                                                  we revise Priority 3 to include                         one school, a school’s performance                     automatically have its charter revoked,
                                                  performance benchmarks that would                       objectives serve as the basis for                      we believe that authorizers should
                                                  trigger prompt inquiry by an SEA of an                  measuring performance at that specific                 evaluate a charter school’s performance
                                                  authorizer that is persistently poor-                   school, and we believe that some of                    based on performance objectives that are
                                                  performing. The commenter also                          these objectives must be school specific               aligned with the academic and
                                                  suggested revisions that would provide                  in order to evaluate school performance                operational performance expectations
                                                  for ongoing public dissemination of                     effectively. However, to clarify the                   that have been established for the
                                                  authorizers’ performance information,                   purpose of this priority, we have revised              charter school. Periodic review and
                                                  thus increasing accountability for                      paragraph (a)(2) of Priority 3 to state that           evaluation allows an authorizer to
                                                  authorizers.                                            performance objectives for each charter                assess a charter school’s performance
                                                     Another commenter expressed                          school must be aligned to the rigorous                 with respect to defined expectations and
                                                  concerns about the disruptive nature of                 academic and operational performance                   ensures that charter schools are held
                                                  charter school closures and suggested                   expectations established by the                        accountable for academic and
                                                  that the Department place a greater                     authorizer.                                            organizational performance objectives.
                                                  emphasis on high standards for                             We note that paragraph (b) of Priority              We also note that a charter school or
                                                  authorizer performance, including                       3 gives priority to SEAs that                          authorizer can establish performance
                                                  consequences for persistently poor-                     demonstrate that all authorizers use                   expectations and objectives that are
                                                  performing authorizers. The commenter                   standardized systems to measure and                    more rigorous or cover more areas than
                                                  stated that the Department should focus                 benchmark their performance, and was                   specified under State law.
                                                  more on the charter application phase to                not intended to imply that an entity                      Changes: None.
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  ensure that the authorizer’s review of                  other than the authorizer would develop                   Comment: One commenter suggested
                                                  charter applications is sufficiently                    or implement these systems. We also                    revising paragraph (d) of Priority 3 to
                                                  rigorous in order to minimize the                       agree that the term ‘‘standardized                     remove the reference to differentiated
                                                  number of charter closures.                             systems’’ could be misunderstood and                   review based on whether the developer
                                                     Discussion: We agree that the public                 understand the recommendation that we                  has been successful in establishing and
                                                  should be informed about authorizer                     change this reference to ‘‘standardized                operating one or more high-quality
                                                  performance, and that mechanisms                        reporting.’’ However, because our intent               charter schools. The commenter also
                                                  should exist to facilitate the termination              is to require a State to develop clear and             suggested removing the reference to


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00005   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                  34206               Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations

                                                  high-quality when referring to charter                  certain qualitative data or additional                 authorizer. We believe paragraph (b),
                                                  schools. Another commenter stated that,                 circumstances that authorizers consider                with our previously described revisions,
                                                  with respect to the concept of                          when determining whether to approve a                  is clear in that respect and decline to
                                                  differentiated review, although                         charter petition or to revoke an existing              revise it further.
                                                  applicants’ past performance is                         school’s charter, and agree that                          We decline to revise paragraph (c) of
                                                  occasionally a partial indicator of an                  authorizers should use the full range of               this priority. Multi-tiered clearance or
                                                  organization’s ability to expand                        information available. We disagree,                    review will often involve making a
                                                  successfully, the expansion process may                 however, that the factors of Priority 3 are            determination about whether a charter
                                                  raise new and unforeseen challenges                     unfounded or unlikely to promote the                   school is prepared to open and operate
                                                  that the authorizer should consider.                    growth and development of a high-                      successfully. However, there may be
                                                  Finally, one commenter recommended                      quality charter school sector.                         scenarios where the multi-tiered
                                                  deleting paragraph (d) altogether.                         Priority 3 encourages authorizers to                clearance or review is more involved or
                                                    Discussion: We believe that an                        define quantifiable and clear objectives               examines other elements, and we want
                                                  applicant could meet Priority 3 if                      and expectations, both for themselves                  to give authorizers latitude to consider
                                                  authorizers in its State conduct a                      and charter schools. Furthermore, we                   those elements. For this reason, we
                                                  differentiated review for charter school                believe that this priority encourages                  believe it would be counter-productive
                                                  developers who operate charter schools                  SEAs and States to invest in and                       to limit the focus of the paragraph to the
                                                  that do not currently meet the definition               develop an infrastructure that fosters the             evaluation of readiness to open and
                                                  of high-quality charter schools. We                     development of high-quality charter                    operate.
                                                  agree that differentiated review is not                 schools and chartering practices. As a                    Finally, we decline to delete the
                                                  exclusive to high-quality charter schools               secondary benefit, this priority brings                reference to high-quality in paragraph
                                                  and have revised the priority                           together many entities involved in the                 (d) because a major purpose of the CSP
                                                  accordingly.                                            chartering process, which creates a                    Grants for SEAs program is to foster the
                                                    For purposes of this program, we                      network for effective development and                  development of high-quality charter
                                                  agree that authorizers should be able to                dissemination of information. For                      schools.
                                                  exercise discretion in approving                        example, this may provide an                              Changes: We have revised paragraph
                                                  charters through a differentiated process               opportunity for authorizers to share best              (b), as described above, to refer to clear
                                                  based on the past performance of charter                practices and learn from each other                    and specific standards and formalized
                                                  school developers.                                      within a State.                                        processes, instead of standardized
                                                    By promoting differentiated review,                      Changes: None.                                      systems.
                                                  we intend to encourage authorizers to                      Comment: One commenter                                 Comment: One commenter suggested
                                                  acknowledge that there are additional                   recommended adding language to                         several revisions to paragraphs (a) and
                                                  factors to consider when reviewing a                    Priority 3 to state that the reporting                 (b) of Priority 3. First, the commenter
                                                  charter petition from an existing charter               referenced in paragraph (a)(5) must                    suggested adding language regarding the
                                                  school developer versus a charter                       provide information necessary for the                  use of student achievement as a factor
                                                  petition from a charter school developer                State to benchmark performance. The                    in renewal and revocation decisions.
                                                  who is not currently operating charter                  commenter also recommended revising                    Additionally, the commenter suggested
                                                  schools. For these reasons, we decline to               paragraph (b) to require SEAs to                       that we revise paragraph (b) to provide
                                                  delete the paragraph.                                   disseminate information on authorizer                  additional authority for intervention for
                                                    Changes: We have revised paragraph                    performance. Additionally, the                         poor-performing authorizers and to
                                                  (d) of Priority 3 to clarify that an SEA                commenter recommended revising                         emphasize that SEAs should be paying
                                                  can meet the priority by demonstrating                  paragraph (c) to remove the factor for                 close attention to authorizer
                                                  that authorizers in the State use                       multi-tiered clearance or review and                   performance.
                                                  authorizing processes that include                      instead focus on an evaluation of an                      Discussion: We believe that the final
                                                  differentiated review of charter petitions              applicant’s readiness to open and                      priorities, requirements, definitions, and
                                                  to assess whether and the extent to                     operate. Finally, the commenter                        selection criteria will provide sufficient
                                                  which, the charter school developer has                 recommended that the Department                        incentives for SEAs to monitor
                                                  been successful, as opposed to basing                   delete from paragraph (d) the reference                authorizers and to take appropriate
                                                  the differentiated review on those                      to high-quality charter schools,                       action against poor-performing
                                                  considerations.                                         regarding authorizing processes that                   authorizers. As a general rule,
                                                    Comment: One commenter stated that                    include differentiated review.                         authorized public chartering agencies
                                                  Priority 3 is generally problematic and                    Discussion: With regard to adding                   are created pursuant to State charter
                                                  should be deleted because it promotes                   language to require the State to                       school law and, as such, are governed
                                                  undefined authorizer practices that do                  benchmark performance in paragraph                     by State law. Therefore, the Department
                                                  not work well in actual school settings,                (a)(5), the paragraph already requests                 defers to States with respect to the
                                                  relies on performance data that are                     the use of frameworks and processes to                 oversight of authorizers.
                                                  neither clear nor objective, and expects                evaluate performance of charter schools                   Changes: None.
                                                  authorizers to weigh and interpret data                 on a regular basis and, therefore, already
                                                  to make closure decisions. The                          includes the commenter’s suggestion. In                Priority 4—SEAs That Have Never
                                                  commenter also stated that standardized                 response to the recommendation to                      Received a CSP Grant
                                                  systems of measurement governing                        revise paragraph (b) of Priority 3, the                  Comment: We received general
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  complex decisions regarding renewal or                  intent of the priority is not to ask                   comments regarding Priority 4. One
                                                  closure serve to embolden weak                          authorizers to disseminate information                 commenter expressed support for the
                                                  authorizers and interfere with charter                  on performance in general. Paragraph                   priority. Another commenter
                                                  school autonomy.                                        (b) already calls for annual                           recommended that we make Priority 4
                                                    Discussion: We recognize that the                     dissemination of performance                           invitational.
                                                  authorizing process may not be                          information related to standards and                     Discussion: This NFP establishes the
                                                  governed by absolutes in all instances.                 formalized processes that measure and                  priorities that we may choose to use in
                                                  We also recognize that there may be                     benchmark the performance of the                       the CSP Grants for SEAs competitions in


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00006   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                                      Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations                                          34207

                                                  FY 2015 and later years. We do not                      activities, regardless of whether they                 that we expand the priority to include
                                                  designate whether a priority will be                    have received a CSP grant in the past.                 States that submitted applications but
                                                  absolute, competitive preference, or                       Changes: None.                                      were denied funding under the FY 2011
                                                  invitational in this NFP; but rather,                      Comment: One commenter stated that                  CSP Grants for SEAs competition.
                                                  retain the flexibility to designate each                Priority 4 provides a disincentive to                  Another commenter recommended
                                                  priority as invitational, competitive                   States that have invested in the growth                revising the background statement to
                                                  preference, or absolute in order to                     of charter schools. The commenter                      state that this priority would encourage
                                                  ensure that program funds are used to                   recommended that the Department                        rather than assist States that have not
                                                  address the most pressing programmatic                  establish a bifurcated process to                      yet received a CSP grant.
                                                  concerns for competitions in FY 2015                    separate States that have not previously                 Discussion: We disagree that this
                                                  and later years. When inviting                          received a grant from States that have.                priority will exclude States with
                                                  applications for a competition using one                Similarly, another commenter                           substantial populations of educationally
                                                  or more of these priorities, we will                    recommended that the Department limit                  disadvantaged students or that States
                                                  designate the type of each priority                     the priority to States that have been                  with smaller populations (or more rural
                                                  through the notice inviting applications                ineligible rather than unsuccessful in                 communities) will not benefit from SEA
                                                  for new awards (NIA).                                   previous grant competitions.                           funding. We do not believe that a
                                                     Changes: None.                                          Discussion: We disagree that the                    developer—including a CMO—will be
                                                                                                          priority should focus on SEAs that were                discouraged from operating in a State
                                                     Comment: Several commenters
                                                                                                          ineligible rather than unsuccessful. As                merely because the State has not
                                                  suggested that Priority 4 penalizes States
                                                                                                          written, this priority will already apply              received a CSP grant previously.
                                                  that have established robust charter
                                                                                                          to a very limited pool of applicants.                    We also disagree that Priority 4
                                                  sectors. One commenter stated that the
                                                                                                          Only a small number of States with                     penalizes States that have invested in
                                                  priority is overly broad and would
                                                                                                          charter school laws have not received a                their charter sectors or that it provides
                                                  provide an advantage to States with new
                                                                                                          CSP grant at any point in the past. We                 a disincentive for SEAs to support
                                                  charter school laws that have been                      do not believe that it is necessary to
                                                  unsuccessful in previous competitions.                                                                         innovation in the charter school sector.
                                                                                                          separate unsuccessful applicants from                  States in both situations will be eligible
                                                  Similarly, several commenters stated                    ineligible applicants; we believe that
                                                  that the Department should be more                                                                             to respond to this priority if they have
                                                                                                          our application review process ensures                 never received a CSP grant. We do not
                                                  concerned with directing CSP funds to                   that only the highest quality proposals
                                                  ensure charter school quality and                                                                              believe Priority 4 will unfairly
                                                                                                          will be recommended for funding. In                    disadvantage SEAs in States with
                                                  oversight rather than to States that have               addition, the priority promotes the
                                                  been ineligible to apply for a grant or a                                                                      significant rural populations, as the
                                                                                                          purposes of the CSP with respect to
                                                  State with weak charter school laws.                                                                           priority does not distinguish between
                                                                                                          innovation and geographic diversity.
                                                  One commenter suggested that the                                                                               urban and rural applicants. Finally, we
                                                                                                             Changes: None.
                                                  priority would favor less qualified                        Comment: One commenter stated that                  do not believe that it is appropriate to
                                                  applications above higher quality                       Priority 4 excludes States with critical               prioritize unsuccessful applicants from
                                                  applications. Similarly, another                        needs to support educationally                         the FY 2011 CSP Grants for SEAs
                                                  commenter suggested that the priority                   disadvantaged students; the commenter                  competition but not give priority to
                                                  would penalize States that support                      noted that some States have a greater                  unsuccessful applicants from
                                                  innovation or have otherwise                            need for funds than comparable States                  competitions held in other fiscal years.
                                                  demonstrated successful and high-                       that have not previously received an                   Further, all SEAs that applied for
                                                  quality authorizing practices. Finally,                 SEA grant. The commenter stated that                   funding under the FY 2011 CSP Grants
                                                  one commenter recommended that we                       only four SEAs are eligible for points                 for SEAs competition have received CSP
                                                  remove the priority altogether.                         under this priority, and that those States             grants in the past; therefore, giving
                                                     Discussion: Priority 4 is designed to                would be unlikely to benefit from SEA                  priority to those States would be
                                                  provide the Department with the option                  funding. The commenter asserted that                   contrary to the purpose of Priority 4.
                                                  to provide incentives to SEAs that have                 charter management organizations                         Changes: None.
                                                  never received a CSP grant and might be                 (CMOs) are reluctant to operate in States              Requirements
                                                  at a competitive disadvantage due to a                  that have not received SEA grants
                                                  limited charter school infrastructure or                                                                       Lottery and Enrollment Preferences
                                                                                                          because the States are isolated, funding
                                                  limited record of past performance.                     is inadequate, or talent is limited. A few               Comment: One commenter expressed
                                                  Additionally, the priority reflects our                 commenters suggested that SEA funds                    the view that data on enrollment
                                                  belief that CSP funds can have a greater                are better expended in States that                     patterns will be essential for
                                                  impact when they help seed a charter                    welcome charter growth and produce                     understanding the extent to which an
                                                  sector as a part of a State’s initial effort            conditions favorable to charter                        existing charter school complies with
                                                  to create high-quality public schools.                  expansion and that Priority 4 unfairly                 the CSP Nonregulatory Guidance on
                                                     We believe that in any year in which                 penalizes States that have invested in                 weighted lottery procedures. The
                                                  we run a competition, the combination                   robust charter sectors and supported                   commenter asserted that States with
                                                  of priorities, requirements, and selection              innovation in the field.                               clusters of specialized charter schools
                                                  criteria in the NIA will ensure that high-                 Several commenters expressed a                      should be required to provide
                                                  quality applications will have an                       general concern that the Department                    assurances that procedures exist to
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  opportunity to receive funding. We                      should not give priority to States that                ensure that these charter schools do not
                                                  disagree that Priority 4 will penalize                  have been unsuccessful in receiving a                  limit students’ access to more inclusive
                                                  States that support innovation or have                  CSP grant over States that have received               education settings. Finally, another
                                                  demonstrated success in the charter                     CSP funding in the past. One                           commenter stated that the Department
                                                  school sector. Other priorities,                        commenter suggested that Priority 4                    should prohibit charter schools from
                                                  requirements, definitions, and selection                would unfairly disadvantage States with                having an enrollment preference or
                                                  criteria will provide an opportunity for                significant rural school populations,                  exemption that would exclude any
                                                  States to describe their proposed                       while another commenter recommended                    group of students.


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00007   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                  34208               Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations

                                                     Discussion: We agree that equal access               lotteries with enrollment preferences to               will benefit applicants during a grant
                                                  for all students is important in the                    account for this difference.                           competition.
                                                  context of charter school development                     Discussion: We acknowledge that the                    Changes: None.
                                                  and the provision of public education                   SEA may not be the only entity                         High-Quality Charter School
                                                  generally. The CSP Nonregulatory                        responsible for approving and
                                                  Guidance (www2.ed.gov/programs/                         monitoring a charter school’s lottery and                 Comment: One commenter supported
                                                  charter/nonregulatory-guidance.html) is                 admissions process. Because the SEA is                 allowing a State to develop its own
                                                  intended to provide information and                     the grant recipient under this program                 definition of high-quality charter school.
                                                  guidance to CSP grantees on the                         and provides subgrants to charter                      The commenter suggested allowing a
                                                  Department’s interpretation of various                  schools and charter school developers,                 State to meet this requirement with an
                                                  CSP statutory and regulatory                            for purposes of the CSP, the SEA is                    assurance rather than requiring the
                                                  requirements. The Guidance specifies                    primarily responsible for ensuring that                Department to approve the State’s
                                                  the circumstances under which a                         subgrantees comply with CSP                            definition. The commenter explained
                                                  charter school receiving CSP funds may                  requirements, including the definition                 that the requirement that a State-
                                                  use a weighted lottery to give slightly                 of a charter school and the lottery                    proposed definition be at least as
                                                  greater chances of admission to                         requirement in section 5210(1) of the                  rigorous as the Federal definition is
                                                  educationally disadvantaged students.                                                                          unclear, as is the role the Department
                                                                                                          ESEA (20 U.S.C. 7221i(1)).
                                                  As public schools, charter schools must                                                                        would play in determining if one State’s
                                                                                                            Changes: None.
                                                  employ open admissions practices and                                                                           definition is more rigorous than another.
                                                                                                          Logic Model                                               Discussion: We do not intend to
                                                  comply with applicable Federal civil
                                                                                                                                                                 compare one applicant’s State definition
                                                  rights laws, including laws prohibiting                    Comment: Several commenters stated                  of high-quality charter school to
                                                  discrimination on the basis of race,                    that a logic model is either unnecessary,              another. Consistent with the application
                                                  ethnicity, or disability, and                           unduly burdensome to applicants, or                    requirement, a State’s alternative
                                                  requirements of Part B of IDEA. For                     not required for monitoring compliance.                definition will be reviewed to determine
                                                  these reasons, we do not believe that an                Other commenters recommended that                      if it is at least as rigorous as the standard
                                                  additional assurance is necessary.                      the Department provide additional                      in paragraph (a) of the definition based
                                                     Changes: None.                                       guidance on the form and composition                   on the reasoning and evidence provided
                                                     Comment: One commenter stated that                   of the logic model requirement (e.g., on               by the applicant. We also note that peer
                                                  the collective body of Federal law                      granularity, format, components, etc.).                reviewers’ evaluation of a State’s
                                                  related to student enrollment practices                 One commenter argued that the                          alternative definition of high-quality
                                                  was never intended to create agency                     requirement to include a logic model                   charter schools will be reflected in their
                                                  guidance on the matter of weighted                      would not lead to the creation of high-                scoring of the relevant selection criteria
                                                  lottery processes. Rather, the commenter                quality charter schools. Finally, another              referencing high-quality charter schools.
                                                  asserted that the original drafters of the              commenter recommended deleting the                        Changes: None.
                                                  statutes only intended to distinguish                   requirement on the ground that a State
                                                  charter schools from magnet or other                    with a small charter sector or a new                   Definitions
                                                  specialized public schools. The                         charter school law might be ill-                       Academically Poor-Performing Charter
                                                  commenter suggested a more modest                       positioned to articulate a statewide                   School
                                                  role for the Department in the charter                  theory of action with regard to the use                   Comment: One commenter expressed
                                                  school lottery process, focusing on                     of CSP funds.                                          support for the definition. Another
                                                  relevant statutory language, reducing                      Discussion: We believe that the logic               commenter recommended revising
                                                  prescriptive guidance, and permitting                   model is an important element that will                paragraph (b) of the definition to clarify
                                                  greater deference to State law, provided                enable us to review and evaluate the                   that an alternative definition could be
                                                  that it does not conflict with applicable               theory of action that supports each                    used if the SEA demonstrates that the
                                                  Federal statutes.                                       application. All applicants should be                  alternative definition is at least as
                                                     Discussion: We agree that States                     able to articulate clearly their plan for              rigorous as the description in paragraph
                                                  should have great flexibility in                        using Federal funds.                                   (a) of the definition of academically
                                                  administering their charter school                         The logic model represents one of                   poor-performing charter school.
                                                  subgrant programs, including their                      many sources of information to allow us                   Discussion: We agree that the
                                                  lottery processes. The purpose of the                   to assess grantee progress. In addition,               definition of academically poor-
                                                  CSP Nonregulatory Guidance is to                        we believe that developing a logic                     performing charter school should be
                                                  provide clarity to grantees regarding                   model will help SEAs clearly articulate                clarified to specify the standard that an
                                                  how Federal requirements apply to their                 their proposed outcomes and methods                    SEA’s proposed definition of the term
                                                  projects and to ensure that grantees are                for achieving them. The logic model                    must meet. We believe this comment
                                                  aware of permissible enrollment                         will also assist peer reviewers in                     also is applicable to the definition of
                                                  practices for charter schools receiving                 evaluating the merits and key elements                 high-quality charter school.
                                                  CSP funds.                                              of each applicant’s project plan. Because                 Changes: We have revised paragraphs
                                                     Changes: None.                                       of its importance to the process, we                   (b) of the requirements for academically
                                                     Comment: Several commenters                          believe that a logic model is not unduly               poor-performing charter school and
                                                  suggested that an entity other than an                  burdensome as part of a well-developed                 high-quality charter school to clarify
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  SEA may be responsible for monitoring                   application.                                           that an SEA’s definition of each term
                                                  charter school lotteries and admissions                    Department regulations define a logic               must be at least as rigorous as paragraph
                                                  processes. These commenters                             model in 34 CFR 77.1, and we will refer                (a) of the definitions of academically
                                                  recommended adding other responsible                    all applicants to that definition in any               poor-performing charter school and
                                                  public entities to the current list of                  NIA in which we utilize this                           high-quality charter school, as set forth
                                                  entities (SEAs and authorized public                    requirement. We may provide                            in this NFP.
                                                  chartering entities) responsible for                    supplemental information in an NIA or                     Comment: One commenter suggested
                                                  reviewing, monitoring, or approving                     through other means that we believe                    that the definition of academically poor-


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00008   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                                      Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations                                          34209

                                                  performing charter school is too rigid,                 contract includes performance                          to be homeless students and thus among
                                                  and stated that typical students enter                  objectives that are less rigorous than                 the groups of students covered. We do
                                                  charter schools no fewer than two years                 other State requirements.                              not believe it is necessary to revise the
                                                  behind grade level in instruction. The                    Changes: None.                                       definition to this end.
                                                  commenter asserted that effective                                                                                Changes: None.
                                                                                                          Educationally Disadvantaged Students
                                                  charter schools will provide                                                                                   High-Quality Charter School
                                                  opportunities for increased academic                      Comment: One commenter expressed
                                                  growth in order to ensure that students                 concern that our definition for this term                 Comment: One commenter stated that
                                                  meet grade level upon exiting the                       includes all subgroups specified in the                the Department should not designate a
                                                  school. The commenter expressed                         ESEA except racial and ethnic groups                   charter school that has been open for
                                                  concern that this definition does not                   and, thus, allows the Department to                    fewer than three years as a high-quality
                                                  present the above-described growth                      avoid considering achievement gaps                     charter school.
                                                  trajectory as a significant component of                among different races and ethnicities.                    Discussion: We disagree that a charter
                                                  assessing student performance when                        Discussion: We disagree that this                    school that has been open for fewer than
                                                  considering whether a charter school is                 definition impacts any reporting                       three years cannot qualify as a high-
                                                  academically poor-performing. Finally,                  requirements related to achievement                    quality charter school. If, for example, a
                                                  one commenter questioned how a State-                   gaps, or removes race and ethnicity from               charter school is only open for one year,
                                                  proposed definition would be reviewed,                  consideration of achievement gaps. We                  it must still show evidence of academic
                                                  particularly in a scenario where an                     note that the definition of high-quality               growth for all students for that period.
                                                  absolute standard, rather than a growth                 charter school, which explicitly                       We believe that a school can
                                                  standard, is used.                                      addresses achievement gaps, requires                   demonstrate successfully the elements
                                                     Discussion: We disagree with the                     demonstrated success in closing historic               of the definition with fewer than three
                                                  commenter that the definition of                        achievement gaps for the subgroups of                  years of data. If the elements of the
                                                  academically poor-performing charter                    students referenced in Section 1111 of                 definition are met, then the school can
                                                  school does not account for student                     the ESEA, which includes the reporting                 be considered a high-quality charter
                                                  academic growth. In order to meet this                  of information disaggregated by race,                  school.
                                                  definition, a charter school would have                 ethnicity, and other factors (20 U.S.C.                   Changes: None.
                                                  to both be in the lowest performing five                6311). We believe this priority provides                  Comment: Several commenters
                                                  percent of all public schools in a State                incentives for SEAs to support the                     recommended that the Department
                                                  and have failed to demonstrate student                  development of charter schools that are                adopt the definition of high-quality
                                                  academic growth of at least one grade                   expanding educational opportunities for                charter school in legislation proposed
                                                  level for each cohort of students.                      the most educationally disadvantaged                   (but not enacted) by the 114th Congress.
                                                  Therefore, a charter school that is                     students.                                              Specifically, the commenters
                                                  successfully demonstrating growth,                        Changes: None.                                       recommended we adopt the definition
                                                  even if the students remain below grade                   Comment: One commenter stated that                   described in S. 2304 and H.R. 10.
                                                  level, would not be considered                          the term homeless youth is defined by                  Expanding Opportunity through Quality
                                                  academically poor-performing.                           a number of Federal and State agencies                 Charter Schools Act. S.2304, 114th
                                                     We do not intend to compare one                      and recommended that the Department                    Cong. (2014).
                                                  applicant’s State definition of                         revise the definition of educationally                    Discussion: The definition of high-
                                                  academically poor-performing charter                    disadvantaged students to include                      quality charter school from S. 2304 and
                                                  school to another. Consistent with the                  homeless students as defined by subtitle               H.R. 10 requires strong academic
                                                  application requirement, a State’s                      B of title VII of McKinney-Vento (42                   results, which may include academic
                                                  alternative definition will be reviewed                 U.S.C. 11434a). Several commenters                     growth as determined by a state,
                                                  to determine if it is at least as rigorous              recommended adding additional                          highlights strong financial and
                                                  as the Department’s definition of the                   categories of students, including foster               organizational management, and asks
                                                  term as specified in paragraph (a) based                children, to the definition of                         that the school demonstrate success in
                                                  on the reasoning and evidence provided                  educationally disadvantaged students.                  significantly increasing student
                                                  by the applicant.                                         Discussion: The definition of                        academic achievement, including
                                                     Changes: None.                                       educationally disadvantaged students                   graduation rates where applicable. This
                                                     Comment: One commenter suggested                     in this NFP includes the categories of                 definition does not specify a time period
                                                  that the Department alternatively define                students eligible for services in targeted             over which results must be
                                                  an academically poor-performing                         assistance schools under title I, part A               demonstrated. The definition
                                                  charter school as one that fails to meet                of the ESEA (20 U.S.C. 6315(b)). We                    announced in this NFP is consistent
                                                  the student performance goals                           believe that this is an appropriate group              with the definition of high-quality
                                                  established in the school’s charter or                  of students to define as educationally                 charter school used in other Department
                                                  related performance agreements.                         disadvantaged students insofar as the                  programs, and we believe it is the
                                                     Discussion: We agree that it is                      services provided in a targeted                        appropriate definition for this program.
                                                  important for a charter school to adhere                assistance school are intended to be                      Changes: None.
                                                  to the performance objectives outlined                  provided to the school’s eligible                         Comment: One commenter
                                                  in its charter or performance contract.                 children identified as having the                      recommended that the Department
                                                  Because these objectives can vary by                    greatest need for special assistance. For              permit applicants to satisfy three of the
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  school, however, we do not believe that                 this reason, we do not believe it is                   five elements of the definition, rather
                                                  such an alternative definition would                    necessary to include other groups of                   than all five. In the alternative, the
                                                  facilitate meaningful comparison of                     students in the definition.                            commenter proposed that we revise
                                                  academic performance across all charter                   For purposes of this definition, we                  paragraph (a)(1) to refer to high or
                                                  schools in a State. In addition, this                   consider students who meet the                         increased student academic
                                                  definition could potentially allow a                    definition of homeless children and                    achievement rather than simply
                                                  charter school to underperform without                  youths under section 725(2) of                         increased student academic
                                                  penalty if its charter or performance                   McKinney-Vento (42 U.S.C. 11434a(2))                   achievement. The commenter stated that


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00009   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                  34210               Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations

                                                  an already high-achieving charter school                we would require a school to compare                      Comment: One commenter suggested
                                                  could be penalized without the change.                  performance independently between                      that the Department define a high-
                                                     Discussion: We believe that each of                  each racial and ethnic, income,                        quality charter school as a school that
                                                  the five elements represents an outcome                 disability, and English proficiency                    meets or exceeds goals stated in the
                                                  or characteristic that is important and                 category, thus requiring approximately                 school’s approved charter or
                                                  necessary to identify high-quality                      28 comparisons. The commenter                          performance contract, rather than focus
                                                  charter schools. If, for example, a                     recommended that instead of requiring                  on State tests, attendance rates,
                                                  charter school demonstrates an increase                 that a school demonstrate no significant               graduation rates, or postsecondary
                                                  in student achievement and success in                   achievement gap between any of the                     attendance at the expense of other
                                                  closing historic achievement gaps but                   identified subgroups, we should require                assessment tools (e.g., preparation for
                                                  has significant compliance issues, we do                no gap between subgroups or, if                        careers).
                                                  not believe that school should be                       applicable, appropriate comparison                        Discussion: We agree that other
                                                  considered a high-quality charter                       populations. Additionally, the                         methods exist to evaluate the quality of
                                                  school. Removing one or more of these                   commenter recommended referring to                     a charter school. This is captured
                                                  factors from consideration would                        Section 1111(b)(2)(C)(v)(II) of the ESEA,              throughout the priorities, requirements,
                                                  substantially erode the definition.                     rather than 1111(h)(1)(C)(i) because the               definitions, and criteria in this NFP,
                                                     We also decline to revise paragraph                  former statutory reference is most                     particularly in sections focused on
                                                  (a)(1) of the definition to require high or             commonly used for performance                          authorizer quality. However, because
                                                  increased student academic                              accountability purposes.                               the performance goals in a charter or
                                                  achievement. We do not believe that the                    Discussion: We believe that, if an                  performance contract will vary from
                                                  definition, as written, will penalize an                applicant chooses to respond to                        school to school, we believe it would be
                                                  existing high-achieving charter school.                 paragraph (2) of this definition, they                 difficult for an SEA to use the goals in
                                                  A charter school with students who                      have decided to demonstrate that there                 a charter school’s performance contract
                                                  demonstrate high rates of proficiency on                are no significant achievement gaps                    to assess the quality of charter schools
                                                  State assessments, for example, can still               between any of the subgroups of                        across the State.
                                                  demonstrate increases in academic                       students described in section                             Changes: None.
                                                  achievement in other ways, such as                      1111(b)(2)(C)(v)(II) of the ESEA (20                      Comment: Several commenters
                                                  increasing school-wide proficiency rates                U.S.C. 6311(b)(2)(C)(v)(II)); therefore,               suggested that this definition is too
                                                  or increasing the number of students at                 they would have the data to support this               narrow and could lead to ‘‘creaming’’
                                                  the advanced level. We believe that it is               claim with applicable subgroup                         high-aspiration students from non-
                                                  important to encourage increases in                     information. An applicant that responds                charter public schools. One commenter
                                                  student academic achievement and                        to paragraph (a)(2)(i) of this definition              expressed confusion over many
                                                  attainment even in a school with                        has decided to demonstrate that it is                  elements of the definition, such as the
                                                  comparatively high-performing                           successfully closing the achievement                   references to increased student
                                                  students. We also note that this                        gap and is able to provide the relevant                achievement and the need to close
                                                  definition addresses student mastery of                 supporting data. This definition has                   historic achievement gaps. Additionally,
                                                  grade-level standards.                                  been used in previous CSP competitions                 the commenter stated that the definition
                                                     Changes: None.                                       with that understanding. However, we                   ignores other assessment tools such as
                                                     Comment: One commenter stated that                   agree that section 1111(b)(2)(C)(v)(II) is             preparation for careers.
                                                  paragraph (a)(1) should not distinguish                 the more appropriate reference,                           Discussion: We first note that the final
                                                  between educationally disadvantaged                     consistent with other CSP grants, and                  priorities, requirements, definitions, and
                                                  students and all other students. The                    have revised the definition accordingly.               selection criteria are designed to
                                                  commenter suggested a technical                            Changes: We have revised paragraphs                 provide incentives to SEAs to increase
                                                  revision to the language or, as an                      (a)(2)(i) and (ii) of the high-quality                 the number of high-quality charter
                                                  alternative, removing the reference to                  charter school definition to reference                 schools in the State and, thus, provide
                                                  educationally disadvantaged students                    section 1111(b)(2)(C)(v)(II) of the ESEA.              more high-quality options for all
                                                  as it adds complexity to an already                        Comment: One commenter asserted                     students. In addition, the selection
                                                  complex definition.                                     that a school should not be required to                criteria are related to a State’s broader
                                                     Discussion: The CSP statute                          take into account the performance of a                 plan to ensure equitable access for
                                                  emphasizes the importance of assisting                  particular subgroup listed under (a)(2)(i)             students throughout the State by
                                                  educationally disadvantaged students,                   or (a)(2)(ii) if the number of students in             ensuring that all students—including
                                                  as well as other students, in meeting                   that subgroup is so small that the data                educationally disadvantaged students—
                                                  State academic content standards and                    are statistically unreliable. The                      have equal access and opportunities to
                                                  State student academic achievement                      commenter stated that this is the                      attend high-quality charter schools.
                                                  standards. Therefore, we believe that it                operating procedure for Title I grants.                Charter schools receiving CSP funds are
                                                  is important that a charter school                         Discussion: We agree that the data for              required to provide all students in the
                                                  specifically identify and increase                      the various subgroups should not be                    community with an equal opportunity
                                                  academic achievement for educationally                  compared in cases where the data                       to attend the charter school and admit
                                                  disadvantaged and other students in                     sample is so small it is statistically                 students by lottery if the charter school
                                                  order to be considered a high-quality                   unreliable or would infringe upon the                  is oversubscribed. We believe the final
                                                  charter school. Consequently, we                        privacy of a student. When using the                   priorities, requirements, definitions, and
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  decline to remove this element of the                   definition of high-quality charter school,             selection criteria will support and
                                                  definition.                                             or providing other data for CSP                        reinforce these program requirements.
                                                     Changes: None.                                       programs, we intend for applicants to                     We next address the comment that
                                                     Comment: One commenter asserted                      use only data that are available and                   many of the elements of the definition
                                                  that paragraph (a)(2)(ii) of the definition             reportable and provide any necessary                   are confusing. This definition provides
                                                  of high-quality charter school is                       explanations to clarify the use of such                discrete and measurable indicators for
                                                  ambiguous as written. The commenter                     data.                                                  defining a charter school as high-
                                                  stated that the paragraph implies that                     Changes: None.                                      quality. The rate at which a charter


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00010   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                                      Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations                                           34211

                                                  school reduces or closes a historic                     requirement because we believe that a                  relevant measure. Without uniform data
                                                  achievement gap is a quantifiable                       three-year period provides a reasonable                collection for all charter schools, there
                                                  measure of student achievement and                      time within which a charter school’s                   would be no comparison data to
                                                  school success. Similarly, testing and                  performance can be evaluated to                        illustrate meaningful impact, and the
                                                  attendance rates provide data that can                  determine whether the school is high-                  data likely would not take into
                                                  be used to examine school performance.                  quality. This does not mean the charter                consideration other influences, such as
                                                  We believe that the percentage of                       school could not be deemed high-                       the other secondary schools the students
                                                  charter school students who go on to                    quality with fewer than three years of                 attended before going to college.
                                                  enroll in postsecondary institutions is                 data available, as noted within the                       Changes: None.
                                                  yet another indicator of the performance                definition. However, if three years of                    Comment: One commenter suggested
                                                  and efficacy of a State’s charter schools.              data exist, the charter should be                      two revisions to the definition. First, the
                                                  Finally, we note that the term                          evaluated based on all three years.                    commenter recommended moving
                                                  ‘‘postsecondary education’’ may                         Further, we believe the references to                  element (a)(5), which prohibits a high-
                                                  encompass both non-traditional                          attendance, attainment, and retention                  quality charter school from having any
                                                  postsecondary education options as well                 are critical to the spirit of this definition          significant compliance issues, (to
                                                  as other career and technical training.                 given their correlation to performance.                paragraph (b); and replacing the term
                                                  We agree that there are other tools that                Finally, we believe the recommended                    particularly with including, to make the
                                                  measure student achievement, including                  revisions would remove or substantially                provision more logical.
                                                  career readiness. We believe the                        diminish the focus of charter schools on                  Discussion: We decline to revise
                                                  definition of high-quality charter school               serving educationally disadvantaged                    paragraph (a)(5) or paragraph (b).
                                                  in this NFP, however, promotes the                      students and treating all students                     Paragraph (a) provides the Department’s
                                                  purposes of the CSP and provides a                      equitably, which are crucial elements                  definition of high-quality charter school,
                                                  consistent, clear, and measurable metric                that promote the purposes of the CSP.                  and paragraph (b) provides an SEA the
                                                  of student academic achievement. For                       Changes: None.                                      option to propose its own definition.
                                                  these reasons, we decline to revise the                    Comment: One commenter asked                        Paragraph (a)(5) is intended to highlight
                                                  definition.                                             why, under paragraph (a)(2)(i) of the                  three areas where significant
                                                     Changes: None.                                       definition for high-quality charter                    compliance issues can occur, but is not
                                                     Comment: One commenter                               school, demonstrated success in closing                meant to be exhaustive.
                                                  recommended that we revise the                          historic achievement gaps would be                        Changes: None.
                                                  definition of high-quality charter school               acceptable, while in paragraph (a)(2)(ii),                Comment: One commenter
                                                  to examine growth differentially. The                   an applicant must show actual                          recommended that the Department
                                                  commenter stated that comparing                         significant gains rather than the closing              define ‘‘significant achievement gap.’’
                                                  graduation rates of a school serving                    of gaps. The commenter stated that a                      Discussion: We decline to define
                                                  students who are at a very low                          school could satisfy the requirements of               ‘‘significant achievement gap’’ in this
                                                  percentile of proficiency with a school                 paragraph (a)(2)(i) if its higher-achieving            NFP because we believe that not
                                                  serving students at a very high                         students decreased in performance and                  defining the term affords States greater
                                                  percentile of proficiency is neither                    its lower achieving students did not                   flexibility. An applicant should be able
                                                  comparable nor fair, and contended that                 make gains. Additionally, the                          to provide the necessary evidence and
                                                  what success looks like at those schools                commenter asked when, under                            information in its application,
                                                  will manifest in different ways.                        paragraph (3) of the definition for high-              demonstrating that schools identified as
                                                     Discussion: The definition states that               quality charter school, results on                     high-quality charter schools are either
                                                  academic results for students served by                 statewide tests might not be considered                closing the achievement gap or have no
                                                  a high-quality charter school must be                   applicable to meeting the definition of                significant achievement gap.
                                                  above the average academic results for                  high-quality charter school, if those                     Changes: None.
                                                  such students in the State. Because the                 results are available.
                                                  definition allows for comparisons                          Discussion: First, we note that in                  Selection Criteria
                                                  among similar populations of students,                  order for a school to be considered high-
                                                                                                                                                                 (a) State-Level Strategy
                                                  we believe that it addresses the                        quality, all subgroups would have to
                                                  commenter’s concern.                                    demonstrate significant progress and the                 Comment: Two commenters
                                                     Changes: None.                                       school would have to close achievement                 recommended expanding paragraph (1)
                                                     Comment: One commenter                               gaps simultaneously. These are two                     of selection criterion (a) State-Level
                                                  recommended several substantive                         distinct but equally important                         Strategy to include activities of
                                                  revisions to elements of the definition                 components of this definition that work                authorizers and other entities that
                                                  that would remove references to the                     in tandem to ensure that SEA subgrants                 impact charter schools in the State.
                                                  achievement gap, evidence of academic                   are used to support high-quality charter                 Discussion: We agree that it is
                                                  achievement over three years, and                       schools. In order to be considered high-               important for authorizers and other
                                                  references to attainment and                            quality, a charter school must meet                    entities that impact charter schools to be
                                                  postsecondary enrollment, as well as                    elements (a)(1)–(5), unless the State opts             part of the State’s overall strategy for
                                                  add a requirement for compliance in the                 to use an alternate definition. With                   improving student academic
                                                  area of safety, financial management, or                regard to the commenter’s second                       achievement and attainment, and we
                                                  statutory or regulatory compliance.                     question, we note that an example of                   encourage States to address the extent to
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                     Discussion: We decline to adopt these                available but not necessarily applicable               which the activities of authorizers and
                                                  proposed changes. First, it is unclear                  results could be an elementary charter                 other entities are integrated into the
                                                  from the commenter’s suggested                          school that tracks college completion                  State-level strategy. For purposes of this
                                                  revisions whether a CSP applicant’s                     rates of its alumni. Although these data               program, however, we believe that the
                                                  high-quality charter schools would have                 theoretically could be collected, unless               focus should be on the individual
                                                  to show increased achievement in one                    there was a general requirement for the                State’s plan for integrating its CSP grant
                                                  or more (or all) subgroups. We decline                  collection of this information by all                  activities with its broader public
                                                  to remove the three-year achievement                    charter schools, it might not be a                     education strategy. While a State whose


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00011   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                  34212               Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations

                                                  charter school authorizing practices are                questioned whether a charter sector                       Comment: One commenter expressed
                                                  integrated into its CSP activities should               could be strong in a State that did not                concern about how the Department will
                                                  include this information, we only                       receive a Race to the Top grant or an                  consider States’ various funding needs
                                                  expect States to discuss such practices                 ESEA Flexibility waiver. Additionally,                 in relation to the composition of the
                                                  in relation to proposed CSP grant                       the commenter recommended revising                     student body, in cases where charter
                                                  activities. Likewise, if the CSP activities             the language to consider the extent to                 schools do not enroll student
                                                  are integrated into the practices of                    which the authorizer, in addition to the               populations that are demographically
                                                  authorizers and other entities, we would                State, encourages strategies for                       similar to traditional non-charter public
                                                  expect the State to discuss that as well.               improving student academic                             schools. The commenter mentioned
                                                     Changes: None.                                       achievement.                                           students with disabilities and English
                                                     Comment: One commenter opined                           Discussion: While States’ Race to the               learners as populations that may require
                                                  that a State’s charter sector is                        Top applications and ESEA Flexibility                  additional funding in order to ensure
                                                  purposefully designed to serve as an                    requests are examples of initiatives that              that they are adequately served, and
                                                  alternative to, rather than an integrated               could be discussed in relation to State-               asked whether this will be a
                                                  component of, a State’s overall strategy                level strategy, the list we provided was               consideration in review of funding
                                                  for school improvement.                                 not intended to be exhaustive or                       equity for paragraph (2) of selection
                                                     Discussion: Although charter schools                 exclusive. A State that has not received               criterion (a) State-Level Strategy.
                                                  are an alternative to traditional public                a Race to the Top grant or an ESEA                        Discussion: We recognize that the
                                                  schools, charter schools also are public                Flexibility waiver may discuss its State-              demographic composition and funding
                                                  schools, and we believe that it is                      level strategy within the context of other             needs of schools may vary at the State
                                                  important for States to include charter                 efforts and receive full points on this                and local levels. For this reason, this
                                                  schools as part of their overall strategy               criterion. We decline to expand the list               criterion is designed to allow applicants
                                                  for providing public education.                         of examples in this element of the                     to describe the State’s overall systems
                                                     Changes: None.                                                                                              for funding public schools generally,
                                                     Comment: One commenter                               criterion to include authorizer actions
                                                                                                          and authorizer strategy but agree that                 and charter schools specifically,
                                                  recommended that we expand the                                                                                 including any variances between the
                                                  criterion to require SEAs to explain how                limiting the examples to Race to the Top
                                                                                                          and ESEA Flexibility applications may                  two, to demonstrate the extent to which
                                                  the State will ensure that charter                                                                             funding equity for similar students is
                                                  schools serve the same or similar                       be confusing. Therefore, we have
                                                                                                          removed the examples from the final                    incorporated into the State’s overall
                                                  student populations as their non-charter                                                                       strategy.
                                                  public school counterparts.                             selection criterion. While an SEA may
                                                                                                                                                                    Changes: None.
                                                     Discussion: Charter schools are public               discuss its authorizer practices within
                                                  schools and, as such, must employ open                  the context of its State-level strategy, a             (b) Policy Context for Charter Schools
                                                  admissions policies and ensure that all                 discussion of authorizer quality and                     Comment: Several commenters stated
                                                  students in the community have an                       practice alone is unlikely to be deemed                that charter school policy is a local issue
                                                  equal opportunity to attend the charter                 an adequate response to the criterion.                 rather than an SEA-focused issue. One
                                                  school. A charter school’s admissions                      Changes: We have removed the                        commenter stated that selection
                                                  practices must comply with applicable                   reference to State Race to the Top                     criterion (b) Policy Context for Charter
                                                  Federal and State laws, including                       applications and ESEA Flexibility                      Schools generally speaks to the SEA as
                                                  Federal civil rights laws, such as title VI             waivers from paragraph (1) of this                     the primary force behind information
                                                  of the Civil Rights Act of 1964, section                selection criterion.                                   dissemination, growth, oversight, and
                                                  504 of the Rehabilitation Act of 1973,                     Comment: One commenter                              other factors related to charter schools.
                                                  and title II of the Americans with                      recommended adding the State                           The commenter stated that, in some
                                                  Disabilities Act of 1990. Further,                      Systemic Improvement Plan (SSIP) as an                 States, an emphasis on the SEA would
                                                  paragraph (2) of selection criterion (d)                example of an improvement effort in                    be misguided because the SEA may be
                                                  Quality of Plan to Support                              paragraph (1). The commenter stated                    hostile towards charter schools or may
                                                  Educationally Disadvantaged Students                    that adding the SSIP will ensure that                  lack the legal ability to play a large role
                                                  addresses the quality of the SEA’s plan                 charter schools and the students they                  in the charter sector.
                                                  to ensure that charter schools attract,                 serve are actively considered in any and                 Discussion: The Department
                                                  recruit, admit, enroll, serve, and retain               all State planning efforts.                            administers several grant programs
                                                  educationally disadvantaged students.                      Discussion: SSIPs are multi-year plans              under the CSP, including direct grants
                                                  Additionally, the CSP Nonregulatory                     that each State produces to describe                   to non-SEA eligible applicants (i.e.,
                                                  Guidance clarifies that section                         how it will improve educational                        charter school developers and charter
                                                  5203(b)(3)(E) of the ESEA (20 U.S.C.                    outcomes for children with disabilities                schools). The purpose of these
                                                  7221b(b)(3)(E)) requires SEAs to provide                served under IDEA. The Department’s                    priorities, requirements, definitions, and
                                                  an assurance that applications for CSP                  Office of Special Education Programs                   section criteria, however, is to
                                                  subgrants will include a description of                 administers the IDEA and works with                    implement the provisions of the CSP
                                                  how parents and other members of the                    States as they implement these plans.                  statute that authorize the Secretary to
                                                  community will be involved in the                       Like a State’s Race to the Top                         award grants to SEAs to enable them to
                                                  planning, program design, and initial                   application and ESEA Flexibility waiver                conduct charter school subgrant
                                                  implementation of the charter school.                   request, a SSIP describes activities that              programs in their States, in accordance
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                     Changes: None.                                       could be responsive to this selection                  with the requirements of the ESEA. In
                                                     Comment: One commenter expressed                     criterion. We agree that providing only                some cases, State charter school laws
                                                  concern about referring to a State’s Race               a few examples for this criterion may be               assign the primary role for charter
                                                  to the Top application or ESEA                          confusing, however, and are removing                   school oversight to entities other than
                                                  Flexibility request as examples of                      the examples from the final selection                  the SEA, and these entities play critical
                                                  statewide education reform efforts in                   criterion and decline to include this                  roles in information dissemination and
                                                  paragraph (1) of selection criterion (a)                revision.                                              growth of charter schools. This selection
                                                  State-Level Strategy. The commenter                        Changes: None.                                      criterion asks SEA applicants to respond


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00012   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                                      Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations                                           34213

                                                  to each factor within the context of their              Priority 3—High-Quality Authorizing                    how the Department would ensure that
                                                  State activities. We understand,                        and Monitoring Processes provides a                    States with few or no academically
                                                  however, that the SEA may not be the                    strong incentive for the development of                poor-performing charter schools are not
                                                  sole entity responsible for executing                   rigorous objectives that an authorizer                 unfairly disadvantaged under this
                                                  these activities.                                       would apply to the charter schools in its              criterion.
                                                     Changes: None.                                       portfolio, and that this criterion would                  Discussion: This selection criterion
                                                     Comment: One commenter expressed                     capture the unique qualities of                        applies only to SEAs in States with
                                                  support for the selection criterion (b)                 individual charter schools. However,                   charter school laws that have been in
                                                  Policy Context for Charter Schools.                     charter schools are still required to                  effect for five years or more. Therefore,
                                                  Another commenter expressed concern                     report on certain objectives applicable                an SEA in a state that enacted its first
                                                  about the promotion of policies that                    to all public schools. Together, the                   charter school law less than five years
                                                  weaken the collective bargaining rights                 elements of this selection criterion                   before the closing date of the relevant
                                                  of certain State or school employees                    ensure that an individual charter                      competition will not be scored on this
                                                  based on the language contained in                      school’s autonomy over the                             criterion, and its total score will be
                                                  paragraph (1)(i) regarding the extent to                development of educational objectives                  calculated against a maximum point
                                                  which charter schools in the State are                  is reflected in the CSP Grants for SEAs                value that does not include the points
                                                  exempt from State or local rules that                   application.                                           assigned to this criterion.
                                                  inhibit the flexible operation and                         Changes: None.                                         In addition, SEAs that are required to
                                                  management of public schools.                              Comment: One commenter supported                    respond to this criterion will not be at
                                                     Discussion: By definition, charter                   paragraph 3 of selection criterion (b)                 a disadvantage for having few or no
                                                  schools are exempt from many                            Policy Context for Charter Schools,                    academically poor-performing charter
                                                  significant State and local rules that                  which requests that SEAs describe their                schools. In such a case, the SEA should
                                                  inhibit the flexible operation and                      plans for ensuring that LEAs, including                include sufficient information for the
                                                  management of public schools. In                        charter school LEAs, comply with IDEA.                 reviewers to understand and evaluate
                                                  exchange for this increased flexibility,                The commenter referenced several                       the quality of its charter schools,
                                                  charter schools are held accountable for                recently negotiated settlement                         including an explanation of how the
                                                  results, including improved student                     agreements between schools and the                     State has minimized its number of
                                                  academic achievement. Charter schools                   Department’s Office for Civil Rights                   academically poor-performing charter
                                                  still must comply with Federal and                      related to IDEA compliance and                         schools.
                                                  State laws generally and meet all health                recommended that we develop clear                         Changes: None.
                                                  and safety requirements. The criterion is               means to monitor charter school                           Comment: Multiple commenters
                                                  designed to enable reviewers to assess                  compliance with IDEA and other                         stated that the reduction in the number
                                                  the flexibility afforded charter schools,               applicable statutes governing civil                    and percentage of academically poor-
                                                  including flexibility with respect to                   rights.                                                performing charter schools should not
                                                  school operations and management. The                      Discussion: Paragraph (3) of selection              be evaluated based on a reduction of
                                                  criterion bears no relation to                          criterion (b) Policy Context for Charter               ‘‘each’’ of the past five years.
                                                  employment policies or employee                         Schools will enable peer reviewers to                     Discussion: We believe that it is
                                                  rights. Therefore, we decline to make                   evaluate the quality of an SEA’s plan to               important to examine the reduction in
                                                  any changes in response to the concern                  ensure charter schools’ compliance with                the number and percentage of
                                                  raised by the commenter.                                applicable Federal civil rights laws and               academically poor-performing charter
                                                     Changes: None.                                       part B of IDEA. We believe that this                   schools each year in order to determine
                                                     Comment: One commenter                               element of IDEA oversight is one that                  the rate and consistency at which
                                                  acknowledged the appropriateness of                     States are already required to have in                 academically poor-performing charter
                                                  including flexibility under paragraph (1)               place under section 612(a)(11) of the                  schools have been closed or improved
                                                  of selection criterion (b) Policy Context               IDEA (20 U.S.C. 1412(a)(11)). This                     in a State. In addition, providing past
                                                  for Charter Schools and recommended                     provision requires each SEA to exercise                performance data for each year gives the
                                                  expanding the flexibility relative to                   general supervision over all educational               peer reviewers a more complete picture
                                                  establishing goals and quality measures                 programs for children with disabilities                on which to score the applications. We
                                                  related to State-mandated standards or                  administered in the State and to ensure                encourage applicants to provide context
                                                  assessments. The commenter referred to                  that all such programs meet the                        about the performance of charter
                                                  section 5210(1)(C) of the ESEA (20                      requirements of part B of the IDEA. In                 schools in the State.
                                                  U.S.C. 7221i(1)(C)), which defines a                    addition, the Federal definition of a                     Changes: None.
                                                  charter school as a public school that,                 charter school ensures compliance with                    Comment: Several commenters
                                                  among other things, operates in pursuit                 Federal civil rights laws and part B of                recommended that we add past
                                                  of a specific set of educational                        IDEA. See section 5210(1)(G) of the                    performance information as an
                                                  objectives determined by the school’s                   ESEA (20 U.S.C. 7221i).                                application requirement. Specifically,
                                                  developer.                                                 Changes: None.                                      one commenter suggested that we focus
                                                     Discussion: We believe the autonomy                                                                         CSP funds on States that enhance, rather
                                                  of charter schools to develop their own                 (c) Past Performance                                   than diminish, the overall quality of
                                                  educational objectives and performance                     Comment: Several commenters                         public education.
                                                  goals is critical, and this criterion                   supported the inclusion of selection                      Discussion: Selection criterion (c) Past
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  acknowledges that importance by                         criterion (c) Past Performance. Several                Performance allows us to evaluate the
                                                  specifically emphasizing autonomy                       commenters questioned how a State                      extent to which an SEA’s past
                                                  within paragraph (1)(ii). This criterion                with a new charter school law (and,                    performance has led to an increase in
                                                  addresses the policy context for charter                therefore, no previous charter                         high-quality charter schools and a
                                                  schools in a State, rather than the                     experience) would receive points or                    decrease in academically poor-
                                                  development of specific performance                     otherwise not be unfairly disadvantaged                performing charter schools within their
                                                  objectives, which would happen during                   during the application process.                        State. An application requirement
                                                  the charter approval process. We believe                Additionally, one commenter asked                      would only collect this information,


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00013   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                  34214               Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations

                                                  rather than allow for evaluation. For this              SEAs to demonstrate that periodic                      educationally disadvantaged students;
                                                  reason, past performance will remain a                  review and evaluation occurs at least                  (b) broad-reaching, inclusive marketing
                                                  selection criterion. We agree with the                  once every five years and provides an                  efforts; (c) streamlined applications with
                                                  commenter that CSP funds should be                      opportunity for authorizers to take                    no enrollment or other barriers; (d)
                                                  awarded to States that enhance the                      appropriate action and impose                          receptive processes that do not steer
                                                  overall quality of public schools,                      meaningful consequences. Proposed                      away educationally disadvantaged
                                                  including charter schools. We believe                   addition (4) may also be addressed in an               students; (e) availability of services for
                                                  that the final priorities, requirements,                SEA’s response to selection criterion (g),             students with disabilities and English
                                                  definitions, and selection criteria will                which asks SEAs how they will monitor                  learners; (f) positive practices to address
                                                  achieve that purpose. The NIA for each                  and hold accountable authorizing public                behavioral issues, avoiding practices
                                                  competition will provide the specific                   chartering agencies.                                   that encourage students to leave the
                                                  criteria against which applications will                   Changes: None.                                      charter school; (g) sparing use of grade
                                                  be evaluated in that year.                                 Comment: One commenter stated that                  retention practices; (h) provision of
                                                     Changes: None.                                       selection criterion (c) Past Performance               services for disadvantaged students that
                                                     Comment: One commenter suggested                     does not consider the quality of States’               are comparable to those offered in
                                                  that the evaluation of an SEA’s past                    existing charter schools and opined that               nearby public schools, including free-
                                                  performance also be based on (1) the                    it should be a specific focus for the SEA              and reduced-price meals; (i) addressing
                                                  extent to which the demographic                         grant competition. Another commenter                   location and transportation in ways that
                                                  composition of the State’s charter                      suggested that the Department consider                 are designed to serve a diverse
                                                  schools (in terms of educationally                      revising this criterion to examine an                  community that includes educationally
                                                  disadvantaged students) is similar to the               SEA’s performance only by its reduction                disadvantaged students; and (j)
                                                  demographic composition of non-                         of the number of academically poor-                    comprehensive planning to ensure that
                                                  charter public schools; (2) the extent to               performing charter schools.                            charter school enrollment patterns do
                                                  which approved charter applications in                     Discussion: We agree that the quality               not contribute to increased racial and
                                                  the State reflect innovations in charter                of a State’s existing charter schools is an            economic isolation in proximate schools
                                                  schools; (3) the track record of the                    important consideration when                           within the same school district.
                                                  State’s lead authorizer in minimizing                   evaluating the overall quality of an                      Discussion: Many of the factors
                                                  compliance issues in its charter schools;               SEA’s application for CSP funds and                    proposed by the commenter are covered
                                                  and (4) the track record of the SEA in                  believe we have addressed that factor in               under selection criterion (d) Quality of
                                                  ensuring high-quality authorizer                        these priorities, requirements,                        Plan to Support Educationally
                                                  performance through early                               definitions, and selection criteria. While             Disadvantaged Students and the other
                                                  identification of authorizer performance                reducing the number of academically                    criteria. More broadly, these selection
                                                  issues with appropriate remedies.                       poor-performing charter schools is an                  criteria provide a basis for SEAs to
                                                     Discussion: The focus of this criterion              important measure of an SEA’s past                     address each of the factors proposed by
                                                  is on the SEA’s performance in                          performance with respect to                            the commenter at a level of detail that
                                                  increasing the number of high-quality                   administration of its charter schools, we              we believe will enable peer reviewers to
                                                  charter schools, decreasing the number                  believe that is only one aspect of the                 evaluate the quality of the applications
                                                  of academically poor-performing charter                 overall quality of a State’s charter                   effectively.
                                                  schools, and improving student                          schools program. A major purpose of the                   Changes: None.
                                                  academic achievement. While we agree                    CSP Grants to SEAs program is to                          Comment: One commenter
                                                  that the additional factors proposed by                 increase the number of high-quality                    recommended that the Department
                                                  the commenter could inform an                           charter schools across the Nation and to               revise this selection criterion to include
                                                  evaluation of an SEA’s past                             improve student academic achievement.                  a description of how SEAs plan to avoid
                                                  performance, in many cases, an SEA                      For these reasons, we decline to make                  disproportionate enrollment of
                                                  providing a detailed response to the                    the recommended change.                                homeless students in charter schools.
                                                  criteria will address the additional                       Changes: None.                                      The commenter stated that some non-
                                                  factors proposed by the commenter.                                                                             charter public schools have shifted
                                                  Moreover, proposed addition (1) is                      (d) Quality of Plan To Support                         homeless students from their schools to
                                                  covered by paragraph (2) of selection                   Educationally Disadvantaged Students                   charter schools.
                                                  criterion (d) Quality of Plan to Support                  Comment: One commenter stated that                      Discussion: As public schools, charter
                                                  Educationally Disadvantaged Students,                   the Department should include a                        schools must employ open admissions
                                                  assessing the quality of the SEA’s plan                 reference to diversity in all of the                   policies and ensure that all students in
                                                  to serve an equitable number of                         selection criteria, beyond what is                     the community have an equal
                                                  educationally disadvantaged students.                   included in selection criterion (d)                    opportunity to attend the charter school.
                                                  Proposed addition (2) is covered broadly                Quality of Plan to Support                             Further, charter schools receiving CSP
                                                  under selection criterion (f)                           Educationally Disadvantaged Students.                  funds must admit students by lottery if
                                                  Dissemination of Information and Best                   Additionally, the commenter suggested                  there are more applicants than spaces
                                                  Practices, which assesses the quality of                that the Department expand selection                   available at the charter school. While
                                                  the SEA’s plan to disseminate best and                  criterion (d) Quality of Plan to Support               charter schools may weight their
                                                  promising practices of successful                       Educationally Disadvantaged Students                   lotteries in favor of educationally
                                                  charter schools in the State. Proposed                  to include the following 10 additional                 disadvantaged students, which may
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  addition (3) is covered under the                       factors, to ensure that charter schools                include homeless students, they are not
                                                  definition of a high-quality charter                    are fully inclusive and do not either                  required to do so. Accordingly, the
                                                  school in paragraph (5) which notes that                directly or indirectly discourage                      criterion includes a review of the SEA’s
                                                  a high-quality charter school should                    enrollment of all students: (a)                        plan to ensure that charter schools
                                                  have no significant compliance issues.                  Compliance with Federal and State                      attract, recruit, admit, enroll, serve, and
                                                  Finally, proposed addition (4) is                       laws, particularly laws related to                     retain educationally disadvantaged and
                                                  covered under Priority 1—Periodic                       educational equity, nondiscrimination,                 other students equitably. Although this
                                                  Review and Evaluation, which asks for                   and access to public schools for                       criterion emphasizes the importance of


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00014   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                                      Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations                                         34215

                                                  charter schools serving educationally                   (e) Vision for Growth and                              requirements, definitions, and selection
                                                  disadvantaged students, which may                       Accountability                                         criteria do not address State or local
                                                  include homeless students, the criterion                   Comment: Two commenters                             reporting requirements. We believe that
                                                  does not diminish the requirement that                  recommended revising selection                         the factors outlined in the three
                                                  charter schools receiving CSP funds                     criterion (e) Vision for Growth and                    selection criteria noted above do not
                                                  provide all students in the community                   Accountability to focus on the overall                 increase reporting burden on charter
                                                  with an equal opportunity to attend the                 State plan by asking the SEA to describe               schools, but rather, request that SEAs
                                                  charter school.                                         the statewide vision for cultivating high-             communicate how their plans address
                                                     Changes: None.                                       performing charter schools, as opposed                 accountability within areas of reporting
                                                     Comment: Several commenters                                                                                 that already exist; how they plan to
                                                                                                          to merely the SEA’s vision. One
                                                  recommended that the Department                                                                                disseminate information about charter
                                                                                                          commenter noted that a statewide vision
                                                  amend paragraphs (2), (3), and (4) of the                                                                      schools across the State, which is a
                                                                                                          may include the views of the SEA,
                                                  selection criterion to address the quality                                                                     requirement of the grant; and how,
                                                                                                          authorizer(s), or other bodies. The other
                                                  of authorizers’ and other State entities’                                                                      within the construct of their laws, they
                                                                                                          commenter suggested that the criterion
                                                  plans to support educationally                                                                                 plan to provide oversight to authorizers.
                                                                                                          should request information on charter                    Changes: None.
                                                  disadvantaged students, in addition to                  schools with the capacity to become
                                                  the SEA’s plans to support such                                                                                  Comment: One commenter stated that
                                                                                                          high-quality, rather than focus on the                 selection criterion (e) Vision for Growth
                                                  students.                                               creation of high-quality charter schools.
                                                     Discussion: We agree that it is                                                                             and Accountability is inherently
                                                                                                             Discussion: We agree that the                       subjective and recommended that the
                                                  important for authorizers and other                     statewide vision for growth and
                                                  State entities to contribute to an SEA’s                                                                       Department clarify what it would
                                                                                                          accountability is important and that the               consider to be a highly rated plan.
                                                  efforts to support educationally                        SEA should play a role in defining and                   Discussion: We rely on a team of
                                                  disadvantaged students. Because this                    assisting the State in realizing that                  independent peer reviewers to use their
                                                  program authorizes the Secretary to                     vision. Thus, the SEA should describe a                professional knowledge and expertise to
                                                  award CSP grants to SEAs, however, the                  broad vision for cultivating high-quality              evaluate responses to the selection
                                                  focus of these final priorities,                        charter schools. We agree that a charter               criteria and rate the quality of the
                                                  requirements, definitions, and selection                school’s capacity to become high-quality               applications based on those responses.
                                                  criteria is on SEAs’ plans to support                   is relevant to an evaluation of the                    For these reasons, the Department
                                                  educationally disadvantaged students.                   statewide vision for charter school                    declines to further delineate what
                                                  To the extent that it is relevant,                      growth and accountability. Therefore,                  constitutes a highly rated plan.
                                                  however, an SEA should include in its                   we have revised paragraph (2) to request               Applicants are asked to address the
                                                  response to this criterion information                  that SEAs provide a reasonable estimate                criterion in their proposed plans in a
                                                  regarding how its plan includes                         of the overall number of high-quality                  way that they believe successfully
                                                  collaboration, coordination, and                        charter schools in the State at both the               responds to the selection criterion.
                                                  communication with other State entities                 beginning and end of the grant period.                   Changes: None.
                                                  for the purpose of providing effective                     Changes: We have revised selection
                                                  support for educationally                               criterion (e) Vision for Growth and                    (f) Dissemination of Information and
                                                  disadvantaged students and other                        Accountability to clarify that the SEA                 Best Practices
                                                  students.                                               should describe its statewide vision for                  Comment: Two commenters suggested
                                                     Changes: None.                                       charter school growth and                              that the Department revise selection
                                                     Comment: One commenter stated that                   accountability, including the role of the              criterion (f) Dissemination of
                                                  the criterion speaks to innovation in                   SEA instead of just the vision of the                  Information and Best Practices to
                                                  paragraph (3), and recommended that                     SEA. We also revised the priority to list              request a description of the extent to
                                                  we make innovation a priority driven by                 the factors the Secretary will consider in             which authorizers or other State
                                                  individual schools rather than the SEA.                 determining the quality of that                        entities, as well as the SEA, will serve
                                                  The commenter recommended that the                      statewide vision.                                      as leaders in identifying and
                                                  Department define innovation to                            Comment: One commenter expressed                    disseminating information, including
                                                  include innovative curriculum,                          concern about administrative burden                    information regarding the quality of
                                                  instructional methods, governance,                      within the context of selection criteria               their plans to disseminate information
                                                  administration, professional roles of                   (e), (f), and (g). The commenter                       and research on best or promising
                                                  teachers, instructional goals and                       suggested that the Department add                      practices that effectively incorporate
                                                  standards, student assessments, use of                  language that would incentivize States                 student body diversity and are related to
                                                  technology, and stated that innovation                  to reduce reporting and administrative                 school discipline and school climate.
                                                  should be a priority for all students,                  requirements for charter schools,                         Discussion: We understand that SEAs
                                                  rather than just educationally                          particularly when a school has a proven                often collaborate with authorizers or
                                                  disadvantaged students and other                        track record of high student                           other State entities to disseminate
                                                  students.                                               achievement.                                           information about charter schools and
                                                     Discussion: The CSP authorizing                         Discussion: We are mindful of the                   best practices in charter schools.
                                                  statute does not define innovation, and                 general reporting burden charter schools               Information dissemination is a
                                                  we prefer to permit applicants to                       face as they comply with Federal, State,               requirement for all SEAs that receive
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  exercise more flexibility by not defining               local, and authorizer reporting and other              CSP funding. This criterion is intended
                                                  the term in this NFP. We agree that                     administrative requirements. However,                  to collect specific information about
                                                  innovation often happens at the school                  the purpose of this regulatory action is               how the SEA plans to meet this
                                                  level but, for the purposes of this                     to support the development of high-                    requirement. Although we support
                                                  program, we are interested in how SEAs                  quality charter schools throughout the                 collaboration, because SEAs are the
                                                  are encouraging innovation in charter                   Nation by strengthening several                        grantees under the program, we decline
                                                  schools within their State.                             components of the CSP Grants to SEAs                   to make the proposed revision.
                                                     Changes: None.                                       program. These final priorities,                          Changes: None.


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00015   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                  34216               Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations

                                                  (g) Oversight of Authorized Public                      from developers that have the capacity                 take steps to improve student body
                                                  Chartering Agencies                                     to create high-quality charter schools,                diversity in charter schools, paragraph
                                                     Comment: One commenter expressed                     authorizers should strive to assess the                (2) of selection criterion (g) Oversight of
                                                  support for selection criterion (g)                     likelihood that applications will result               Authorized Public Chartering Agencies
                                                  Oversight of Authorized Public                          in high-quality charter schools.                       does not require every approved school
                                                  Chartering Agencies. Another                            However, we agree that it would be                     to be racially and ethnically diverse.
                                                                                                          useful to clarify that these developers                  Changes: None.
                                                  commenter recommended deleting this                                                                              Comment: Multiple commenters
                                                  selection criterion, stating that it                    need only demonstrate that they have
                                                                                                          the capacity to create charter schools                 recommended that the Department
                                                  assumes that authorizers are providing                                                                         revise paragraph (5) of selection
                                                                                                          that can become high-quality charter
                                                  inadequate or ineffective oversight and                                                                        criterion (g) Oversight of Authorized
                                                                                                          schools. These suggested changes are
                                                  that requiring SEAs to oversee and                                                                             Public Chartering to reflect language
                                                                                                          consistent with other changes that we
                                                  manage authorizers’ activities would                                                                           added in the FY 2015 Appropriations
                                                                                                          are making to these priorities,
                                                  impose undue costs and require more                                                                            Act which requires applicants to
                                                                                                          requirements, definitions, and selection
                                                  funding than the CSP Grants for SEAs                                                                           provide assurances that authorizers use
                                                                                                          criteria.
                                                  program currently provides. The                            Changes: We have revised paragraph                  increases in student academic
                                                  commenter also stated that the criterion                (1) of selection criterion (g) Oversight of            achievement for all groups of students
                                                  should be deleted because it assumes                    Authorized Public Chartering Agencies                  as one of the most important factors in
                                                  that SEAs have statutory authority to                   to refer to developers that have the                   deciding whether to renew a school’s
                                                  monitor, evaluate, or otherwise hold                    capacity to create charter schools that                charter.
                                                  accountable authorizers.                                can become high-quality charter                          Discussion: We agree that this factor
                                                     Discussion: This criterion is not                    schools.                                               should be consistent with the language
                                                  intended to imply that authorizers are                     Comment: Several commenters                         in the FY 2015 Appropriations Act,
                                                  not providing adequate or effective                     recommended either substantial edits to                which was enacted after publication of
                                                  oversight. Rather, the criterion is                     paragraph (2) of selection criterion (g)               the NPP in the Federal Register, and
                                                  intended to challenge SEAs to take steps                Oversight of Authorized Public                         have made appropriate revisions.
                                                  to ensure higher-quality charter school                 Chartering Agencies or the deletion of                   Changes: We have revised paragraph
                                                  authorizing. We understand that SEAs                    paragraph (2) altogether. These                        (5) of selection criterion (g) Oversight of
                                                  do not always have the statutory                        commenters stated that the focus on                    Authorized Public Chartering Agencies
                                                  authority to take action against                        evidence-based whole-school models                     to reflect the requirement in the FY
                                                  authorizers that perform poorly or                      and practices related to racial and                    2015 Appropriations Act that SEAs
                                                  approve low-quality charter schools.                    ethnic diversity would significantly                   provide assurances that State law,
                                                  However, all SEAs can review and                        limit charter school and authorizer                    regulations, or other policies require
                                                  evaluate data on authorizer and charter                 autonomy and restrict innovation in the                authorizers to use increases in student
                                                  school performance, and this criterion is               charter school sector. Finally, some                   academic achievement as one of the
                                                  designed to encourage that role within                  commenters opined that this factor                     most important factors in charter
                                                  the administrative plans SEAs put in                    would create an obstacle for charter                   renewal decisions, instead of the most
                                                  place for the CSP grant. The CSP Grants                 school developers seeking to open                      important factor.
                                                  for SEAs program allows up to five                      schools in communities that are not                      Comment: One commenter
                                                  percent of funds to be set aside for                    racially and ethnically diverse.                       recommended that the Department
                                                  administrative costs, which can be used                    Discussion: We agree that innovation                clarify selection criterion (g) Oversight
                                                  for a wide range of activities to support               is a critical and fundamental attribute of             of Authorized Public Chartering
                                                  charter schools funded under the grant,                 charter schools. We disagree, however,                 Agencies to ensure that States hold
                                                  including monitoring and oversight and                  that asking SEAs to describe how they                  authorizers accountable for the
                                                  providing technical assistance.                         will ensure that authorizers are                       enrollment, recruitment, retention and
                                                     Changes: None.                                       approving charter schools with design                  outcomes of all students, including
                                                     Comment: One commenter suggested                     elements that incorporate evidence-                    students with disabilities. The
                                                  revising paragraph (1) of selection                     based school models and practices                      commenter noted that all State charter
                                                  criterion (g) Oversight of Authorized                   would limit innovation or preclude the                 school laws have provisions regarding
                                                  Public Chartering Agencies to require                   creation of charter schools in certain                 special education and related services
                                                  authorizers only to seek charter school                 communities. Despite the commenter’s                   but that the substance of these statutes
                                                  petitions from developers that have the                 concern, this criterion does not ask                   varies considerably from State to State.
                                                  capacity to create high-quality charter                 applicants to ensure that all approved                 The commenter recommended
                                                  schools, rather than requiring                          charter schools solely use evidence-                   providing clarity within selection
                                                  authorizers to seek and approve charter                 based approaches—authorizers may                       criterion (g) Oversight of Authorized
                                                  school petitions from such developers.                  approve charter school petitions that                  Public Chartering Agencies to specify
                                                  Second, two commenters recommended                      include new or untested ideas as long as               that in accordance with IDEA, SEAs
                                                  revising paragraph (1) to focus on the                  there are elements within their new                    must exercise their authority to ensure
                                                  capacity of developers to create charter                approach that are supported by                         authorizers provide students with
                                                  schools that can become high-quality                    evidence.                                              disabilities equal access to the State’s
                                                  charter schools.                                           As discussed above, selection criteria              charter schools, and provide students
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                     Discussion: We decline to delete the                 do not impose requirements on                          with disabilities a free appropriate
                                                  word ‘‘approving’’ from paragraph (1),                  applicants, but merely request                         public education in the least restrictive
                                                  which asks for the SEA’s plan on how                    information to enable peer reviewers to                environment.
                                                  it will ensure that authorizers both seek               evaluate how well an applicant will                      Discussion: In general, selection
                                                  and approve applications from                           comply with certain programmatic                       criteria do not impose requirements on
                                                  developers with the capacity to create                  requirements based on their responses                  applicants. Rather, they are intended to
                                                  high-quality charter schools. We believe                to the selection criteria. Thus, while we              solicit information to enable peer
                                                  that, in addition to seeking applications               encourage SEAs and charter schools to                  reviewers to evaluate an SEA’s plan to


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00016   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                                      Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations                                          34217

                                                  hold authorizers accountable within the                    Comment: Several commenters                         (e) Vision for Growth and
                                                  constraints of the State’s charter school               suggested textual revisions to selection               Accountability addresses the statewide
                                                  law. One factor in selection criterion (g)              criterion (g) Oversight of Authorized                  vision for strengthening authorizers,
                                                  provides for consideration of the quality               Public Chartering Agencies. First, one                 which may involve direct State action or
                                                  of the SEA’s plan to monitor, evaluate,                 commenter recommended extensive                        other entities playing an oversight or
                                                  assist, and hold authorized public                      changes to paragraph (2) in order to                   performance management role in
                                                  chartering agencies accountable in                      emphasize the need for an authorizer to                partnership with the State.
                                                  monitoring their charter schools on at                  conduct a petition approval process that                  Changes: None.
                                                  least an annual basis, including                        considers an individual developer’s                       Comment: One commenter
                                                  ensuring that the charter schools are                   capacity to create high-quality charter                recommended that we revise selection
                                                  complying with applicable State and                     schools, among other factors.                          criterion (g) Oversight of Authorized
                                                  Federal laws. Charter law provisions                    Additionally, one commenter suggested                  Public Chartering Agencies to ask SEAs
                                                  regarding IDEA requirements would be                    adding financial measures to academic                  to include an analysis of whether the
                                                  part of the SEA’s plan.                                 and operational performance measures                   State’s budget is adequate for the SEA’s
                                                    In addition, although SEAs’ statutory                 as an element of paragraph (3). One                    plan to support high-quality authorizing
                                                  authority over authorizers varies from                  commenter recommended that we revise                   within the context of each State’s
                                                  State to State, all charter schools                     paragraph (7) to emphasize providing                   charter school law.
                                                  receiving CSP subgrants through the                     rather than supporting charter school                     Discussion: We agree with the
                                                  SEA must comply with applicable                         autonomy. Finally, one commenter                       commenter that the adequacy of a
                                                  Federal and State laws, including                       stated that the words ‘‘public’’ and                   State’s budget for an SEA’s plan is
                                                  Federal civil rights laws and part B of                 ‘‘government’’ are not synonymous with                 relevant in determining the quality of
                                                  the IDEA, to meet the Federal definition                regard to authorizing entities, but did                the SEA’s plan to support high-quality
                                                  of a charter school (section 5210(1)(G) of              not provide additional context for the                 authorizing. While we encourage each
                                                  the ESEA, 20 U.S.C. 7221i).                             comment.                                               SEA to provide a detailed description of
                                                    We also refer the commenter to                           Discussion: We decline to change                    its plan, including any available
                                                  selection criterion (a) State-Level                     paragraph (2) as suggested. We believe                 resources to implement the plan, we
                                                  Strategy, which requires SEAs to                        that it is critically important for an                 decline to specify what constitutes a
                                                  demonstrate how they will improve                       authorizer to evaluate entities for the                quality plan.
                                                  educational outcomes for students                       capacity to develop a high-quality                        Changes: None.
                                                  throughout the State. Finally, we refer                 charter school. We also do not believe
                                                                                                          that it is appropriate to add a reference              (h) Management Plan and Theory of
                                                  the commenter to selection criterion (d)                                                                       Action
                                                                                                          to financial factors to paragraph (3), as
                                                  Quality of Plan to Support
                                                                                                          financial performance expectations are                   Comment: One commenter suggested
                                                  Educationally Disadvantaged Students,
                                                                                                          included as part of the general                        that we limit consideration of
                                                  which explicitly requires SEAs to
                                                                                                          operational performance expectations                   monitoring reviews under paragraph
                                                  provide a plan and vision for supporting
                                                                                                          discussed in the paragraph.                            (3)(ii) of selection criterion (h)
                                                  educationally disadvantaged students,                      We also disagree with the proposed                  Management Plan and Theory of Action
                                                  which includes students with                            revisions to paragraph (7). We recognize               to those that have occurred within the
                                                  disabilities.                                           that autonomy manifests in many ways                   past three years.
                                                    Changes: None.                                        and that the degree of autonomy                          Discussion: Restricting the time
                                                    Comment: One commenter                                afforded to charter schools is based on                period for monitoring reviews to three
                                                  recommended revising selection                          State law. With this criterion, we ask                 years may not provide a full picture of
                                                  criterion (g) Oversight of Authorized                   SEAs to describe their plans to ensure                 an applicant’s capacity for effective
                                                  Public Chartering Agencies to allow the                 that authorizers are supporting charter                program administration. Further,
                                                  Secretary to consider the quality of an                 school autonomy; this could be through                 permitting an SEA to address
                                                  authorizer either in addition to, or in                 the authorizer’s provision of that                     compliance issues or findings identified
                                                  place of, the quality of an SEA’s plan to               autonomy, but also could occur in other                in reviews beyond the three-year period
                                                  monitor the authorizer. The commenter                   indirect ways. For this reason, we                     will enable it to describe any corrective
                                                  expressed concern that the elements of                  decline to revise the language as                      actions that have been implemented
                                                  this criterion will give an SEA undue                   suggested by the commenter. Finally,                   successfully.
                                                  influence over authorizers.                             we agree that the terms ‘‘public’’ and                   Changes: None.
                                                    Discussion: The CSP Grants for SEAs                   ‘‘government’’ are not synonymous with
                                                  program provides funds to SEAs to                                                                              (i) Project Design
                                                                                                          respect to authorizers.
                                                  enable them to conduct charter school                      Changes: None.                                         Comment: One commenter
                                                  subgrant programs in their State. State                    Comment: One commenter suggested                    recommended that we revise paragraph
                                                  charter school laws vary with respect to                that we revise selection criterion (g)                 (1)(i) of selection criterion (i) Project
                                                  an SEA’s oversight authority over                       Oversight of Authorized Public                         Design to request information about
                                                  authorizers. Therefore, this criterion is               Chartering Agencies to request that an                 how the SEA will ensure that subgrants
                                                  intended to challenge SEAs to take steps                SEA describe all efforts in the State to               will be awarded to applicants
                                                  to ensure that charter school authorizers               strengthen authorized public chartering                demonstrating the capacity to create
                                                  establish policies and employ practices                 agencies, rather than describe only the                charter schools that can become high-
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  to create and retain high-quality charter               SEA’s efforts. The commenter expressed                 quality charter schools, as opposed to
                                                  schools that meet the terms of their                    expectations that an SEA will have                     the capacity to create high-quality
                                                  charter contracts and comply with                       robust oversight over authorizers.                     charter schools.
                                                  applicable State and Federal laws,                         Discussion: Because SEAs are the                       Discussion: With this criterion, we ask
                                                  within the constraints of the State’s                   grantees under this program, we believe                SEAs to describe the likelihood of
                                                  charter school law. For this reason, we                 the emphasis should remain on the SEA                  awarding subgrants to applicants that
                                                  leave the language as originally drafted.               rather than other entities within the                  demonstrate the capacity to create high-
                                                    Changes: None.                                        State. We note that selection criterion                quality charter schools. Asking


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00017   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                  34218               Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations

                                                  applicants to demonstrate their capacity                this reason, we have made the                          purpose of conducting audits or
                                                  to create high-quality charter schools                  recommended revision.                                  examinations).
                                                  implies that the SEA will employ                          Changes: We have revised paragraph                      Changes: None.
                                                  rigorous subgrant review processes to                   (3) of selection criterion (i) Project                    Comment: One commenter expressed
                                                  assure subgrants are awarded to eligible                Design to refer to increasing student                  concern that the priorities,
                                                  applicants with the capacity to create                  body diversity or maintaining a high                   requirements, definitions, and selection
                                                  high-quality charter schools. This                      level of student body diversity, as                    criteria collectively disadvantage
                                                  criterion does not impose a time limit                  opposed to just increasing diversity.                  students with disabilities.
                                                  by which new charter schools must be                                                                              Discussion: We disagree that these
                                                  able to demonstrate that they are high-                 General Comments                                       final priorities, requirements,
                                                  quality charter schools, but still conveys                 Comment: Several commenters                         definitions, and selection criteria
                                                  the ultimate goal of SEAs awarding CSP                  expressed the opinion that charter                     disadvantage students with disabilities.
                                                  subgrants to charter school developers                  school law is a State and local concern                A major focus of the CSP grants for
                                                  that will create high-quality charter                   and should be subject to less Federal                  SEAs program is to provide financial
                                                  schools. We believe that this language                  regulation. Several other commenters                   assistance to SEAs to enable them to
                                                  already achieves the commenter’s goal                   expressed concern that the proposed                    conduct charter school subgrant
                                                  and decline to revise the criterion.                    priorities, requirements, definitions, and             programs to assist educationally
                                                     Changes: None.                                       selection criteria fail to acknowledge                 disadvantaged and other students in
                                                     Comment: One commenter stated that                   that States may have charter school laws               meeting State academic content
                                                  it is not useful to ask SEAs to estimate                that minimize the importance of SEAs                   standards and State student academic
                                                  the number of high-quality charter                      in the charter school sector.                          achievement standards. Likewise, these
                                                  schools they will create during the life                                                                       final priorities, requirements,
                                                                                                             Discussion: We recognize that charter
                                                  of the grant or the proportion of charter                                                                      definitions, and selection criteria reflect
                                                                                                          schools are authorized under State law
                                                  schools that have yet to open that will                                                                        the Department’s interest in ensuring
                                                                                                          and that State charter school laws vary.
                                                  become high-quality. The commenter                                                                             that charter schools receiving CSP funds
                                                                                                          The CSP Grants for SEAs program,
                                                  suggested that we strike paragraph (1)(i)                                                                      serve educationally disadvantaged
                                                                                                          however, provides funds to SEAs to
                                                  of selection criterion (i) Project Design,                                                                     students, including students with
                                                                                                          enable them to conduct charter school
                                                  which requests the SEA to discuss the                                                                          disabilities.
                                                                                                          subgrant programs in the State. In order                  Changes: None.
                                                  subgrant application and peer review
                                                                                                          for SEAs to qualify for CSP funds, they                   Comment: One commenter stated that
                                                  processes, and how the SEA intends to
                                                                                                          must comply with the statutory and                     the priorities, requirements, definitions,
                                                  ensure that subgrants will be awarded to
                                                                                                          regulatory requirements governing the                  and selection criteria imply that
                                                  applicants demonstrating the capacity to
                                                                                                          program. These priorities, requirements,               economically disadvantaged students as
                                                  create high-quality charter schools and
                                                                                                          definitions, and selection criteria are                well as ethnic and racial minority
                                                  retain the language in paragraph (1)(ii),
                                                                                                          intended to clarify CSP requirements                   students are not well-represented in
                                                  which requests that the SEA provide a
                                                                                                          and to ensure that CSP funds are spent                 charter schools and that this is not true
                                                  reasonable year-by-year estimate of the
                                                                                                          in accordance with those requirements.                 in all States. In addition, the commenter
                                                  number of subgrants the SEA expects to
                                                  award during the project period.                           Changes: None.                                      provided an example of a State in which
                                                     Discussion: Paragraph (1)(i) of                         Comment: One commenter suggested                    charter schools primarily serve students
                                                  selection criterion (i) Project Design                  that the Department require SEAs to                    at greatest academic risk, and suggested
                                                  does not ask SEAs to provide an                         ensure that education management                       that the Department emphasize
                                                  estimate of new charter schools that will               organizations (EMOs) make their                        academic growth as opposed to student
                                                  become high-quality, but rather, focuses                financial records available to governing               achievement in order to capture the
                                                  on the quality of the SEA’s subgrant                    boards on request.                                     success of charter schools serving those
                                                  award process and how the SEA will                         Discussion: As for-profit entities,                 students.
                                                  ensure that subgrants are awarded to                    EMOs are not eligible to apply for CSP                    Discussion: These final priorities,
                                                  applicants demonstrating the capacity to                subgrants under the CSP Grants to SEAs                 requirements, definitions, and selection
                                                  create high-quality charter schools. On                 program. While CSP subgrant recipients                 criteria are not intended to imply that
                                                  the other hand, we agree that the                       may enter into contracts with EMOs for                 economically disadvantaged, racial, or
                                                  determination of the amount of CSP                      the provision of goods and services                    ethnic minority students are
                                                  funds to award to an SEA requires a                     within the scope of authorized activities              underrepresented in charter schools
                                                  reasonable estimate of the number and                   under the program and approved                         nationwide. We recognize that student
                                                  size of subgrants the SEA expects to                    subgrant project, the subgrantee is                    demographic distributions vary by State
                                                  award during the grant period. For these                responsible for administering the project              and that many charter schools are
                                                  reasons, we decline to make the change                  and supervising the administration of                  successfully serving diverse student
                                                  suggested by the commenter.                             the project. When negotiating the terms                populations, including educationally
                                                     Changes: None.                                       of the contract with the EMO, the                      disadvantaged students (i.e., students at
                                                     Comment: One commenter suggested                     subgrantee should ensure that the                      risk of academic failure) and students
                                                  that the Department revise paragraph (3)                contract includes whatever provisions                  who are members of racial or ethnic
                                                  of selection criterion (i) Project Design               are necessary for the proper and                       minorities. In addition, the final
                                                  to include maintaining as well as                       efficient administration of the subgrant               priorities, requirements, definitions, and
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  increasing student body diversity as                    (e.g. a provision that would give the                  selection criteria provide opportunities
                                                  examples of areas of need in the State                  grant and subgrant recipients, the                     for SEAs to demonstrate academic
                                                  on which the SEA’s subgrant program                     Department, the Comptroller of the                     growth as well as improved student
                                                  might focus.                                            United States, or any of their duly                    academic achievement in charter
                                                     Discussion: We agree that it would be                authorized representatives, access to                  schools for all students, including
                                                  useful to add maintaining a high level                  any books, documents, papers, and                      educationally disadvantaged students.
                                                  of student body diversity as an example                 records of the contractor that are                     For example, paragraph (1) of the
                                                  of a potential area of need in a State. For             directly pertinent to the program for the              definition of a high-quality charter


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00018   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                                      Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations                                            34219

                                                  school requires a charter school to                     promote rigorous review as it relates to                  Discussion: These final priorities,
                                                  demonstrate increased academic                          authorizing but not to discourage                      requirements, definitions, and selection
                                                  achievement and attainment for all                      authorizers from approving an untested                 criteria will form the basis of our CSP
                                                  students.                                               innovative school design model focused                 Grants for SEAs competition for FY
                                                     Changes: None.                                       on serving a subset of educationally                   2015 and future years. While we do not
                                                     Comment: One commenter                               disadvantaged students, as long as the                 identify which priorities we will utilize
                                                  recommended that the Department                         model, or elements or practices with the               for any particular competition, we
                                                  consider diversity-enhancing policies in                model, are sufficiently based in                       believe that the substance of the
                                                  the charter, magnet, and non-charter                    research.                                              priorities in this NFP is appropriate
                                                  school sectors. Specifically, the                          Changes: None.                                      given the amount of Federal funds that
                                                  commenter recommended that the                             Comment: One commenter stated that                  will flow to the States and their
                                                  Department support strategies that                      the Department should require SEAs to                  subgrantees. We also disagree that these
                                                  reflect collaborative cross-sector efforts              work with all partners in the field to                 final priorities, requirements,
                                                  and community input, consider actual                    ensure that the pool of charter school                 definitions, and selection criteria lack
                                                  and potential cross-sector student                      developers is diverse and focused on the               appropriate alignment with leading
                                                  enrollment dynamics and impacts, and                    needs of educationally disadvantaged                   practices. Rather, we believe that these
                                                  broadly increase school diversity across                students.                                              final priorities, requirements,
                                                  all taxpayer-supported school sectors.                     Discussion: We believe that it is                   definitions, and selection criteria are
                                                     Discussion: We agree that cross-sector               important for SEAs to work with other                  well-founded in current educational
                                                  collaboration can be useful in increasing               entities that are relevant to charter                  research and widely-accepted practice.
                                                  student body diversity in public                        schools to improve the overall quality of                 For applicants that require additional
                                                  schools, including charter schools.                     the charter school sector and to improve               information about these final priorities,
                                                  Although SEAs are the only eligible                     academic outcomes for educationally                    requirements, definitions, and selection
                                                  applicants under this program, SEAs                     disadvantaged students. To that end, we                criteria, the Department will include
                                                  have great flexibility to devise charter                have included selection criteria that ask              information in each NIA on any planned
                                                  school subgrant programs that promote                   applicants to discuss their State-level                pre-application meetings as well as
                                                  cross-sector collaboration within the                   strategies and plans to serve                          instructions on how to request
                                                  parameters of the CSP authorizing                       educationally disadvantaged students.                  additional information.
                                                  statute and applicable regulations.                        Changes: None.                                         Changes: None.
                                                     Changes: None.                                          Comment: One commenter                                 Comment: One commenter
                                                     Comment: One commenter suggested                     recommended that the Department                        recommended that the Department add
                                                  that paragraph (3) of selection criterion               consider additional options for a State                a selection criterion to measure the
                                                  (d) Quality of Plan to Support                          to submit a competitive application. The               strength of a State’s charter school law
                                                  Educationally Disadvantaged Students,                   commenter indicated that, in some                      with respect to provisions related to the
                                                  which considers the extent to which an                  States, the chief education officer (e.g.,             closure of academically poor-
                                                  SEA encourages innovations in charter                   superintendent of instruction or similar               performing charter schools.
                                                  schools in order to improve the                         position) may lack the will or ability to                 Discussion: We agree that an SEA’s
                                                  academic achievement of educationally                   advance a strong grant proposal under                  ability to close academically poor-
                                                  disadvantaged students, and paragraph                   the CSP Grants for SEAs program.                       performing charter schools is an
                                                  (2) of selection criterion (g) Oversight of                Discussion: Given that this program                 important factor in assessing the quality
                                                  Authorized Public Chartering Agencies,                  awards funds to SEAs, we cannot                        of an SEA’s grant application. These
                                                  which considers whether an SEA’s plan                   compel a State to advance charter                      priorities, requirements, definitions, and
                                                  ensures that authorizers are approving                  schools when the relevant leadership                   selection criteria address school closure
                                                  charter school petitions with design                    believes that it is not appropriate to do              in several areas, including Priority 3—
                                                  elements that incorporate evidence-                     so. In States in which the SEA does not                High-Quality Authorizing and
                                                  based school models and practices, are                  have an approved application under the                 Monitoring Processes, selection criterion
                                                  contradictory.                                          CSP, non-SEA eligible applicants (i.e.,                (c) Past Performance, and selection
                                                     Discussion: We disagree that the two                 charter school developers and charter                  criterion (e) Vision for Growth and
                                                  factors contradict each other. For                      schools) may apply directly to the                     Accountability. These provisions
                                                  example, an SEA may support charter                     Department for CSP startup and                         address State charter authorizing
                                                  schools that incorporate evidence-based                 dissemination grants. Additional                       practices, including charter school
                                                  practices into an innovative school                     information about the Department’s CSP                 closure policies, and their impact on the
                                                  model focused on improving the                          Grants to Non-SEA Eligible Applicants                  development of high-quality charter
                                                  academic achievement of educationally                   program can be found at www2.ed.gov/                   schools and closure of academically
                                                  disadvantaged students. While the                       programs/charternonsea/                                poor-performing charter schools.
                                                  entirety of the proposed model may not                  applicant.html.                                           Changes: None.
                                                  have been evaluated because of the                         Changes: None.                                         Comment: One commenter
                                                  demographics of educationally                              Comment: One commenter expressed                    recommended that we add a new
                                                  disadvantaged students served, some or                  general concern about the structure of                 priority related to facilities access, based
                                                  all of the individual components of the                 the priorities, requirements, definitions,             on the following additional factors: (1)
                                                  model or practices used may be                          and selection criteria, stating that the               Funding for facilities; (2) assistance
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  evidence-based. In the context of                       priorities are long and vague and may be               with facilities acquisition; (3) access to
                                                  selection criterion (g) Oversight of                    difficult for the Department to apply.                 public facilities; (4) the ability to share
                                                  Authorized Public Chartering Agencies,                  The commenter opined that the                          in bonds or mill levies; (5) the right of
                                                  the intent of encouraging SEAs to                       priorities, requirements, definitions, and             first refusal to purchase public school
                                                  propose a plan whereby authorizers                      selection criteria favor a narrow                      buildings; or (6) low- or no-cost leasing
                                                  approve charter schools petitions with                  interpretation of sound chartering                     privileges.
                                                  design elements that incorporate                        practices that lacks research-based                       Discussion: We support State efforts
                                                  evidence-based school models is to                      support.                                               to assist charter schools in acquiring


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00019   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                  34220               Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations

                                                  facilities. Accordingly, selection                      ESEA (20 U.S.C. 7221g) requires an SEA                 Oversight of Authorized Public
                                                  criterion (a) State-Level Strategy                      and LEA to transfer a student’s records                Chartering Agencies, through the
                                                  considers the extent to which funding                   when that student transfers schools.                   development of a State-level strategy
                                                  equity for charter school facilities is                    Changes: None.                                      and authorizers’ review and monitoring
                                                  incorporated into the State-level                          Comment: One commenter expressed                    of their school portfolios. For these
                                                  strategy.                                               general concern over parent contracts in               reasons, we decline to impose any of the
                                                     Changes: None.                                       certain charter school settings. The                   recommended requirements.
                                                     Comment: One commenter stated that                   commenter stated that these contracts                    Changes: None.
                                                  the proposed priorities generally imply                 have the potential to deny eligibility to                Comment: One commenter
                                                  that authorizers must follow a uniform                  a student if a child’s parent or guardian              recommended that the Department
                                                  path for decision-making, that such a                   is unable to comply with the contract,                 require SEAs to post information
                                                  path will lead to homogony across                       and that such contracts can have a                     regarding individual charter schools
                                                  authorizers, and that this monoculture                  discriminatory impact on certain                       online, such as the school’s charter,
                                                  is not preferable. The commenter                        students. The commenter recommended                    performance contract, and school rules.
                                                  suggested that the Department address                   that the Department determine CSP                      The commenter also stated that
                                                  authorizer diversity and an authorizer’s                Grants to SEAs program eligibility on                  members of the charter sector should be
                                                  ability to exercise its own judgment and                the condition that subgrantees prohibit                subject to financial conflict of interest
                                                  discretion with regard to chartering                    parent contracts. The commenter also                   guidelines similar to those that magnet
                                                  decisions.                                              recommended that the Department                        schools follow.
                                                     Discussion: We agree that authorizers                require school districts, authorizers, and               Discussion: We believe that charter
                                                  should exercise judgment over their                     individual schools to provide a city-                  schools should be transparent in their
                                                  portfolio of charter schools and should                 wide, multi-year plan to note                          operations and make information as
                                                  be evaluated based on the success of                    demographic changes, criteria for new                  widely available to the public as
                                                  those portfolios. We also note that it is               school openings or closings, and                       possible. In addition, charter schools are
                                                  important for SEAs to develop and                       equitable geographic distribution of                   public schools and, as such, are subject
                                                  adopt principles and standards around                   schools. Additionally, the commenter                   to all applicable laws governing
                                                  charter school authorizing to ensure                    asked that the Department require                      information access. However, we defer
                                                  some level of quality control and public                authorizers to submit an impact                        to States regarding the specific
                                                  accountability within the charter sector                statement before approving any new                     information they choose to post on a
                                                  if charter schools are to fulfill their                 charter school application. Finally, the               particular Web site.
                                                  intended purposes. These final                          commenter recommended that the                           Changes: None.
                                                  priorities, requirements, definitions, and              Department require an SEA to conduct                     Comment: One commenter supported
                                                  selection criteria enable the Department                an annual assessment of the cumulative                 the inclusion of the statutory priority for
                                                  and peer reviewers to evaluate SEA                      impact of charter schools on traditional               States that have a non-LEA authorizer as
                                                  applications regarding quality control                  school districts. This assessment would                described in section 5202(e)(3)(B) of the
                                                  and public accountability around                        analyze funding, enrollment trends, and                ESEA (20 U.S.C. 7221a(e)(3)(B)). The
                                                  charter school authorizing within their                 educational outcomes.                                  commenter expressed the belief that the
                                                  State.                                                     Discussion: While the CSP                           priority was not included in the NPP
                                                     Changes: None.                                       authorizing statute does not expressly                 because the Department does not
                                                     Comment: Two commenters                              prohibit parent contracts, SEAs are                    propose to supplement the statutory
                                                  expressed concern about charter                         required to ensure that charter schools                language, and that the priority should be
                                                  schools’ compliance with open records                   are providing equal educational                        used in the FY 2015 CSP Grants for
                                                  and meeting laws. One of the                            opportunities for all students. In                     SEAs competition.
                                                  commenters recommended that the                         addition, charter schools receiving CSP                  Discussion: The commenter is correct
                                                  Department require States to ensure that                subgrants may not charge tuition and, as               that the final priorities in this NFP do
                                                  charter schools comply with these laws,                 public schools, ls must employ open                    not alter the statutory priority described
                                                  while the other commenter suggested                     admissions policies and provide all                    in section 5202(e)(3)(B) of the ESEA (20
                                                  that the Department require SEAs to                     students with an equal opportunity to                  U.S.C. 7221a(e)(3)(B)), which delineates
                                                  provide guidance to charter schools,                    attend the charter school. While SEAs                  priority criteria to incentivize States
                                                  LEAs, and authorizers clarifying that                   have great flexibility to conduct their                who have an authorizer that is not a
                                                  neither the Family Educational Rights                   charter schools subgrant programs in a                 LEA or, if only LEAs can authorize
                                                  and Privacy Act (FERPA) nor IDEA                        manner that promotes State goals and                   charter schools within a given State, an
                                                  prevent the sharing of student data in an               objectives, they must do so consistent                 appeals process for the denial of a
                                                  efficient and timely manner.                            with CSP requirements. Thus, SEAs                      charter school application.
                                                     Discussion: We support transparency                  may not require or allow charter schools                 Changes: None.
                                                  across all aspects of the chartering                    to employ admissions or other policies                   Comment: One commenter asked the
                                                  process. Open meetings laws are not                     that are discriminatory or otherwise                   Department to require applicants to
                                                  addressed in ESEA or other areas of                     exclude certain students from applying                 submit information about the SEA’s
                                                  Federal law. Therefore, the decision to                 for admission to the charter school.                   process for awarding grants to charter
                                                  include charter schools in open                            With regard to the commenter’s                      schools with a significant expansion of
                                                  meetings requirements is a State issue.                 request that we require impact                         enrollment under the CSP program and
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  It is worth noting, however, that factors               statements, we do not believe that                     noted that current CSP regulations give
                                                  (4) and (6) of selection criterion (g)                  requiring an SEA to conduct an annual                  States latitude in defining significant
                                                  Oversight of Authorized Public                          impact assessment of charter schools                   expansion of enrollment.
                                                  Chartering Agencies ask charter schools                 represents the best expenditure of CSP                   Discussion: Under this program, the
                                                  how they comply with all related State                  funds. Further, elements related to                    Department awards grants to SEAs to
                                                  laws. Regarding the request to add an                   impact could be addressed in selection                 assist them in conducting a charter
                                                  additional assurance regarding records                  criterion (a) State-Level Strategy, and                school subgrant program in their States.
                                                  transfer, we note that section 5208 of the              also under selection criterion (g)                     As a general matter, funds may be used


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00020   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                                      Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations                                           34221

                                                  only for post-award planning and initial                systemic and systematic changes in                     academic achievement requirements
                                                  implementation of charter schools and                   charter practices while also increasing                and goals for charter schools as set forth
                                                  the dissemination of information about                  the performance standards of a State’s                 in the school’s charter or under State
                                                  charter schools. The CSP Replication                    charter school system.                                 law, a State regulation, or a State policy,
                                                  and Expansion Grant program (CFDA                          Discussion: With regard to the first                provided that the student academic
                                                  Number 84.282M) awards grants to non-                   point, we do not intend to imply that                  achievement requirements and goals for
                                                  profit charter management organizations                 annual measurable objectives are the                   charter schools established by that
                                                  (CMOs) and other not for-profit entities                most important factor. All enumerated                  policy meet or exceed those set forth
                                                  to support the replication and                          factors are equally important and                      under applicable State law or State
                                                  expansion of high-quality charter                       include the elements enumerated by the                 regulation. This periodic review and
                                                  schools. In limited circumstances, the                  commenter. Further, we recognize that                  evaluation must include an opportunity
                                                  Department has granted waiver requests                  various subgroups will achieve differing               for the authorized public chartering
                                                  submitted by SEAs under this program                    gains over time. In addition, while SEA                agency to take appropriate action or
                                                  to enable the SEA to award a CSP grant                  oversight authority over authorizers                   impose meaningful consequences on the
                                                  to a charter school that has substantially              varies based on State charter school law,              charter school, if necessary.
                                                  expanded its enrollment. Because CSP                    we believe that having a State-Level                      Priority 2—Charter School Oversight.
                                                  Grants to SEAs generally do not support                 Strategy provides the SEA with an                         To meet this priority, an application
                                                  charter school expansions, however, the                 opportunity to create systemic and                     must demonstrate that State law,
                                                  Department declines to include the                      systematic change while also increasing                regulations, or other policies in the State
                                                  proposed requirement.                                   student academic achievement in                        where the applicant is located require
                                                     Changes: None.                                       charter schools.                                       the following:
                                                     Comment: One commenter suggested                        With regard to the final point, we                     (a) That each charter school in the
                                                  including a note in the NIA stating that,               disagree with the commenter and note                   State—
                                                  while guiding growth within the                         that an SEA’s authority is an issue of                    (1) Operates under a legally binding
                                                  priorities of a State or district is an                 State law. We do, however, believe that                charter or performance contract between
                                                  admirable goal, the application and                     these priorities, requirements,                        itself and the school’s authorized public
                                                  review process should not remove a                      definitions, and selection criteria may                chartering agency that describes the
                                                  strong community charter school                         motivate a State to exercise a more                    rights and responsibilities of the school
                                                  proposal from consideration just                        active role over authorizer                            and the authorized public chartering
                                                  because it does not focus on a priority                 accountability.                                        agency;
                                                  for a State or authorizer.                                 Changes: None.                                         (2) Conducts annual, timely, and
                                                     Discussion: We acknowledge that a                       Comment: One commenter                              independent audits of the school’s
                                                  community charter school applicant                      commended the Department’s focus on                    financial statements that are filed with
                                                  may propose models to a specific                        educationally disadvantaged students                   the school’s authorized public
                                                  authorizer that may not be aligned with                 and recommended that we reward                         chartering agency; and
                                                  a State’s specific priorities for charter               States that present data demonstrating                    (3) Demonstrates improved student
                                                  growth. While SEAs may exercise                         that there is equitable access to charter              academic achievement; and
                                                  flexibility in designing and establishing               schools for all subgroups.                                (b) That all authorized public
                                                  priorities for their CSP subgrant                          Discussion: We believe that equitable               chartering agencies in the State use
                                                  programs, they are required to utilize a                access to charter schools for all                      increases in student academic
                                                  peer review process to evaluate subgrant                subgroups is addressed in paragraph (2)                achievement for all groups of students
                                                  applications to ensure fairness in the                  of selection criterion (d) Quality of Plan             described in section 1111(b)(2)(C)(v) of
                                                  competitive subgrant award process and                  to Support Educationally                               the ESEA (20 U.S.C. 6311(b)(2)(C)(v)) as
                                                  that the highest quality applications are               Disadvantaged Students. A critical                     one of the most important factors when
                                                  approved for funding. We encourage the                  aspect of these priorities, requirements,              determining whether to renew or revoke
                                                  State to have a deliberate plan for                     definitions, and selection criteria is to              a school’s charter.
                                                  innovative charter school growth, but                   ensure equitable access to charter                        Priority 3—High-Quality Authorizing
                                                  individual authorizers approve or reject                schools for students across all                        and Monitoring Processes.
                                                  charter school petitions based on the                   subgroups, including educationally                        To meet this priority, an applicant
                                                  requirements of the applicable State                    disadvantaged students. For this reason,               must demonstrate that all authorized
                                                  charter school law.                                     we decline to make the suggested                       public chartering agencies in the State
                                                     Changes: None.                                       revision.                                              use one or more of the following:
                                                     Comment: We received several                            Changes: None.                                         (a) Frameworks and processes to
                                                  general comments about the goals stated                    FINAL PRIORITIES:                                   evaluate the performance of charter
                                                  in the Executive Summary section. One                      Priority 1—Periodic Review and                      schools on a regular basis that include—
                                                  commenter stated that including annual                  Evaluation.                                               (1) Rigorous academic and operational
                                                  measurable objectives as the most                          To meet this priority, the applicant                performance expectations (including
                                                  important factor in charter renewal                     must demonstrate that the State                        performance expectations related to
                                                  decisions will exclude other equally                    provides for periodic review and                       financial management and equitable
                                                  important factors such as health, safety,               evaluation by the authorized public                    treatment of all students and
                                                  finances, and governance. Additionally,                 chartering agency of each charter school               applicants);
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  one commenter stated that requiring all                 at least once every five years, unless                    (2) Performance objectives for each
                                                  subgroups to attain high levels of                      required more frequently by State law,                 school aligned to those expectations;
                                                  achievement is inappropriate at the                     and takes steps to ensure that such                       (3) Clear criteria for renewing the
                                                  present time. Finally, two commenters                   reviews take place. The review and                     charter of a school based on an objective
                                                  asserted that an SEA should have the                    evaluation must serve to determine                     body of evidence, including evidence
                                                  authority to establish academic                         whether the charter school is meeting                  that the charter school has (a) met the
                                                  outcomes related to its authorizers’                    the terms of the school’s charter and                  performance objectives outlined in the
                                                  portfolios so that the SEA can drive                    meeting or exceeding the student                       charter or performance contract; (b)


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00021   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                  34222               Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations

                                                  demonstrated organizational and fiscal                     Invitational priority: Under an                     preferences or exemptions from the
                                                  viability; and (c) demonstrated fidelity                invitational priority, we are particularly             lottery. In addition, the SEA must
                                                  to the terms of the charter or                          interested in applications that meet the               provide an assurance that it will require
                                                  performance contract and applicable                     priority. However, we do not give an                   each applicant for a CSP subgrant to
                                                  law;                                                    application that meets the priority a                  include in its application descriptions
                                                     (4) Clear criteria for revoking the                  preference over other applications (34                 of its recruitment and admissions
                                                  charter of a school if there is violation               CFR 75.105(c)(1)).                                     policies and practices, including a
                                                  of a law or public trust regarding                         FINAL REQUIREMENTS:                                 description of the proposed lottery and
                                                  student safety or public funds, or                         Academically poor-performing                        any enrollment preferences or
                                                  evidence of poor student academic                       charter school: Provide one of the                     exemptions from the lottery the charter
                                                  achievement; and                                        following:                                             school employs or plans to employ, and
                                                     (5) Annual reporting by authorized                      (a) Written certification that, for                 how those enrollment preferences or
                                                  public chartering agencies to each of                   purposes of the CSP grant, the SEA uses                exemptions are consistent with State
                                                  their authorized charter schools that                   the definition of academically poor-                   law and the CSP authorizing statute (for
                                                  summarizes the individual school’s                      performing charter school provided in                  information related to admissions and
                                                  performance and compliance, based on                    this notice; or                                        lotteries under the CSP, please see
                                                  this framework, and identifies any areas                   (b) If the State proposes to use an                 Section E of the CSP Nonregulatory
                                                  that need improvement.                                  alternative definition of academically                 Guidance (January 2014) at
                                                     (b) Clear and specific standards and                 poor-performing charter school in                      www2.ed.gov/programs/charter/
                                                  formalized processes that measure and                   accordance with paragraph (b) of the                   nonregulatory-guidance.html).
                                                  benchmark the performance of the                        definition of the term in this notice, (1)                FINAL DEFINITIONS:
                                                  authorized public chartering agency or                  the specific definition the State                         Academically poor-performing
                                                  agencies, including the performance of                  proposes to use; and (2) a written                     charter school means—
                                                  its portfolio of charter schools, and                   explanation of how the proposed                           (a) A charter school that has been in
                                                  provide for the annual dissemination of                 definition is at least as rigorous as the              operation for at least three years and
                                                  information on such performance;                        standard in paragraph (a) of the                       that—
                                                     (c) Authorizing processes that                       definition of academically poor-                          (1) Has been identified as being in the
                                                  establish clear criteria for evaluating                 performing charter school set forth in                 lowest-performing five percent of all
                                                  charter applications and include a                      the Definitions section of this notice.                schools in the State and has failed to
                                                  multi-tiered clearance or review of a                      High-quality charter school: Provide                improve school performance (based on
                                                  charter school, including a final review                one of the following:                                  the SEA’s accountability system under
                                                  immediately before the school opens for                    (a) Written certification that, for                 the ESEA) over the past three years; and
                                                  its first operational year; or                          purposes of the CSP grant, the SEA uses                   (2) Has failed to demonstrate student
                                                     (d) Authorizing processes that include               the definition of high-quality charter                 academic growth of at least an average
                                                  differentiated review of charter petitions              school provided in this notice; or                     of one grade level for each cohort of
                                                  to assess whether, and the extent to                       (b) If the State proposes to use an                 students in each of the past three years,
                                                  which, the charter school developer has                 alternative definition of high-quality                 as demonstrated by statewide or other
                                                  been successful (as determined by the                   charter school in accordance with                      assessments approved by the authorized
                                                  authorized public chartering agency) in                 paragraph (b) of the definition of the                 public chartering agency; or
                                                  establishing and operating one or more                  term in this notice, (1) the specific                     (b) An SEA may use an alternative
                                                  high-quality charter schools.                           definition the State proposes to use; and              definition for academically poor-
                                                     Priority 4—SEAs that Have Never                      (2) a written explanation of how the                   performing charter school, provided that
                                                  Received a CSP Grant.                                   proposed definition is at least as                     the SEA complies with the requirements
                                                     To meet this priority, an applicant                  rigorous as the standard in paragraph (a)              for proposing to use an alternative
                                                  must be an eligible SEA applicant that                  of the definition of high-quality charter              definition for the term as set forth in
                                                  has never received a CSP grant.                         school set forth in the Definitions                    paragraph (b) of academically poor-
                                                     Types of Priorities:                                 section of this notice.                                performing charter school in the
                                                     When inviting applications for a                        Logic model: Provide a complete logic               Requirements section of this notice.
                                                  competition using one or more                           model (as defined in 34 CFR. 77.1) for                    Educationally disadvantaged students
                                                  priorities, we designate the type of each               the project. The logic model must                      means economically disadvantaged
                                                  priority as absolute, competitive                       address the role of the grant in                       students, students with disabilities,
                                                  preference, or invitational through a                   promoting the State-level strategy for                 migrant students, limited English
                                                  notice in the Federal Register. The                     expanding the number of high-quality                   proficient students (also referred to as
                                                  effect of each type of priority follows:                charter schools through startup                        English learners or English language
                                                     Absolute priority: Under an absolute                 subgrants, optional dissemination                      learners), neglected or delinquent
                                                  priority, we consider only applications                 subgrants, optional revolving loan                     students, or homeless students.
                                                  that meet the priority (34 CFR                          funds, and other strategies.                              High-quality charter school means—
                                                  75.105(c)(3)).                                             Lottery and Enrollment Preferences:                    (a) A charter school that shows
                                                     Competitive preference priority:                     Describe (1) how lotteries for admission               evidence of strong academic results for
                                                  Under a competitive preference priority,                to charter schools will be conducted in                the past three years (or over the life of
                                                  we give competitive preference to an                    the State, including any student                       the school, if the school has been open
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  application by (1) awarding additional                  enrollment preferences or exemptions                   for fewer than three years), based on the
                                                  points, depending on the extent to                      from the lottery that charter schools are              following factors:
                                                  which the application meets the priority                required or expressly permitted by the                    (1) Increased student academic
                                                  (34 CFR 75.105(c)(2)(i)); or (2) selecting              State to employ; and (2) any                           achievement and attainment (including,
                                                  an application that meets the priority                  mechanisms that exist for the SEA or                   if applicable and available, high school
                                                  over an application of comparable merit                 authorized public chartering agency to                 graduation rates and college and other
                                                  that does not meet the priority (34 CFR                 review, monitor, or approve such                       postsecondary education enrollment
                                                  75.105(c)(2)(ii)).                                      lotteries or student enrollment                        rates) for all students, including, as


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00022   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                                      Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations                                            34223

                                                  applicable, educationally disadvantaged                 education enrollment rates) and closing                located will comply with sections
                                                  students served by the charter school;                  achievement and attainment gaps, and                   613(a)(5) and 613(e)(1)(B) of the
                                                     (2) Either—                                          complement or leverage other statewide                 Individuals with Disabilities Education
                                                     (i) Demonstrated success in closing                  education reform efforts;                              Act (20 U.S.C. 1400, et seq.), the Age
                                                  historic achievement gaps for the                          (2) The extent to which funding                     Discrimination Act of 1975 (42 U.S.C.
                                                  subgroups of students described in                      equity for charter schools (including                  6101, et seq.), title VI of the Civil Rights
                                                  section 1111(b)(2)(C)(v)(II) of the ESEA                equitable funding for charter school                   Act of 1964 (42 U.S.C. 2000d, et seq.),
                                                  (20 U.S.C. 6311(b)(2)(C)(v)(II)) at the                 facilities) is incorporated into the SEA’s             title IX of the Education Amendments of
                                                  charter school; or                                      State-level strategy; and                              1972 (20 U.S.C. 1681, et seq.), and
                                                     (ii) No significant achievement gaps                    (3) The extent to which the State                   section 504 of the Rehabilitation Act of
                                                  between any of the subgroups of                         encourages local strategies for                        1973 (29 U.S.C. 794).
                                                  students described in section 1111                      improving student academic                                (c) Past Performance. The Secretary
                                                  (b)(2)(C)(v)(II) of the ESEA (20 U.S.C.                 achievement and attainment that                        considers the past performance of
                                                  6311) at the charter school and                         involve charter schools, including but                 charter schools in a State that enacted
                                                  significant gains in student academic                   not limited to the following:                          a charter school law for the first time
                                                  achievement for all populations of                         (i) Collaboration, including the                    five or more years before submission of
                                                  students served by the charter school;                  sharing of data and promising                          its application. In determining the past
                                                     (3) Results (including, if applicable                instructional and other practices,                     performance of charter schools in such
                                                  and available, performance on statewide                 between charter schools and other                      a State, the Secretary considers one or
                                                  tests, annual student attendance and                    public schools or providers of early                   more of the following factors:
                                                  retention rates, high school graduation                 learning and development programs or                      (1) The extent to which there has been
                                                  rates, college and other postsecondary                  alternative education programs; and                    a demonstrated increase, for each of the
                                                  education attendance rates, and college                    (ii) The creation of charter schools                past five years, in the number and
                                                  and other postsecondary education                       that would serve as viable options for                 percentage of high-quality charter
                                                  persistence rates) for low-income and                   students who currently attend, or would                schools (as defined in this notice) in the
                                                  other educationally disadvantaged                       otherwise attend, the State’s lowest-                  State;
                                                  students served by the charter school                   performing schools.                                       (2) The extent to which there has been
                                                  that are above the average academic                        (b) Policy Context for Charter Schools.             a demonstrated reduction, for each of
                                                  achievement results for such students in                The Secretary considers the policy                     the past five years, in the number and
                                                  the State;                                              context for charter schools under the                  percentage of academically poor-
                                                     (4) Results on a performance                         proposed project. In determining the                   performing charter schools (as defined
                                                  framework established by the State or                   policy context for charter schools under               in this notice) in the State; and
                                                  authorized public chartering agency for                 the proposed project, the Secretary                       (3) Whether, and the extent to which,
                                                  the purpose of evaluating charter school                considers one or more of the following                 the academic achievement and
                                                  quality; and                                            factors:                                               academic attainment (including high
                                                     (5) No significant compliance issues,                   (1) The degree of flexibility afforded              school graduation rates and college and
                                                  particularly in the areas of student                    to charter schools under the State’s                   other postsecondary education
                                                  safety, financial management, and                       charter school law, including:                         enrollment rates) of charter school
                                                  equitable treatment of students; or                        (i) The extent to which charter                     students equal or exceed the academic
                                                     (b) An SEA may use an alternative                    schools in the State are exempt from                   achievement and academic attainment
                                                  definition for high-quality charter                     State or local rules that inhibit the                  of similar students in other public
                                                  school, provided that the SEA complies                  flexible operation and management of                   schools in the State over the past five
                                                  with the requirements for proposing to                  public schools; and                                    years.
                                                  use an alternative definition for the term                 (ii) The extent to which charter                       (d) Quality of Plan to Support
                                                  as set forth in paragraph (b) of high-                  schools in the State have a high degree                Educationally Disadvantaged Students.
                                                  quality charter school in the                           of autonomy, including autonomy over                   The Secretary considers the quality of
                                                  Requirements section of this notice.                    the charter school’s budget,                           the SEA’s plan to support educationally
                                                     Significant compliance issue means a                 expenditures, staffing, procurement, and               disadvantaged students. In determining
                                                  violation that did, will, or could (if not              curriculum;                                            the quality of the plan to support
                                                  addressed or if it represents a pattern of                 (2) The quality of the SEA’s processes              educationally disadvantaged students,
                                                  repeated misconduct or material non-                    for:                                                   the Secretary considers one or more of
                                                  compliance) lead to the revocation of a                    (i) Annually informing each charter                 the following factors:
                                                  school’s charter by the authorizer.                     school in the State about Federal funds                   (1) The extent to which the SEA’s
                                                     FINAL SELECTION CRITERIA:                            the charter school is eligible to receive              charter school subgrant program
                                                     (a) State-Level Strategy. The Secretary              and Federal programs in which the                      would—
                                                  considers the quality of the State-level                charter school may participate; and                       (i) Assist students, particularly
                                                  strategy for using charter schools to                      (ii) Annually ensuring that each                    educationally disadvantaged students,
                                                  improve educational outcomes for                        charter school in the State receives, in               in meeting and exceeding State
                                                  students throughout the State. In                       a timely fashion, the school’s                         academic content standards and State
                                                  determining the quality of the State-                   commensurate share of Federal funds                    student achievement standards; and
                                                  level strategy, the Secretary considers                 that are allocated by formula each year,                  (ii) Reduce or eliminate achievement
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  one or more of the following factors:                   particularly during the first year of                  gaps for educationally disadvantaged
                                                     (1) The extent to which the SEA’s CSP                operation of the school and during a                   students;
                                                  activities, including the subgrant                      year in which the school’s enrollment                     (2) The quality of the SEA’s plan to
                                                  program, are integrated into the State’s                expands significantly; and                             ensure that charter schools attract,
                                                  overall strategy for improving student                     (3) The quality of the SEA’s plan to                recruit, admit, enroll, serve, and retain
                                                  academic achievement and attainment                     ensure that charter schools that are                   educationally disadvantaged students
                                                  (including high school graduation rates                 considered to be LEAs under State law                  equitably, meaningfully, and, with
                                                  and college and other postsecondary                     and LEAs in which charter schools are                  regard to educationally disadvantaged


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00023   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                  34224               Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations

                                                  students who are students with                          SEA proposes to use a portion of its                      (2) Approving charter school petitions
                                                  disabilities or English learners, in a                  grant funds for dissemination subgrants                with design elements that incorporate
                                                  manner consistent with, as appropriate,                 under section 5204(f)(6)(B) of the ESEA                evidence-based school models and
                                                  the IDEA (regarding students with                       (20 U.S.C. 7221c(f)(6)(B)), the SEA                    practices, including, but not limited to,
                                                  disabilities) and civil rights laws, in                 should incorporate these subgrants into                school models and practices that focus
                                                  particular, section 504 of the                          the overall plan for dissemination. In                 on racial and ethnic diversity in student
                                                  Rehabilitation Act of 1973, as amended,                 determining the quality of the SEA’s                   bodies and diversity in student bodies
                                                  and title VI of the Civil Rights Act of                 plan to disseminate information about                  with respect to educationally
                                                  1964;                                                   charter schools and best or promising                  disadvantaged students, consistent with
                                                     (3) The extent to which the SEA will                 practices of successful charter schools,               applicable law;
                                                  encourage innovations in charter                        the Secretary considers one or more of                    (3) Establishing measureable
                                                  schools, such as models, policies,                      the following factors:                                 academic and operational performance
                                                  supports, or structures, that are                          (1) The extent to which the SEA will                expectations for all charter schools
                                                  designed to improve the academic                        serve as a leader in the State for                     (including alternative charter schools,
                                                  achievement of educationally                            identifying and disseminating                          virtual charter schools, and charter
                                                  disadvantaged students; and                             information and research (which may                    schools that include pre-kindergarten, if
                                                     (4) The quality of the SEA’s plan for                include, but is not limited to, providing              such schools exist in the State) that are
                                                  monitoring all charter schools to ensure                technical assistance) about best or                    consistent with the definition of high-
                                                  compliance with Federal and State laws,                 promising practices in successful                      quality charter school in this notice;
                                                  particularly laws related to educational                charter schools, including how the SEA                    (4) Monitoring their charter schools
                                                  equity, nondiscrimination, and access to                will use measures of efficacy and data                 on at least an annual basis, including
                                                  public schools for educationally                        in identifying such practices and                      conducting an in-depth review of each
                                                  disadvantaged students.                                 assessing the impact of its                            charter school at least once every five
                                                     (e) Vision for Growth and                                                                                   years, to ensure that charter schools are
                                                                                                          dissemination activities;
                                                  Accountability. The Secretary                                                                                  meeting the terms of their charters or
                                                                                                             (2) The quality of the SEA’s plan for
                                                  determines the quality of the statewide                                                                        performance contracts and complying
                                                                                                          disseminating information and research
                                                  vision, including the role of the SEA, for                                                                     with applicable State and Federal laws;
                                                  charter school growth and                               on best or promising practices used by,
                                                                                                                                                                    (5) Using increases in student
                                                  accountability. In determining the                      and the benefits of, charter schools that
                                                                                                                                                                 academic achievement as one of the
                                                  quality of the statewide vision, the                    effectively incorporate student body
                                                                                                                                                                 most important factors in renewal
                                                  Secretary considers one or more of the                  diversity, including racial and ethnic
                                                                                                                                                                 decisions; basing renewal decisions on
                                                  following factors:                                      diversity and diversity with respect to
                                                                                                                                                                 a comprehensive set of criteria, which
                                                     (1) The quality of the SEA’s systems                 educationally disadvantaged students,
                                                                                                                                                                 are set forth in the charter or
                                                  for collecting, analyzing, and publicly                 consistent with applicable law;
                                                                                                                                                                 performance contract; and revoking, not
                                                  reporting data on charter school                           (3) The quality of the SEA’s plan for
                                                                                                                                                                 renewing, or encouraging the voluntary
                                                  performance, including data on student                  disseminating information and research
                                                                                                                                                                 termination of charters held by
                                                  academic achievement, attainment                        on best or promising practices in charter
                                                                                                                                                                 academically poor-performing charter
                                                  (including high school graduation rates                 schools related to student discipline and
                                                                                                                                                                 schools;
                                                  and college and other postsecondary                     school climate; and                                       (6) Providing, on an annual basis,
                                                  education enrollment rates), retention,                    (4) For an SEA that proposes to use a               public reports on the performance of
                                                  and discipline for all students and                     portion of its grant funds to award                    their portfolios of charter schools,
                                                  disaggregated by student subgroup;                      dissemination subgrants under section                  including the performance of each
                                                     (2) The ambitiousness, quality of                    5204(f)(6)(B) of the ESEA (20 U.S.C.                   individual charter school with respect
                                                  vision, and feasibility of the SEA’s plan               7221a(f)(6)(B)), the quality of the                    to meeting the terms of, and
                                                  (including key actions) to support the                  subgrant award process and the                         expectations set forth in, the school’s
                                                  creation of high-quality charter schools                likelihood that such dissemination                     charter or performance contract;
                                                  during the project period, including a                  activities will increase the number of                    (7) Supporting charter school
                                                  reasonable estimate of the number of                    high-quality charter schools in the State              autonomy while holding charter schools
                                                  high-quality charter schools in the State               and contribute to improved student                     accountable for results and meeting the
                                                  at both the beginning and the end of the                academic achievement.                                  terms of their charters or performance
                                                  project period; and                                        (g) Oversight of Authorized Public                  contracts; and
                                                     (3) The ambitiousness, quality of                    Chartering Agencies. The Secretary                        (8) Ensuring the continued
                                                  vision, and feasibility of the SEA’s plan               considers the quality of the SEA’s plan                accountability of charter schools during
                                                  (including key actions) to support the                  (including any use of grant                            any transition to new State assessments
                                                  closure of academically poor-                           administrative or other funds) to                      or accountability systems, including
                                                  performing charter schools in the State                 monitor, evaluate, assist, and hold                    those based on college- and career-ready
                                                  (i.e., through revocation, non-renewal,                 accountable authorized public                          standards.
                                                  or voluntary termination of a charter)                  chartering agencies. In determining the                   (h) Management Plan and Theory of
                                                  during the project period.                              quality of the SEA’s plan to provide                   Action. The Secretary considers the
                                                     (f) Dissemination of Information and                 oversight to authorized public                         quality of the management plan and the
                                                  Best Practices. The Secretary considers                 chartering agencies, the Secretary                     project’s theory of action. In
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  the quality of the SEA’s plan to                        considers how well the SEA’s plan will                 determining the quality of the
                                                  disseminate information about charter                   ensure that authorized public chartering               management plan and the project’s
                                                  schools and best or promising practices                 agencies are—                                          theory of action, the Secretary considers
                                                  of successful charter schools to each                      (1) Seeking and approving charter                   one or more of the following factors:
                                                  LEA in the State as well as to charter                  school petitions from developers that                     (1) The quality, including the
                                                  schools, other public schools, and                      have the capacity to create charter                    cohesiveness and strength of reasoning,
                                                  charter school developers (20 U.S.C.                    schools that can become high-quality                   of the logic model (as defined in 34 CFR
                                                  7221b(b)(2)(C) and 7221c(f)(6)). If an                  charter schools;                                       77.1(c)), and the extent to which it


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00024   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                                      Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations                                           34225

                                                  addresses the role of the grant in                      maintaining a high level of student body               benefits, both quantitative and
                                                  promoting the State-level strategy for                  diversity, and how this focus aligns                   qualitative, of this final regulatory
                                                  using charter schools to improve                        with the State-Level Strategy;                         action and have determined that the
                                                  educational outcomes for students                          (4) The steps the SEA will take to                  benefits would justify the costs.
                                                  through CSP subgrants for planning,                     inform teachers, parents, and                             We have also reviewed this final
                                                  program design, and initial                             communities of the SEA’s charter school                regulatory action under Executive Order
                                                  implementation; optional dissemination                  subgrant program; and                                  13563, which supplements and
                                                  subgrants; optional revolving loan                         (5) A description of any requested                  explicitly reaffirms the principles,
                                                  funds; and other strategies;                            waivers of statutory or regulatory                     structures, and definitions governing
                                                     (2) The extent to which the SEA’s                    provisions over which the Secretary                    regulatory review established in
                                                  project-specific performance measures,                  exercises administrative authority and                 Executive Order 12866. To the extent
                                                  including any measures required by the                  the extent to which those waivers will,                permitted by law, Executive Order
                                                  Department, support the logic model;                    if granted, further the objectives of the              13563 requires that an agency—
                                                  and                                                     project.                                                  (1) Propose or adopt regulations only
                                                     (3) The adequacy of the management                      This notice does not preclude us from               upon a reasoned determination that
                                                  plan to—                                                proposing additional priorities,                       their benefits justify their costs
                                                     (i) Achieve the objectives of the                    requirements, definitions, or selection                (recognizing that some benefits and
                                                  proposed project on time and within                     criteria, subject to meeting applicable                costs are difficult to quantify);
                                                  budget, including the existence of                      rulemaking requirements.                                  (2) Tailor its regulations to impose the
                                                  clearly defined responsibilities,                                                                              least burden on society, consistent with
                                                                                                            Note: This notice does not solicit
                                                  timelines, and milestones for                           applications. In any year in which we choose
                                                                                                                                                                 obtaining regulatory objectives and
                                                  accomplishing project tasks; and                        to use one or more of these priorities,                taking into account—among other things
                                                     (ii) Address any compliance issues or                requirements, and definitions we invite                and to the extent practicable—the costs
                                                  findings related to the CSP that are                    applications through a notice in the Federal           of cumulative regulations;
                                                  identified in an audit or other                         Register.                                                 (3) In choosing among alternative
                                                  monitoring review.                                                                                             regulatory approaches, select those
                                                     (i) Project Design. The Secretary                    Executive Orders 12866 and 13563                       approaches that maximize net benefits
                                                  considers the quality of the design of the              Regulatory Impact Analysis                             (including potential economic,
                                                  SEA’s charter school subgrant program,                                                                         environmental, public health and safety,
                                                  including the extent to which the                         Under Executive Order 12866, the                     and other advantages; distributive
                                                  project design furthers the SEA’s overall               Secretary must determine whether this                  impacts; and equity);
                                                  strategy for increasing the number of                   regulatory action is ‘‘significant’’ and,                 (4) To the extent feasible, specify
                                                  high-quality charter schools in the State               therefore, subject to the requirements of              performance objectives, rather than the
                                                  and improving student academic                          the Executive order and subject to                     behavior or manner of compliance a
                                                  achievement. In determining the quality                 review by the Office of Management and                 regulated entity must adopt; and
                                                  of the project design, the Secretary                    Budget (OMB). Section 3(f) of Executive                   (5) Identify and assess available
                                                  considers one or more of the following                  Order 12866 defines a ‘‘significant                    alternatives to direct regulation,
                                                  factors:                                                regulatory action’’ as an action likely to             including economic incentives—such as
                                                     (1) The quality of the SEA’s process                 result in a rule that may—                             user fees or marketable permits—to
                                                  for awarding subgrants for planning,                      (1) Have an annual effect on the                     encourage the desired behavior, or
                                                  program design, and initial                             economy of $100 million or more, or                    provide information that enables the
                                                  implementation, and, if applicable, for                 adversely affect a sector of the economy,              public to make choices.
                                                  dissemination, including:                               productivity, competition, jobs, the                      Executive Order 13563 also requires
                                                     (i) The subgrant application and peer                environment, public health or safety, or               an agency ‘‘to use the best available
                                                  review process, timelines for these                     State, local or tribal governments or                  techniques to quantify anticipated
                                                  processes, and how the SEA intends to                   communities in a material way (also                    present and future benefits and costs as
                                                  ensure that subgrants will be awarded to                referred to as an ‘‘economically                       accurately as possible.’’ The Office of
                                                  eligible applicants demonstrating the                   significant’’ rule);                                   Information and Regulatory Affairs of
                                                  capacity to create high-quality charter                   (2) Create serious inconsistency or                  OMB has emphasized that these
                                                  schools; and                                            otherwise interfere with an action taken               techniques may include ‘‘identifying
                                                     (ii) A reasonable year-by-year                       or planned by another agency;                          changing future compliance costs that
                                                  estimate, with supporting evidence, of                    (3) Materially alter the budgetary                   might result from technological
                                                  (a) the number of subgrants the SEA                     impacts of entitlement grants, user fees,              innovation or anticipated behavioral
                                                  expects to award during the project                     or loan programs or the rights and                     changes.’’
                                                  period and the average size of those                    obligations of recipients thereof; or                     We are issuing these final priorities,
                                                  subgrants, including an explanation of                    (4) Raise novel legal or policy issues               requirements, definitions and selection
                                                  any assumptions upon which the                          arising out of legal mandates, the                     criteria only on a reasoned
                                                  estimates are based; and (b) if the SEA                 President’s priorities, or the principles              determination that their benefits justify
                                                  has previously received a CSP grant, the                stated in the Executive order.                         their costs. In choosing among
                                                  percentage of eligible applicants that                    This regulatory action would have an                 alternative regulatory approaches, we
                                                  were awarded subgrants and how this                     annual effect on the economy of more                   selected those approaches that
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  percentage related to the overall quality               than $100 million because we anticipate                maximize net benefits. Based on the
                                                  of the applicant pool;                                  awarding more than $100 million in                     analysis that follows, the Department
                                                     (2) The process for monitoring CSP                   grants to SEAs in FY 2015. Therefore,                  believes that this regulatory action is
                                                  subgrantees;                                            this action is ‘‘economically significant’’            consistent with the principles in
                                                     (3) How the SEA will create a                        and subject to review by OMB under                     Executive Order 13563.
                                                  portfolio of subgrantees that focuses on                section 3(f)(1) of Executive Order 12866.                 We also have determined that this
                                                  areas of need within the State, such as                 Notwithstanding this determination, we                 regulatory action does not unduly
                                                  increasing student body diversity or                    have assessed the potential costs and                  interfere with State, local, and Tribal


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00025   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                  34226               Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations

                                                  governments in the exercise of their                    effectively. As an alternative to                      State and local governments for
                                                  governmental functions.                                 promulgating the selection criteria, the               coordination and review of proposed
                                                    In this regulatory impact analysis we                 Department could choose from among                     Federal financial assistance.
                                                  discuss the potential costs and benefits                the selection factors authorized for CSP                 This document provides early
                                                  of this action, comments we received                    grants to SEAs in section 5204(a) of the               notification of our specific plans and
                                                  regarding those costs and benefits, and                 ESEA (20 U.S.C. 7221c(a)) and the                      actions for this program.
                                                  regulatory alternatives we considered.                  general selection criteria in 34 CFR       Waiver of Congressional Review Act
                                                  Discussion of Potential Costs and                       75.210. We do not believe that these
                                                                                                          factors and criteria provide a sufficient     These regulations have been
                                                  Benefits                                                                                           determined to be major for purposes of
                                                                                                          basis on which to evaluate the quality
                                                     The Department believes that this                    of applications. In particular, the factorsthe Congressional Review Act (CRA) (5
                                                  regulatory action would not impose                      and criteria would not sufficiently        U.S.C. 801, et seq.). Generally, under the
                                                  significant costs on eligible SEAs,                     enable the Department to assess an         CRA, a major rule takes effect 60 days
                                                  whose participation in this program is                  applicant’s past performance with          after the date on which the rule is
                                                  voluntary. This action would not                        respect to the operation of high-quality   published in the Federal Register.
                                                  impose requirements on participating                    charter schools or the closure of          Section 808(2) of the CRA, however,
                                                  SEAs apart from those related to                        academically poor-performing charter       provides that any rule which an agency
                                                  preparing an application for a CSP                      schools (as examined under selection       for good cause finds (and incorporates
                                                  grant. The costs associated with meeting                criterion (c) Past Performance) or its     the finding and a brief statement of
                                                  these requirements are, in the                          plan to hold authorized public             reasons therefor in the rule issued) that
                                                  Department’s estimation, minimal.                       chartering agencies accountable for the    notice and public procedure thereon are
                                                     This regulatory action would                         performance of charter schools that they   impracticable, unnecessary, or contrary
                                                  strengthen accountability for the use of                                                           to the public interest, shall take effect at
                                                                                                          approve (as under selection criterion (g)
                                                  Federal funds by helping to ensure that                                                            such time as the Federal agency
                                                                                                          Oversight of Authorized Public
                                                  the Department selects for CSP grants                                                              promulgating the rule determines.
                                                                                                          Chartering Agencies), considerations          These final priorities, requirements,
                                                  the SEAs that are most capable of                       which are critically important in
                                                  expanding the number of high-quality                                                               definitions, and selection criteria are
                                                                                                          determining applicant quality.             needed to conduct the 2015 CSP Grants
                                                  charter schools available to our Nation’s                  We note that several of the priorities,
                                                  students, consistent with the purpose of                                                           for SEAs competition. The Department
                                                                                                          requirements, and selection criteria in
                                                  the program as described in section                                                                must award funds authorized for this
                                                                                                          this NFP are based on priorities,
                                                  5201 of the ESEA (20 U.S.C. 7221).                                                                 program under the FY 2015
                                                                                                          requirements, selection criteria, and
                                                  Similarly, this action would benefit                                                               Appropriations Act for this competition
                                                                                                          other provisions in the authorizing
                                                  participating SEAs by supporting their                                                             to qualified applicants by September 30,
                                                                                                          statute for this program.                  2015, or the funds will lapse. Even on
                                                  efforts to encourage the development
                                                  and operation of high-quality charter                   Accounting Statement                       an extremely expedited timeline, it is
                                                  schools. The Department believes that                      As required by OMB Circular A–4         impracticable for the Department to
                                                  these benefits to the Federal government                (available at www.whitehouse.gov/sites/ adhere to a 60-day delayed effective
                                                  and to SEAs outweigh the costs                          default/files/omb/assets/omb/circulars/ date for the final priorities,
                                                  associated with this action.                            a004/a-4.pdf), in the following table we requirements, definitions, and selection
                                                                                                          have prepared an accounting statement      criteria and make grant awards to
                                                  Discussion of Comments                                                                             qualified applicants by the September
                                                                                                          showing the classification of the
                                                    We received several comments                          expenditures associated with the           30, 2015 deadline. When the 60-day
                                                  expressing concern that this regulatory                 provisions of this regulatory action. This delayed effective date is added to the
                                                  action imposes undue administrative                     table provides our best estimate of the    time the Department will need to
                                                  burden on applicants and grantees.                      changes in annual monetized transfers      receive applications (approximately 35
                                                  Although the Department recognizes                      as a result of this regulatory action.     days), review the applications
                                                  that there are costs to SEAs associated                 Expenditures are classified as transfers   (approximately 45 days), and finally
                                                  with applying for and receiving CSP                     from the Federal Government to SEAs.       approve applications (approximately 30
                                                  grants, we do not believe that the                                                                 days), the Department will not be able
                                                  requirements imposed on SEAs through                      ACCOUNTING STATEMENT CLASSIFICA- to allocate funds authorized under the
                                                  this regulatory action—which relate                                                                FY 2015 Appropriations Act to all
                                                                                                            TION OF ESTIMATED EXPENDITURES
                                                  only to preparing an application for a                                                             qualified applicants by September 30,
                                                                                                                           [In millions]             2015.
                                                  CSP grant—carry significant costs.
                                                  Moreover, for the reasons noted in the                                                                Not being able to allocate the
                                                                                                                 Category                Transfers   approximately $116 million would have
                                                  preceding section, we believe the
                                                  benefits of this action to the Federal                  Annualized Monetized $115.                 a significant negative effect on the
                                                  government and to SEAs outweigh those                     Transfers.                               quality of charter schools and public
                                                  costs.                                                  From Whom To              From The Federal accountability and oversight. The
                                                    We note, in addition, that SEAs                         Whom?                     Government to  Department has therefore determined
                                                  receiving CSP grants may use up to 5                                                SEAs.          that, pursuant to section 808(2) of the
                                                  percent of grant funds for administrative                                                          CRA, the 60-day delay in the effective
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  costs associated with carrying out their                   Intergovernmental Review: This          date generally required for
                                                  grant projects.                                         program is subject to Executive Order      congressional review is impracticable,
                                                                                                          12372 and the regulations in 34 CFR        contrary to the public interest, and
                                                  Regulatory Alternatives Considered                      part 79. One of the objectives of the      waived for good cause.
                                                    The Department believes that the final                Executive order is to foster an               Accessible Format: Individuals with
                                                  priorities, requirements, definitions, and              intergovernmental partnership and a        disabilities can obtain this document in
                                                  selection criteria in this notice are                   strengthened federalism. The Executive     an accessible format (e.g., braille, large
                                                  needed to administer the program                        order relies on processes developed by     print, audiotape, or compact disc) on


                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00026   Fmt 4701   Sfmt 4700   E:\FR\FM\15JNR2.SGM   15JNR2


                                                                      Federal Register / Vol. 80, No. 114 / Monday, June 15, 2015 / Rules and Regulations                                                34227

                                                  request to either of the program contact                can view this document, as well as all                 Specifically, through the advanced
                                                  persons listed under FOR FURTHER                        other documents of this Department                     search feature at this site, you can limit
                                                  INFORMATION CONTACT.                                    published in the Federal Register, in                  your search to documents published by
                                                     Electronic Access to This Document:                  text or Adobe Portable Document                        the Department.
                                                  The official version of this document is                Format (PDF). To use PDF you must                        Dated: June 8, 2015.
                                                  the document published in the Federal                   have Adobe Acrobat Reader, which is
                                                  Register. Free Internet access to the                                                                          Nadya Chinoy Dabby,
                                                                                                          available free at the site.
                                                  official edition of the Federal Register                  You may also access documents of the                 Assistant Deputy Secretary for Innovation and
                                                  and the Code of Federal Regulations is                  Department published in the Federal                    Improvement.
                                                  available via the Federal Digital System                Register by using the article search                   [FR Doc. 2015–14391 Filed 6–12–15; 8:45 am]
                                                  at: www.gpo.gov/fdsys. At this site you                 feature at: www.federalregister.gov.                   BILLING CODE 4000–01–P
asabaliauskas on DSK5VPTVN1PROD with RULES




                                             VerDate Sep<11>2014   17:05 Jun 12, 2015   Jkt 235001   PO 00000   Frm 00027   Fmt 4701   Sfmt 9990   E:\FR\FM\15JNR2.SGM   15JNR2



Document Created: 2015-12-15 15:14:06
Document Modified: 2015-12-15 15:14:06
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal priorities, requirements, definitions, and selection criteria.
DatesThese priorities, requirements, definitions and selection criteria are effective July 15, 2015.
ContactKathryn Meeley, U.S. Department of Education, 400 Maryland Avenue SW., Room 4W257, Washington, DC 20202- 5970. Telephone: (202) 453-6818 or by email: [email protected]
FR Citation80 FR 34201 

2024 Federal Register | Disclaimer | Privacy Policy
USC | CFR | eCFR