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Available online at http://www.ed.gov/inits/commissionsboards/
whspecialeducation/reports/index.html
The Learning Disabilities of America (LDA) applauds the formation
of the President’s Commission on Excellence in Special in
Special Education (the Commission) and the vision of encouraging
“every child to learn to his or her full potential”
that it seeks to advance. The Report is the result of nine months
of listening, reading, questioning, discussion, and writing that
resulted in nine Findings and three Major Recommendations accompanied
by seven sections containing additional recommendations and narrative.
The Report addresses a variety of topics related to the education
of children with disabilities and designed to guide the Re-authorization
of IDEA-97.
LDA is a non-profit organization of over 40,000 volunteers across
the country including individuals with learning disabilities, their
families, and the professionals who work with them. LDA is dedicated
to identifying causes and promoting prevention of learning disabilities
and enhancing the quality of life for all individuals with learning
disabilities by:
- encouraging effective identification and intervention,
- fostering research, and
- protecting their rights under the law.
LDA’s comments and response are based on review of the Report,
along with direct involvement by several dozen LDA members over
the past nine months. At least one LDA member attended each of the
13 Task Force meetings held across the country to listen to the
invited panelists, provide oral comments and submit eleven more
extensive written comments on the specific meeting topics. LDA extends
its thanks to these volunteers for the time, energy, and financial
commitment they made during the public comment process, as well
as to those on the LDA Public Policy Committee, all of whom contributed
to this report.
A. Overall Strengths of the Report
LDA supports Major Recommendation 1 to the extent that IDEA’s
focus on results should increase and become more balanced with attention
to process. At the same time, LDA reiterates the need for continued
federal monitoring for compliance with processes that must be in
place if improved educational results are to occur. To ignore process
is to jeopardize positive results.
LDA recognizes and values Major Recommendation 3, urging that “children
with disabilities” should be considered as “general
education children first,” because it could foster a feeling
of joint responsibility between general and special education personnel.
Concerns remain, however, about the effects of policies, practical
implementation, and procedural protections, as well as funding costs
and flexibility, that might result from such an approach.
LDA strongly supports the Report Recommendations that address the
need for recruiting, training, and publicly reporting the performance
of teachers. Highly qualified teachers, along with similarly high
quality administrators and related services personnel are critically
necessary. LDA notes, however, that adequate resources and a supportive
administrative environment are also vital for the continued progress
toward improved educational outcomes of our students with disabilities.
LDA strongly supports the value of early screening, identification,
and research-based instruction in early reading as an important
foundation for reading and lifelong learning. LDA strongly opposes
any suggestion that such efforts will prevent learning disabilities
or that currently proposed alternative assessment/identification
approaches will guarantee elimination of “wait-to-fail.”
However, LDA has consistently expressed support for carefully structured
and evaluated research into a variety of alternative assessment/identification
models in order to determine whether any of them offer improved
results over currently used models.
LDA supports the Report’s Recommendation that data be gathered
and analyzed to assist in determining the true excess costs of special
education across states.
LDA strongly supports Report Recommendations in the area of dispute
prevention and resolution through parent empowerment and availability
of a range of avenues to foster amicable agreements.
LDA recognizes the potential value of simplified transition requirements,
interagency cooperation, and higher education involvement to smooth
and improve the transition to post-secondary education and work.
Thus, LDA strongly supports the Report Recommendations related to
Post-Secondary results, with the hope that practical details of
implementation can be put in place.
LDA supports Report Recommendations concerning paperwork reduction
that encourage the use of clerical support, technology, and targeted
technical assistance, as well as carefully defined, time-limited
waivers for selected states to determine appropriateness and effectiveness
prior to approval of large-scale changes.
LDA supports the Report Recommendations providing direction for
needed research-based information about assessment, identification,
intervention, teacher training, minority over-identification, and
a host of other questions raised in various areas of the Report.
A strong research base is required prior to mandated changes in
IDEA and its implementation.
B. Overall Areas of Great Concern
LDA was disappointed to find gross oversimplification and over-generalization
in the Report’s proposed solutions to very complex and human
problems. Some of these generalizations ignore or inaccurately reflect
the testimony of expert witnesses. A related problem was the tendency
to use terms without sufficient definitions, which made it impossible
to understand proposals and react logically to them.
LDA is greatly troubled by Major Recommendation 2, which focused
on the narrow and poorly documented area of promoting a model of
prevention to replace the current model of failure. LDA is very
supportive of new models and approaches offering improved educational
outcomes for the nation’s students with disabilities. However,
the proposed reform depends on early identification and quick scientifically
based intervention to prevent failure, although there is
not yet research evidence that such a model improves educational
outcomes when implemented in large-scale, diverse settings. Equally
of concern is the suggestion that massive reforms in K-12 schools,
teacher education, and program supports would also be based on such
an untested and unproven model.
Unfortunately, LDA also found that the Commission appears naïve
about how government agencies function. This is particularly evident
in the many structural and relationship changes that are implied
in the Recommendations and narrative throughout the Report. These
include those between general and special education, within OSEP,
and among the many agencies involved in providing comprehensive
services for children birth through 5 and individuals with disabilities
beyond age 21. There is also a failure to recognize the difference
between federal and state level requirements and their practical
implications, or even whether the requirements are to be set at
the national or state level. For example, state to state comparisons
are of little value when federal standards for compliance, performance
and state to state comparisons are established, but each state uses
its own standards and accountability measures.
LDA also notes with considerable alarm, that both the Report narrative
and recommendations often reveal a lack of knowledge about the details
of what IDEA-97 and NCLB actually do or do not require and an unfamiliarity
with what OSEP and OSERS have actually initiated since 1997. The
result is fuzzy generalizations that do not reflect reality. In
a similar way, many Commission Recommendations are based on perceived
problems with IDEA, but no specific statute or regulations are cited
as the source of the difficulty, nor is any alternative language
recommended to correct them.
When LDA compared the six facts used by the Commission to justify
“an urgency for reform that few can deny” (Introduction)
with the Report content, none addressed decreasing dropouts, increasing
graduation rates, meeting grades 3-12 needs, or ensuring a smooth
transition. Instead, there was a consistent focus on early identification
and intervention in reading—an area already addressed through
NCLB. LDA also noted with concern the major focus on what are termed
“high incidence” disabilities while the needs of “low-incidence”
disabilities were largely ignored except to suggest “risk
pool” financing, support safety-net funding and advocate targeting
through full funding of IDEA.
LDA views with alarm the lack of financial sophistication in the
Commission’s Report. For example, the Commission suggested
that full funding be available for the severely handicapped, while
reduced or “projected” funding was seen as adequate
for children with so-called high-incidence disabilities who are
mildly handicapped. At various points, poorly defined proposals
recommended that funds for birth through 5, for general and special
education, and for birth through 21 be pooled; and that 90 percent
of state funds be “passed through” to localities. Never
mentioned, however, was how IDEA protections would be preserved,
compliance would be ensured, or needed services would be maintained
or improved.
LDA found both the Report Recommendations and narrative to be disconnected,
disorganized, and repetitive as they are reiterated throughout the
document. This was especially evident for SLD identification processes,
early reading intervention, excessive regulation and paperwork,
scientifically-based information and general/special education collaboration.
In contrast universal design in accountability and unified services
for birth through 21 received brief discussion and recommendations
without any reference in the Report’s formal Recommendations.
LDA identified numerous inconsistencies within the Report. For
example, the Commission makes frequent negative comments about local
variation in identifying and serving students with special needs
across states. Yet Commission support is offered for “state
flexibility to use IDEA funds” and universal screening that
is “locally driven…is associated with better outcomes…for
all children” (p.20).
From LDA’s perspective, there is little understanding on
the part of the Commission that time is required for the scientifically-based
research and careful planning that will lead to successful change
in national policy and practice. LDA knows from experience how disastrous
quick fixes that seem so obviously right, can in fact, become disastrous
for a generation or more of children. Time is a critical factor
in the careful, considered, and thoughtful steps that must be taken
to ensure that promised positive change will actually enlarge educational
opportunities for America’s students with disabilities.
While LDA agrees that the Re-Authorization provides an important
opportunity to review past progress, evaluate current status, and
move toward continued improvements. However, LDA also agrees with
the recent testimony of former Congressman William Goodling, under
whose stewardship the 1997 reathorization was accomplished. In his
testimony before the House Education and the Workforce Committee,
Mr. Goodling stated that the focus of this re-authorization should
be on minor refinements in implementation through the regulations,
rather than on “creating additional federal mandates in the
statute.
LDA reviewed the Reports’ seven sections, including Recommendations
and narrative which accompanied those sections. LDA’s comments
on each section are provided below.
A. FEDERAL REGULATIONS, MONITORING, PAPERWORK, and FLEXIBILITY
1. Change monitoring from technical assistance (TA) and process
to a focus on performance and results
LDA supports the use of the focused monitoring process adopted
by OSEP to allow stakeholders to give advice on priorities that
include both process and results, along with continued use of the
existing Continuous Improvement Monitoring system.
LDA opposes replacement of or major changes in current monitoring
and technical assistance until all states have had the opportunity
to complete at least one cycle under the continuous improvement
monitoring model.
LDA notes the following concerns and suggestions related to the
Recommendation and narrative:
- Consideration should be given to providing for graduated sanctions
that may be employed by OSEP to encourage compliance.
- If the case outlined by a New York official is accurate, a difference
between state regulation wording and OSEP’s suggested wording
illustrates the frustrations of focus on process. However, it
also suggests why the monitoring of New York state required more
than three years.
- The suggestion to replace current monitoring of state policies
and procedures to ensure that conditions of the statute are met,
with a requirement “that states provide assurance that they
are in place” (footnote, p 13), would not ensure that states
actually meet IDEA requirements. The Report seems ambivalent about
the appropriate relationship between OSEP monitoring and technical
assistance functions (p. 15). Additional data-collection and input
from stakeholders, including SEAs, LEAs, local administrators,
and parents must be studied carefully prior to decisions about
separation, partnering, or combining these two functions.
- The Commission recommendation seems to be at odds with a basic
tenet of NCLB that no state can improve teaching or produce positive
results until a technically sound, high quality process for assessing
students and holding schools accountable is in place. Further,
NCLB provides for non-compliance agreements, withholding, sanctions,
and limitations on waivers. In the same way, ensuring parent involvement,
legal IEPs, competent teachers, quality supports, access to related
services and similar process elements must remain basic tenets
of IDEA.
- Technical assistance is critical to both effective processes
and successful results. Rather than additional funds, adjustments
in the format and content; expansion of the audience; and use
of formative/summative evaluation may be more important. Without
practical, accurate technical assistance, a kind of folklore and
fear of litigation can lead to denial of appropriate services,
as well as the addition of requirements at the district and state
levels that are far beyond federal requirements. Many complaints
about excessive paperwork, meeting time, and assessment sessions
could be lessened through effective technical assistance.
2. Reduce and simplify regulatory and paperwork requirements; increase
flexibility
LDA recognizes that federal requirements are often cited as the
cause of paperwork burdens. However, LDA strongly believes that
currently required IEP components and timelines form a vital cornerstone
of the parent/teacher/administrator partnership that leads to improved
educational outcomes. While many parents and professionals initiate
ongoing contact, others need specific requirements to ensure awareness
of changes in settings and services.
LDA believes that there are several ways in which regulatory and
paperwork burdens can be reduced, including the following:
- Parents, educators, and administrators need to be made much
more aware of the simplicity of federal IDEA paperwork requirements.
Teachers need more thorough training in how to write IEPs. Wider
dissemination of existing federal guidelines and materials like
A Guide to the Individualized Education Program (OSERS, 2000)
that clearly outline a simplified legal IEP would also reduce
unnecessary effort and paperwork.
- A major factor in the increased regulatory and paperwork burden
on teachers is the escalating caseload. Each piece of paper from
every meeting is multiplied by the ever larger numbers of students
for whom a teacher is responsible. Increasingly, that responsibility
includes students in collaborative, inclusionary, resource, and
intensive instructional settings. In contrast, the Reading First
Initiative often reported caseloads as one staff person per three
students per day, with a maximum of eight students per year.
- The use of clerical support staff to assist with record keeping,
data collection, scheduling meetings, assuring notifications,
distributing required forms, and circulating copies is a very
appropriate and practical way to increase teacher instructional
time, while reducing paperwork burdens. Interns, community volunteers,
and retirees who can meet confidentiality and privacy requirements
could serve in such a capacity.
- Specific IDEA funds should be earmarked for the purchase of
hardware and software to support electronic IEP case management
that (1) reduces teacher time, effort, and paper, and (2) encourages
individualization and updating.
- States should be encouraged to develop IEP processes that use
secure websites and to consider the use of PDAs to record, analyze,
and report real-time student performance data for early reading
assessment and instruction.
- The recommendation that up to 10 states waive federal paperwork
requirements based on their proposed paperwork reduction strategies
shows promise, but is too broad. Clearly defined pilot small-scale
projects, undertaken in a defined time period, should be undertaken
first. Close monitoring and evaluation of these pilot efforts
by stakeholders, including parents, must precede either statewide
waivers or adoption.
3. Improve OSEP use of staff and resources to implement Federal
law and improve Technical Assistance.
LDA supports ongoing efforts designed to use OSEP staff and resources
effectively. LDA notes that both IDEA-97 and subsequent reorganization
of OSEP in 1999 were directed toward improving technical assistance,
increasing staffing, and using Monitoring and State Improvement
Planning (MSIP) to focus on collaborative rather than adversarial
aspects of compliance and technical assistance. These changes should
be allowed sufficient time to become fully operational before major
changes are mandated. Specific recommendations and concerns identified
by LDA include:
- The Annual Report to Congress should be expanded to include
reports of state performance compared to their own performance
standards, as well as those of other states.
- OSEP data documenting the time elapsed between monitoring exit
meetings and issuance of the monitoring report should be made
public.
- Development of a coordinated intra-agency and inter-agency accountability
system across educational programs should be implemented. The
goal would be to reduce multiple data reports, site visits and
other duplicative efforts, while maintaining the functional integrity
of agency programs and responsibilities.
4. Expedite implementation in 12 months with timetable for each
section of re-authorization
LDA is extremely concerned that the implementation timetable be
directly related to the complexity of changes in statute and regulations.
In view of the recognized complexity of IDEA and the many changes
that were only recently introduced through IDEA-97, continuing the
trend toward improved educational outcomes must not be sacrificed
to a perceived need for speed. Speed must never become the measure
of success.
LDA identified the following specific recommendations and concerns:
- Professional training to ensure needed competence in such areas
as general/special education collaboration, universal screening,
early intervention in scientifically-based reading, measurement
of response-to-intervention, intensive multi-sensory interventions,
and transition support must be developed and implemented. Time
for needs assessment, trainer and resource development, actual
training, and the integration of competencies into the culture
of a specific setting will also be required.
- Developing, conducting, analyzing, and evaluating possible alternative
approaches to SLD assessment and identification will require considerable
time as small-scale, clinical efforts are undertaken; piloted
in large, diverse settings; and again evaluated across many factors,
including educational outcomes.
- Many structural and relationship changes are incorporated as
recommendations throughout the Report, such as those between general
and special education, within OSEP and among numerous agencies
outside of the Department of Education. Time will be required,
if implementation of such changes are to truly enlarge educational
opportunities and life success for students with disabilities.
Early Childhood Programs
LDA supports, in principle, the concept of a seamless system for
children with disabilities from birth through-21 suggested in the
Commission narrative (p 19). However, LDA believes many important
questions must be answered before major changes are seriously considered.
LDA notes the following specific suggestions and concerns:
- LDA strongly recommends that a GAO study be initiated to carefully
review the widely varying goals, eligibility, comprehensiveness
, services, revenue sources, service providers, and advisory groups
among the agencies involved, as well as other administrative,
programmatic and accountability issues associated with development
of a practical seamless system. Only after such information is
obtained could the planning begin that might lead to eventual
legislative action.
- LDA is concerned that increased state flexibility in use of
Part C, Section 619, and Part B funds would require study of existing
expenditures, development of financial provisions, and piloting
of models in which the needs of ALL students are appropriately
met, well in advance of any implementation.
- LDA notes with great concern the necessity for any unified system
to include provisions ensuring the identification that triggers
IDEA protections, effective assessment prior to services, positive
outcomes at all ages and smooth transitions between programs.
- States should be permitted to retain the existing lead agency
if programs have been demonstrated to work well, with changes
occurring only when data indicates a lack of success.
- Monitoring and evaluation of early childhood programs should
be data driven to ensure compliance in both process and results.
Careful study must also be given to which agency should be responsible
for the monitoring and data-collection processes.
B. ASSESSMENT AND IDENTIFICATION
1. Identify and intervene early using research-based programs.
LDA strongly supports the value of early screening, identification
and intervention in order “to better serve children with learning
and behavioral difficulties (p. 20).” LDA firmly believes
that early intervention, including the use of research-based instruction,
is critical to building a strong foundation in reading, whether
in general or special education, for improved lifelong learning.
However, the Report is vague about how such early intervention would
actually be implemented.
LDA’s specific comments include the following:
- As discussed in the Report, the concepts of assessment and services
are misunderstood, overly simplified, and generalized. Neither
assessment nor service is a unitary concept describing a single
activity. Assessment includes a range of activities such as: (1)
changes in lesson plans and instructional groupings based on teacher
observation and evaluative tasks in regular classrooms; (2) scores
on standardized tests of development, ability, or academic achievement
interpreted by diagnosticians or other specialists; (3) qualitative
and clinical interpretation of performance on standardized, diagnostic,
and informal instruments conducted by competent professionals;
(4) classroom observation, interviews, and portfolio reviews integrated
with other data; (5) parent interviews and observations; and (6)
trial teaching, curriculum based measurement, and response to
intervention carried out by personnel with competencies in those
areas. Possible services include a similar range, referred to
in IDEA as a continuum of services, such as: general education
class without or with accommodations, general education class
with varying degrees of added intensive help, highly intensive
instruction with some general education attendance, and continuous
intensive instruction throughout the school day. Without appropriate
assessment activity, the choice of instructional interventions
and services cannot be expected to improve educational outcomes.
- Suggesting that a mantra of “services first, assessment
later” will improve educational outcomes for students with
LD, shows a lack of understanding of students with disabilities.
Children with severe disabilities, including some with learning
disabilities, must be referred, assessed, and identified through
Child Find, early childhood programs, or kindergarten programs,
so that appropriate individualized specialized services, including
research-based interventions can be initiated prior to to first
grade. For children with suspected disabilities, well-intentioned,
but inadequate and inappropriate services will, unfortunately,
precede the assessment and appropriate intervention services needed
for educational progress. These children will still be victims
of a “wait to fail” process.
- While access to the best in early screening, referral, assessment,
and intervention can minimize some effects of learning disabilities,
it cannot prevent learning disabilities, which are lifelong and
neurologically based (e.g., just as blindness and mental retardation
cannot be prevented through educational interventions).
1. Simplify and clarify identification, especially of [early reading
problems in students with] high-incidence disorders.
LDA supports the Commission’s overall recommendation to “orient
assessment toward the provision of services,” but is concerned
that any changes intended to simplify assessment and identification
be carefully researched and piloted, prior to any changes in law
or regulations. Any changes must also clearly demonstrate improved
educational outcomes and reduce mis-identification.
LDA’s specific comments in this section include the following:
- The suggestion to reduce categories from 13 to three, while
seeming to be an easy simplification of “the eligibility
determination process” which “bears little relation
to intervention” (p. 20), actually has nothing to recommend
it. While general education instruction can often benefit most
students with disabilities, most will also require specific individualized
services at various times during their school years. Additional
accommodations; intensive interventions; specialized supports,
assistive technology; and programmatic guidance from professionals
with very specific competencies must not only be available, but
must be matched to each student’s special needs. The disability
categories ensure a practical focus on a reasonable range of interventions
and services, as well as the specific professional competence
enabling each child to truly learn to his or her potential. Thus,
the “complexity of IDEA” noted by the Commission (p.
20) has actually emerged from both the highly unique nature of
human differences and the recognized necessity of the resultant
categorical identification.
- The proposed three categories are confusing. Deaf-blindness
is placed under sensory disabilities, but multiple disabilities
under physical and neurological disabilities. SLD, which is recognized
as neurologically-based, and BD are both categorized as developmental
disabilities. What was intended to simplify the eligibility process
actually provides new complexities which are acknowledged as “not
perfect” (p 21)
- LDA finds it difficult to understand how the Commission can
state that it “found compelling evidence supporting the
existence of …[SLD, ED, mild MR, SLI] and ADHD,” yet
it also “could not identify firm practical or scientific
reasons supporting the current classification in IDEA” (page
21).
- LDA considers the effort to define the three proposed categories
as “high incidence” versus “low incidence”
as unworkable, since some students classified as in high incidence
categories, have severe disabilities.
- Whether disabilities are based on “objective” or
“subjective” criteria, LDA strongly believes that
assessment and identification must be a prerequisite for the appropriately
specialized services that keep the “individual” in
IDEA. For example, the sensory disability of visual impairment
(VI) may seem clearly identifiable “on the basis of vision
tests” (p. 21). Actually it is “a matter of degree
on several dimensions,” since some VI children simply need
access to large print materials as services, while others require
specialized mobility and Braille training.
- LDA strongly believes that SLD students require assessment and
identification as a prerequisite for appropriate services if they
are to profit from educational opportunities. Without appropriate
assessment, SLD students, who are marked by varying patterns of
skills (1) within each individual, (2) across academic subjects
of reading, mathematics, language, written expression, and spelling,
and (3) among indirect areas such as behavioral, social, and organizational
areas, cannot logically have their highly individual instructional
needs met. IDEA-97 recognized the importance of sharing information
about how a child learns by requiring that a member of the IEP
team be “an individual who can interpret the instructional
implications of evaluation results” (20USC 1414 (d)(1)(B)(y).
- While early reading intervention may assist the 80% of SLD students
that the National Institute of Mental Health (NIMH) identifies
as having reading problems, the intervention may not be of the
intensity, fidelity, and timing needed to develop reading skills.
Indeed, in NIMH studies of early intervention 5-6% remain “treatment
resisters” even after early intervention in reading. For
some SLD students, even high quality reading instruction will
not provide intervention for emerging math, spelling, or writing
difficulties. As too many parents know, some SLD students have
learning disabilities that create major and recurring interference
in the later acquisition of the academic, social, and vocational
skills needed for adult independence. Early math computation difficulties
reappear in mathematics reasoning and still later as problems
in maintaining budgets, keeping checkbooks, and paying bills on
time.
- To deny the need for assessment as a precursor and guide to
appropriate identification and instruction is tantamount to declaring
that someone complaining of chest pains be provided with digitalis,
a pacemaker, and quadruple bypass surgery. Following these services,
the patient would receive an EKG and other tests to assess whether
additional services were needed.
- LDA notes that the discussion on increases in OHI, OI, and SLD
categories presents interesting, but selective information that
distorts the conclusions. SLD is the category with the least growth
of the three (36%), yet is targeted as needing the most drastic
change in “the current methods of assessing the presence
of SLD(p. 24).” Questions arise about the basis upon which
SLD is selected as the area in need of change, especially when
several factors other than assessment methods (as noted below)
have contributed to growth in the SLD category.
- The Commission attributes the 10-year growth in OHI (319%) to
increases in identification of ADHD, which a physician’s
signature is “sufficient to trigger” based on “clinical
judgment using very specific criteria” (p. 23). The Report
then adds that many [ADHD] children are “not adequately
evaluated” and schools “cannot establish eligibility”
(p.24). Therefore, it is difficult to see how changing SLD assessment
to use “clinical judgment using very specific criteria”
can be expected to improve identification and reduce mis-identification.
- The increase in SLD (36%) is suggested to be the result of prematurity
without “neurological anomalies”, which has caused
a three-fold increase. However, there is no acknowledgement of
two other important factors: (1) the change in MR IQ criteria,
which created a lower threshold for “normal” ability
and resulted in a concomitant increase in the SLD population;
and (2) the increase in secondary school SLD students whichclosely
mirrors the decrease in SLI high school students.
- LDA supports the alignment of NCLB and IDEA with respect to
intervention collaboration between general and special education,
but is concerned about the implications of joint responsibility
only for early intervention.
- LDA strongly supports better training for regular education
teachers, but opposes the open ended use of IDEA funds for non-special
education services. Under IDEA-97, LEAs already can use up to
20 % of excess IDEA funding for non-special education use.
1. Adopt Response to Intervention and Progress Monitoring Models
and Use Data to Assess Special Education Progress
LDA has consistently expressed support for continued exploration
of alternative eligibility and identification models, including
problem-solving and response-to-intervention, for students with
disabilities, including those with SLD. This support, however, includes
several concerns, some of which seem to be supported by the Commission.
- LDA strongly supports the recognition and continued use of on-going
classroom assessment and diagnosis as a guide for adjustments
in intervention. For more than thirty years, diagnostic teaching,
direct instruction, curriculum based measurement, and behavior
analysis have been components of general and special education
instruction. More recently, newer approaches, such as computerized
progress measurement have become common classroom assessment tools.
- LDA strongly opposes hasty and ill-considered changes in IDEA’s
SLD identification and eligibility criteria. LDA opposes the adoption
of processes that do not demonstrate the hoped for improvement
and actually produce unintended consequences that serve as a setback
to student outcomes. Carefully designed research and pilot projects
must prove any alternative to be more valid, prompt and accurate
in identifying all students who are truly LD as distinguished
from those underachieving for other reasons. Acceptable alternatives
must also be demonstrated as effective in large-scale, diverse
settings; less expensive; reducing paperwork and litigation; providing
guidance for instruction; and improving educational outcomes.
- LDA supports the use of Part D funds to research and pilot alternative
identification and assessment models. LDA supports research into
scientifically-based interventions to ensure genuine improvement
in outcomes and to meet other criteria as outlined in LDA’s
response to Recommendation 3, above.
- In light of reported widespread school district use of an IQ/achievement
discrepancy formula as the sole criterion for SLD eligibility
and identification, LDA strongly supports improved technical assistance
and monitoringto ensure that parents, LEAs and SEAs understand
that IDEA-97 prohibits the use of any single assessment criterion,
including an IQ/achievement discrepancy formula. Further, IDEA
requires that “observation of academic performance in the
regular classroom (§300.542)” be considered in such
decisions. In addition, the current regulations encourage the
use of problem-solving and other pre-referral approaches that
could maximize learning, and minimize mis-identification.
1. Incorporate universal design through accommodations and modifications,
into accountability tools.
LDA supports the Commission’s concern about the continued
exclusion of students with disabilities, including SLD, and/or their
scores from statewide testing programs and therefore, from accountability
data. LDA also has the following specific comments related to the
Recommendation:
- LDA believes that the appropriate use of accommodations incorporated
into the IEP on an individualized basis, coupled with test instruments
that adhere to universal design principles are useful approaches
to solving the exclusion problem.
- LDA is concerned that there is some confusion about the use
of modifications, which generally refer to curricular adjustments,
and would raise questions about test validity if they were permitted
on statewide accountability instruments.
- LDA strongly supports the expectation that the accountability
testing incorporated into NCLB would apply to all students, whether
disabled or not and whether in general or special education, but
questions whether an amendment is necessary.
C. FINANCE
1. Increase Part B funding up to a threshold percent of “excess
cost”
LDA appreciates the efforts of the Commission to clarify the actual
costs of providing special education to children with disabilities.
LDA supports efforts to determine true excess costs, rather than
relying on expenditure data that may not be comparable from state
to state. Other concerns are as follows:
- When LEAs allocate the cost of all services for students with
disabilities to special education, the special education costs
are not true costs (e.g. all students with disabilities are transported
on special buses, even though students in regular education are
also provided this service).
- LDA recommends that the Department of Education develop and
implement clear guidelines for the allocation of costs of educating
students with disabilities in regular education, special education,
and other federally funded education programs.
1. Link future funding increases above the threshold percent to
state accountability plans
LDA’s support of the concept of rewarding SEAs and LEAs for
improved student results (which is similar to a proposal by Representative
Pete Stark, R-CA) is tempered by concern about possible unintended
consequences. Some of LDA’s concerns are included below:
- How will such funding plans affect the performance outcomes
for students with disabilities in states or localities that do
not show the required improvement?
- Although the Commission suggests that data to justify such increases
should “replace, not add to existing data requirements,”
there is a high probability that increased paperwork would be
required at several levels.
1. Target funds for direct services, with 90 % of IDEA flow-through
going to LEAs
LDA is very concerned about the effects of the recommendation to
mandate 90% of IDEA state set-aside as flow-through directly to
states and that the remaining funds be used to supplement risk management
pools and for “discretionary, administrative and high-need
student reimbursement purposes” (p. 35). Some of LDA’s
additional concerns are outlined below:
Each state would be very limited in its ability to provide in-service
and parent training.
- Opportunities to implement innovative model programs suited
to state needs would be limited.
- Very limited financial support would be available to meet critical
needs important to a given state.
1. Increase Part C and Section 619 funding
LDA supports increased funding for Part C and Section 619, but
strongly opposes open-ended flexibility in the use of IDEA funds.
In addition, LDA strongly urges increases in Part D of IDEA.
As written, this recommendation (p. 28) does not incorporate the
earlier narrative which recommends that “states be given flexibility
to use IDEA funds to support early intervention programs and to
combine IDEA funds with other sources of federal support for these
programs" (p. 22).
Increased Part D funds are needed to provide the research and dissemination,
personnel preparation, and parent training centers essential for
implementing the long-term commitment to using research-based and
scientifically-validated practices at all levels of the education
system, including educating students with disabilities.
Current law allows LEAs to (1) combine IDEA and ESEA funds for
school wide programs and supplementary services and aides to students
without disabilities when also providing for a child with a disability,
and (2) use up to 20% of increases in IDEA funding for programs
other than IDEA. This level of flexibility would seem to be sufficient.
5. and 6. Increase state and local flexibility and focus on high
need children
LDA supports the recommendation to provide for high cost students
through safety net funding and risk management pools. Provisions
for safety net funding are preferable, but it is recommended that
model programs such as the Washington State Safety Net Committee/Audit
Team, be piloted in large scale prior to widespread application
of such funding patterns.
D. ACCOUNTABILITY, FLEXIBILITY and PARENTAL EMPOWERMENT
LDA supports the four Commission major recommendations in this
area, but with additional specific suggestions and/or concerns in
each of the areas.
1. Set high expectations for special education
- LDA also strongly supports high expectations for teacher quality.
- Data should be collected on participation in Advanced Placement,
upper level high school core courses, and parent reports of post
graduation outcomes with disaggregation of the data for students
with and without disabilities. Both aggregated and disaggregated
data should be collected and made public.
- As implementation of IDEA-97 continues, LDA expects that an
increasing number of secondary school students will have had extended
access to the general curriculum and intensive remediation. For
students with learning disabilities, the result should be a continued
increase in the graduation rate and decrease in the dropout rate.
LDA believes that both general and special education must take
responsibility for continuing this progress.
- The Report suggests that IDEA should define “Adequate
Yearly Progress” (AYP) in the same way that NCLB expects
AYP for students with disabilities. But it is unclear how progress
toward both NCLB’s state reading/mathematics assessments
and IDEA’s “ambitious additional…goals…using…
graduation rates, post-graduation outcomes, and parent satisfactions
surveys“ (p. 36) could be consistent with NCLB’s requirement
that students without disabilities only show AYP on reading/mathematics
assessments. LDA is concerned that the result would be dual AYP
expectations for those with disabilities, but only one set of
expectations for other students, instead of the same learning
standards for ALL students.
- LDA believes that careful study must be made of current diploma
requirements and options among the states and their impact on
students with disabilities. As noted by the Commission, the choice
of “either diploma or graduation certification” (p.
39); leaves many students with learning disabilities without accurate
documentation of their abilities. Entrance into competitive employment
and apprentice-based occupations can be permanently closed when
students fail to meet all standards-based state-wide test requirements.
Ways must be found to strongly encourage completion of a standard
high school diploma, while recognizing the value of an official
document that verifies mastery of basic academic and performance
skills sufficient for competitive employment and post-secondary
skill training.
1. Hold LEAs accountable for results
LDA strongly supports the recommendation that LEA’s should
be accountable for the performance results of all students with
disabilities and included in state accountability data. However,
LDA’s concerns about practical details include the following:
- Specifics are lacking in the recommendation, so it is unclear
what “IDEA goals” are to be reported for each school
and LEA. Is performance on IEP Annual Goals, performance on state-wide
standardized tests, or performance on NCLB mandated reading and
mathematics assessments in grades 3-8 to be reported, or some
combination of these?
- Every child should be included in state-wide assessments, unless
reported as a “non-participant” with an appropriate
rationale.
- Students with disabilities should be included in district assessment
data ONLY when appropriate accommodations are applied on an individual
basis, determined in advance with parent/student involvement,
and practiced in the general education setting.
- Performance data should be provided in both aggregated and disaggregated
form, as currently required in both NCLB and IDEA-97.
- As with NCLB, LEA’s should report to parents whether or
not a child’s teacher holds a certificate for the field
in which they are teaching.
1. Increase parental empowerment and school choice
LDA strongly agrees that, as provided in IDEA-97, parents should
continue to have meaningful information about their child’s
progress, based on assessment results from educators and other service
providers, at least as frequently as students without disabilities.
LDA is very concerned, however, about how some of the additional
recommendations would apply in practice.
- The term “educational options” is not specifically
defined. It could simply mean access to added needed related services
or to other placements on a continuum of settings or it could
suggest a broader range of options.
- LDA is concerned that the Report suggests that IDEA should be
consistent with NCLB by providing funds to parents who choose
other services or schools [particularly] when a school has not
made AYP under IDEA for three consecutive years. The word “particularly”
is bracketed in the previous sentence, because it seems to indicate
that a “school in improvement” is not an actual requirement
for access to other options. Doesn’t NCLB already provide
a school choice option for ALL parents when an NCLB school is
“in improvement” for three years?
- Of greater concern to LDA are general statements declaring that
a “majority of special education students will continue
…in the regular public school system,” and “IDEA
should allow state use of federal funds to enable students…to
attend schools or access services of their families choosing,
provided states measure and report outcomes.…” Such
statements, raise important questions including whether the protections
of IDEA would continue, the implications for IDEA funds, and the
possibility of availability to students with disabilities but
not to all students.
1. Prevent disputes and improve dispute resolution
LDA is highly supportive of parent empowerment and processes that
minimize or avoid conflict and promote agreement about instructional
goals and services. Effective selection and training of mediators,
arbitrators and hearing officers must ensure knowledge of applicable
laws and regulations, as well as impartiality in decision-making.
Additional LDA concerns and suggestions include the following:
- In view of the fact that IDEA-97 requires that mediation be
made available, at least when a hearing is requested, the recommendation
concerning mediation is not necessary.
- Specific required steps must be in place to ensure that parents
are fully informed about the range of options available to minimize
or avoid conflict, foster amicable agreement, and encourage genuine
parent/professional partnerships.
- Access to binding arbitration, while a possibility, continues
to be an unlikely option for either parents or schools from a
practical standpoint. However, it should be available when a quicker
resolution is determined to be worth waiving further due process
appeals.
- The suggestion concerning “IEP Facilitators,” who
would be trained to guide IEP meetings toward positive solutions
for both parents and school staffs, is a promising idea that should
be explored further. One caution is that such a facilitator would
further increase the number attending an IEP meeting, when simplified
processes are being sought.
5. POST-SECONDARY RESULTS and EFFECTIVE TRANSITION SERVICES
LDA strongly supports the Commission’s recognition that “academic
achievement alone will not lead to successful results for students
with disabilities…[but they also] need educational supports
and services…throughout their school lives…[which] may
intensify during the transition years.’ (p.50). Additional
LDA comments and suggestions concerning the recommendations include
the following:
1. Simplify federal transition requirements
LDA supports the recommendation that IDEA transition requirements
should be simplified. Too many LD students move through the transition
years without the knowledge or supports to facilitate a smooth and
productive transition from high school to post-secondary educational
opportunities or successful competitive employment.
LDA notes the following additional suggestions and concerns:
- For students with learning disabilities, it is especially important
that attention to self-determination, self-advocacy, social, and
organizational skills is begun before high school and not omitted
as schools focus on academics.
- Transition requirements in IDEA must be clearly described so
that what is required and when it is required is not only understandable
to educators, parents, and students, but also to others such as
vocational rehabilitation counselors, occupational therapists,
and college support personnel. Differences between the transition
tasks at age 14 and 16 and between transition service needs and
needed transition service must also be clarified, along with the
possible impact of age of majority.
- Strong reading, mathematics, and study skills are important
keys to high school and transition success. Students, especially
those with learning disabilities, must have access to intensive
remedial instruction from highly qualified teachers so they will
be fully prepared academically for appropriate post-secondary
educational opportunities.
- As students mature and their educational needs and career goals
change, there are also changes in the role of accommodations.
Thus, at different times, accommodations may have to be provided
to students in ways that will maximize academic performance, assure
accurate state-wide test achievement, and smooth transition to
post-secondary education and high-end employment opportunities.
- Schools must do a better job of working with parents and students
to develop and implement an IEP that clearly specifies needed
transition services and develops goals appropriate to the post-secondary
expectations of high school students. Consideration should also
be given to specifically addressing these needs in IDEA by extending
the Individualized Transition Plan with a Secondary School Plan.
- All secondary teachers should be trained in the basics of linking
academics to future employment, encouraging self-advocacy, supporting
self-determination, and fostering learning and behavioral independence,
all of which enhance the possibility of post-secondary success.
The secondary curriculum should also be sufficiently aligned with
graduation requirements to foster successful transitions into
post-secondary education settings.
- Every secondary school must have an identified “LD transition
specialist” who has specific added skills in addition to
their professional training in teaching, counseling, vocational
rehabilitation, or another related area. They should attend appropriate
IEP/ITP meetings, share practical information about post-secondary
educational and employment options, and guide course and experience
selections to enable students to achieve their aspirations.
- Clear, accurate and timely information must be provided to parents
and students about possible linkages that exist to support a student
who drops out of school and refuses to return.
- In order to ensure comparable dropout data among states, a federal
definition and guidelines for its implementation should be put
in place.
1. Mandate federal interagency cooperation
LDA strongly supports the recommendation to strengthen the connections
between federal and state special education and rehabilitation policy,
and to improve cooperation among the many federal and state agencies
housing programs relating to transition, training, higher education,
and employment opportunities for students with disabilities. LDA
is not only concerned that too many students drop out of high school
without a diploma, but also that they are unable to access or navigate
the maze of various programs that have the potential to provide
assistance. The framework for success is available, but typically
agencies do not work together to ensure effective and seamless implementation.
Additional comments by LDA concerning interagency cooperation include:
- Agencies and programs must work together to take a practical
look at why students drop out of school and what is needed to
ensure completion of the education that will lead to securing
competitive employment.
- Ways must be found to ensure that agencies develop coordinated
approaches for youth who will not return to school and therefore,
will lack access to the IDEA protections that otherwise continue
to age 21. Of particular concern are students who have left school,
but because of their age, cannot access WIA programs, especially
the GED, the academic tutoring of the Youth Services Program,
and the pre-college vocational training programs that are currently
available.
- Existing OSERS Interagency Agreements between SEAs and state
Vocational Rehabilitation agencies must be strengthened, with
increased time limits so that students who are just beginning
to show progress are not left without a support system as they
begin employment.
- Agency personnel need training to ensure a basic understanding
of learning disabilities, how it is often misunderstood and typical
accommodations, as well as the characteristics and frustrations
that often continue into adulthood. For example, it is important
to understand that clients with learning disabilities often have
quite different needs, skills, and aspirations than those who
are physically or mentally challenged.
- State flexibility to coordinating funds from federal agencies
appears to be needed in order to create transition services that
most effectively serve the students in each state. LDA is concerned,
however, that critical practical specifics, such as oversight
responsibility, service priorities, monitoring and performance
outcome data remain to be developed. As is often the case with
funding flexibility, the best intentions may falter and fail if
effective guidelines and monitoring processes are not also in
place.
3. Create a Rehabilitation Act Re-Authorization Advisory Committee
LDA strongly supports the recommendation that an Advisory Committee
be formed to provide guidance for the upcoming re-authorization
of the Vocational Rehabilitation Act.
- LDA suggests that parents of students with disabilities, including
learning disabilities, be included on such an Advisory Committee.
4. Help Higher Education faculty and administration ensure completed,
quality Post-Secondary Education
LDA strongly supports the recommendation that higher education
faculty, administrators and auxiliary service providers find ways
to provide the effective supports needed for completion of post-secondary
education by students with disabilities. Many post-secondary institutions
describe effective model support systems on paper, but when students
are “experiencing” the program, they often do not truly
offer the range of supports necessary for success. In addition,
the existing student grants to fund post-secondary education are
not effective if such funds are used for GED and remedial work in
community colleges, so that mounting debt and depleted grant funds
prevent students from entering four-year institutions.
1. TEACHER and ADMINISTRATOR PREPARATION, TRAINING, and RETENTION
1. Recruit and Train Highly Qualified General and Special Education
Teachers
LDA supports the recommendation that new strategies must be devised
to recruit teachers that are highly qualified to educate students
with disabilities, supplemented by career-long professional development
systems that are based on professional standards. LDA also recognizes
that it is critical that licenses and endorsements for all teachers
and administrators require training in meeting the needs of students
with disabilities and in including parents as partners in improving
educational outcomes.
LDA’s specific concerns and suggestions follow:
- Current state licensure requirements vary widely in their criteria
and level of expectation.
- State license and endorsement requirements for principals must
include experiences and competencies in understanding disabilities
and special education. In each school the degree of knowledge,
understanding and support for students with disabilities depends,
in large part, on the building principal’s knowledge, understanding
and support. When principals view all students as their responsibility,
they see to it that teachers and support personnel receive the
training and resources to improve learning outcomes for all students
attending the school.
- For students with learning disabilities, it is especially important
that teachers are competent to help students develop such skills
as self-determination, self-advocacy, social, and organization.
Since these skills need to be established before high school and
not omitted as schools increase the focus on academics, competencies
in these areas are equally important for elementary, middle, and
secondary school educators.
- When new instructional initiatives are developed by SEAs or
IHEs, coordination should be a pre-requisite to funding.
1. Create research and data-driven training systems
LDA strongly agrees that teacher education should incorporate existing
research on student learning and teacher characteristics that produce
improved student achievement. Equally important, however, is funding
for additional research data and analysis, to guide factors such
as certification routes, the selection of training components, competencies,
exit assessment criteria, likelihood of continuing as a teacher
and other criteria to improve systems for teacher education.
1. Ensure Ongoing Field Experiences
LDA agrees that quality field experiences are an important component
of teacher education and must incorporate supervised experiences
that provide a comprehensive view of the full continuum of service
delivery models, in both general and special education settings.
- It is very important that field placements provide positive
experiences with teachers who are excellent role models and work
in supportive settings recognized for positive educational results
for students.
- Field experiences should be supplemented with frequent supervisor
feedback, reflective logs, reality-based case studies, videotaped
micro-teaching, and similar experiences.
1. Require rigorous reading training
LDA strongly supports the recommendation that training of both
general and special education teachers must be trained to implement
appropriate research-based practices in reading, including systematic
instruction in phonemic awareness, decoding, fluency, vocabulary
and comprehension. At the same time, LDA notes with concern that
these skills are necessary, but not sufficient to ensure that students
with learning disabilities are able to continue to progress during
their school experience, graduate and become successful in life.
In addition, LDA notes the following specific concerns:
- Competence in teaching early reading is critical for elementary
teachers. In addition, teachers at the middle and secondary levels,
teachers must understand the relationship of reading skill to
content acquisition and special education teachers must be able
to teach basic reading skills to older students.
- In addition to strong training in early reading, LDA believes
that elementary level general and special education teachers also
need to understand learning and language development and be highly
qualified to teach in content areas such as science, and the social
sciences
- LDA strongly believes that training at the elementary level
should ensure strong training in all seven domains included in
the IDEA definition of learning disabilities (listen, think, speak,
read, write, spell, and do mathematical calculations), since many
students with learning disabilities experience difficulty in areas
other than or in addition to basic reading
- Middle and secondary level teachers must be able to integrate
strategy instruction, content enhancement routines and similar
methods into the general education curriculum (as noted in the
testimony by Dr. Deshler at the Nashville Commission hearing).
Learning disabilities teachers must be able to provide age appropriate
intensive academic skill instruction to older students.
- Learning disability specialists must possess competence in a
range of instructional approaches, including intensive, specialized
reading interventions supported by clinical or promising practices
and/or data-based research, as well as instructional methods in
the other six learning domains defined in IDEA. In addition, the
collaborative skills needed to guide and assist general education
teachers in implementing individualized interventions needed to
master the general curriculum are especially important for successful
learning in students with learning disabilities.
1. Require public reporting of performance of graduates
LDA strongly supports the recommendation that institutions training
teachers, administrators, and related services personnel be required
to collect and publicly report data from consumers that indicate
the success of program graduates in educating students with disabilities.
- Performance data of teachers, administrators, and related services
personnel who graduate from IHE and private programs, should indicate
the level of success in educating both students with and without
disabilities.
- Data from graduates of higher education programs concerning
the degree of resources and other supports provided in their employment
setting should be collected, analyzed and publicly reported.
1. Increase faculty in special education and related services
LDA supports the need for recruitment and training of additional
highly qualified faculty to educate our nation’s future teachers
and other professionals and prepare them to achieve improved results
for diverse learners. Additional concerns include the following:
- Faculty must possess the knowledge and experience to plan and
implement pre-service and in-service programs that develop the
specific, but differentiated competencies required by teachers
in general education, secondary content areas, special education,
and learning disabilities.
- Faculty who will provide training in learning disabilities must
possess advanced, in-depth knowledge of intensive, specialized
interventions. Faculty who will provide training in general education
must possess the knowledge and attitudes to transmit to intending
and practicing teachers the ability to recognize emerging difficulties
in students and to work collaboratively with a learning disability
specialist to provide or supplement instruction.
- LDA is concerned that both teachers and related service providers
must be better prepared to effectively assist high school students
in meeting the requirements of post-secondary institutions. Faculty
must work collaboratively to ensure that general and special education
teachers, guidance counselors, speech/language pathologists, and
other professionals possess the knowledge and skills to help prepare
students for transition out of secondary school programs.
1. Conduct research on critical factors in training that improve
student outcomes.
LDA views this recommendation as essentially the same as the second
recommendation, which is addressed above.
7. RESEARCH AND DISSEMINATION OF SPECIAL EDUCATION RESEARCH
LDA supports the basic concepts in the four recommendations in
this section, noting especially the critical importance of research
efforts that must provide guidance on several areas within the Report.
These include, but are not limited to: efficacy of alternative assessment/identification
models, determination of scientifically-based interventions, teacher
characteristics that improve educational outcomes, extension of
valid intervention approaches beyond early reading to other academic
areas across grades K-12, approaches to reducing school dropouts
and non-graduation, special education costs, consequences of various
funding patterns and determining interagency coordination policies
that improve transition outcomes.
However, LDA has specific concerns and questions about the practical
aspects and possible impact of several recommendations, as indicated
in sections below.
1. Change to a more scientifically rigorous grant review process.
The Report outlines eight proposed changes to the existing grant
review process, primarily related to Part D programs. Some of the
proposals are very specific, but others lack clarity about the nature
of the changes and how those changes might contribute significantly
to a more rigorous grant review process.
- While the close and continuing involvement of qualified researchers
must be a part of all proposal reviews, proposals focusing on
implementation should include experienced practitioners in the
review process.
- Although it is noted that current statute requires that review
panels include researchers, consumers, and practitioners, the
Report goes on to caution that “non-researchers may not
be able to address technical aspects of the proposal” (p.
64). Yet the proposed “national advisory committee”
would include “practitioners, researchers, parents, and
people with disabilities” to be responsible for establishing
priorities and agendas, as well as review research for relevance
to people with disabilities” (p. 65). Would this group be
more capable of making such decisions? How would the panel’s
activities fit into the overall review process and timetable for
proposal review? If practitioners are unable to address the technical
aspects during proposal review, how will they be expected to implement
them in the field?
- The lack of definitions, interrelationships among components,
and practical details results in an uncertain picture of how a
more rigorous grant review process would be established. For example,
it is difficult to understand how numerous standing panels will
be established, each chaired by “a senior researcher”
that is independent of OSEP, and at the same time be similar to
“internal review groups” used by NIH as a “separate
institute for review” (p. 65). LDA wonders who would be
defined as a senior researcher and how an internal review group
would be independent of OSEP?
1. Improve coordination of special education research.
LDA agrees that special education research should not only be coordinated
among the three OSERS offices, but efforts should be continued that
foster and reward coordination with HHS and NIH and similar agencies
with respect to developing priorities, requesting and funding proposals,
and dissemination of results at both scientific and practical levels.
1. Support long term research priorities
LDA strongly agrees that many important research questions emerging
from the Report demand longitudinal studies and will require sustained
research priorities to achieve meaningful results that can guide
practice.
1. Improve the impact of research findings
LDA strongly supports dissemination of research findings to meet
a range of needs. These needs include an understanding of basic
science, guidance for program and service implementation, and practical
information. Such dissemination should provide direction, simplified
information, and hands-on approaches for improving the abilities
of teachers and families to maximize educational outcomes for all
the nation’s children, both with and without disabilities.
- LDA’s believes it is critically important that research
and piloting of alternative models for assessment and identification
be carefully designed and described, with data on educational
outcomes made available for peer review. In short, the same scientific
research standards must be met that are the basis for questioning
the processes currently used and permitted.
- LDA is particularly concerned that discussion of research needs
in the Report seems to assume that research will focus on “bringing
to scale practices that are identified as effective” (p
69). A more defensible approach is to move effective clinical
research into a pilot phase in diverse settings that are gradually
scaled-up to test continued effectiveness prior to large scale
models that, if also effective, are ready for dissemination, adoption,
and adaptation.
- LDA notes with great concern that the Commission uses terms
such as “evidence-based,” “research-based,”
and “scientifically-based” instruction throughout
the Report without defining the terms. While LDA advocates for
instruction that is supported by quantitative research, LDA also
recognizes the value of promising practices supported by experiential
evidence, anecdotal reports, qualitative research, empirical data
and similar research methods. Teachers need a repertoire of instructional
methods available to individualize intervention, meet student
needs and improving learning. Such an instructional repertoire
should include both scientifically validated and promising practices.
- LDA is concerned that the Report attempts to narrow dissemination
efforts “largely…to scientifically based practices”(p.
69), “to disseminate scientifically-based information on
research-based practices to parents and schools” (p. 70),
and to “dissemination programs in OSERS that focus on the
adoption of scientifically-based practices in the preparation
of and continuing education for teachers (p.63). In contrast,
dissemination of user-friendly materials to inform and up-date
parents and teachers are dismissed with the statement that there
should be “less emphasis on distributing information about
the law and how to comply with it, and more emphasis on “what
works” and “outcomes” (p.69).
- To LDA it is vitally important that parents and educators understand
the law and regulations in order to advocate for and obtain the
practical services that IDEA promises. Often, ERIC is the only
known source of answers to practical questions. ERIC material
is not “largely redundant (p. 69), but rather is a relevant
database of resources that others draw from. Funding for ERIC
must continue, so that information so necessary for both parents
and teachers continues to be accessible.
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