REPA 2
Got
this from one of my teaching professors at school and believe it is
necessary to get the word out about how Indiana is going to continue to
fall behind in their requirements for those who wish to become teachers.
Please post to the public forum and make an appearance at the public
hearing if at all possible.
From: Shedd, Jill Denise
Sent: Thursday, May 03, 2012 5:05 PM
Below is a letter that addresses the Indiana Department of Education
proposed Rules for Education Preparation and Accountability (REPA) 2.
In response to earlier discussions, we believe it is important to
distribute widely this letter alerting individuals to this new set of
proposed rules and the forthcoming opportunity for public comment. This
letter is being sent to the membership of the Indiana Association of
Colleges for Teacher Education (IACTE), and you may choose to distribute
it to your respective membership as well.
REPA 2 Awareness Letter
May 3, 2012
On April 30 2010, significant changes both to teacher and administrator
licensing and to teacher preparation requirements in the state of
Indiana went into effect; changes which the Indiana Department of
Education approved in January, 2010. Both the Department of Education
and teacher preparation programs throughout the state are in the midst
of implementing the changes. In fact there are a number of changes
approved, such as the testing requirements for new licenses that have
yet to be implemented; target dates are January and September, 2013.
Amidst these changes, the Department of Education has proposed a new set
of rule changes without reviewing the results of the 2010 first set of
Rules for Educator Preparation and Accountability (REPA). The timing
and nature of this new set of proposed rules adds to the considerable
instability that already exists in the state with respect to policy
changes affecting teachers and public schools.
At the January
2012 meeting of the State Board of Education, Dr. Bennett and his staff
presented REPA 2. Dr. Bennett stated that the purpose of these proposed
rules is to provide administrators and schools with flexibility in
teacher staffing. However, many professionals in public education have
expressed serious concerns with the proposed rules, rules that will
significantly lower standards for teaching and administrator licensing
in the state.
Currently, there are plans for individuals to be
able to provide public comment regarding these changes, and a public
hearing in Indianapolis. The intent of this letter is to advise you of
this new set of proposed rules and urge you to comment on the public
record as provided by law. You are encouraged to share this letter
among your colleagues and/or membership to advise them of the potential
impact of these proposed changes.
Some of the proposed changes include:
- Creation of adjunct teaching permits, for which the only
criteria are a 3.0/4.0 undergraduate grade point average and passage of
the content assessment. Adjunct teachers would not be required to
complete any preparation in how to teach nor pass the new pedagogy
assessment required for new teacher licenses.
-
Restrictions of the teacher license renewal criteria to only the results
of teacher evaluations earned in their local schools with no external
expectations for professional development.
- Elimination of the opportunity to renew existing 10 year licenses.
- Ability to add any content area to an existing license
without any developmentally appropriate content or teaching
preparations. This change includes the potential for license additions
in the fine arts, special education, early childhood education and
elementary education by licensed individuals simply passing a test.
- Changes to special education preparation that would not require any subject area preparation or expertise.
- Changes to the building principal license requirements,
changes that reduce degree requirements and eligibility criteria at a
time in which the building principals are being asked to do
significantly more.
- Changes in the
approval/accreditation criteria for state teacher preparation programs
with no reference to national or professional criteria nor to a clear
review process or time line.
In summary, the Indiana Department of
Education made significant changes to teacher and administrator
licensing and teacher preparation just two years ago; changes which have
yet to be implemented fully even by the Department of Education.
Coming before the original REPA revisions are fully implemented, REPA 2
will add significantly to the high level of instability in the policy
environment affecting teachers and schools in Indiana. Perhaps, the
primary recommendation should be "wait"; to allow for the changes made
in 2010 to be implemented and for the results to be seen. If
consideration of REPA 2 is not deferred, it is important to be aware of
the proposed changes and to speak out on specific revisions needed to
maintain quality standards for licensure and to avoid further
de-professionalization of teaching. You are encouraged to share this
letter and to review the proposed rules at http://www.doe.in.gov/sites/default/files/sboe/repa-2-april-25.pdf. More details about the public comment Website and the public hearing will be forthcoming.
On behalf of the Indiana Association of Colleges for Teacher Education (IACTE) Executive Committee
Jill D. Shedd
IACTE Executive Secretary
No comments:
Post a Comment