Agencies | Governor
Virginia Regulatory Town Hall
Agency
Department of Education
Board
State Board of Education
chapter
[under development] Regulations Governing the Use of Seclusion and Restraint in Public Elementary and Secondary Schools in Virginia [8 VAC 20 ‑ 750]
Action Promulgating new regulation governing seclusion & restraint in public elementary & secondary schools
Stage Proposed
Comment Period Ends 4/19/2019
spacer
Previous Comment     Next Comment     Back to List of Comments
4/17/19  11:18 am
Commenter: Poquoson City Public Schools

Public Comment on Proposed Seclusion and Restraint Regulations
 

April 17, 2019

Re: Virginia Proposed Seclusion and Restraint Regulations

Dear President Gecker, Dr. Lane, and Members of the Virginia Board of Education:

My name is Ashley Reyher and I am the Director of Student Services in Poquoson City Public Schools.  I am also a member of the Virginia Council of Administrators of Special Education (VCASE), which represents over 300 special education administrators dedicated to providing leadership and support for the education of students with disabilities in the Commonwealth.  As a special education administrator, I also ensure the provision of special education services in compliance with federal, state, and local regulations.


Overall, I support the proposed regulations pertaining to seclusion and restraint.  VCASE was involved in providing input and public comment at all stages of the development of the Regulations.  I believe these regulations also address the concerns of parents and advocates who have expressed strong feelings in opposition to restraint and seclusion practices.  I recognize the importance of regulations that will ensure the health, safety, and dignity of all students, with and without disabilities. The proposed regulations strike the balance in ensuring the well-being of individual students and providing a safe school environment for all, including:

  • Language defining restraint and seclusion, including prohibited practices that could endanger students;

  • Mandatory continuous visual monitoring of any restraint and seclusion;

  • Timely reporting to school administrators as well as notification and involvement of parents;

  • Professional develop0ment in positive behavioral interventions and supports (PBIS), conflict prevention, crisis response, and de-escalation as well as development of functional behavioral assessments (FBA) and behavior intervention plans (BIP) with the aim to reduce the need for restraint or seclusion;

  • Involvement of IEP, Section 504, and other interdisciplinary teams to ensure individualized student consideration;

  • Annual reporting of seclusion and restraint incidences; and

  • Development of division policies and practices in compliance with Virginia Regulations.

I also have a few concerns that I hope you will  address:

Training requirements - “All school personnel.”

I am concerned with the current language that recommends “all school personnel” must receive the initial training that focuses on skills related to positive behavior support, conflict prevention, de-escalation, and crisis response as well as the regulations, policies and procedures governing the use of physical restraint and seclusion. I believe this will add an unnecessary burden for divisions to train school employees that do not come into contact with students on a regular basis. I request consideration to revise the proposed definition of “all school personnel” to language that limits personnel required for this training to include “all school-based personnel who have ongoing, direct contact with students in instructional and school support roles.”

Cost burden.

I am concerned with the cost of training and request that training costs be funded by the VDOE, not local school divisions.  The provision of initial training for all employees as well as advanced training for at least one school building administrator and staff members who work with students who may likely require seclusion or restraint will create a financial burden for school divisions already facing multiple other “unfunded mandates”.  

Implementation Timeframe.

While not a regulatory issue, I am concerned with the timeline of implementation of  the regulations and request that adequate time be given for school districts to develop written policies and procedures and provide training for school division personnel.  It is important to note that these regulations will apply to ALL Virginia students, not just students with disabilities.  Therefore, I hope the Board of Education consults with division school boards and superintendents in developing a reasonable timeline for the development of local policies and budgeting of resources required prior to implementation of these regulations. A reasonable timeframe for implementation of these regulations would be one full school year after final approval. If approved in spring 2019, the school divisions and VDOE should have the 2019-20 school year to develop local policies, plan professional development, and budget for implementation of the regulations beginning with the 2020-21 school year.

Thank you for the opportunity to provide public comment as you finalize the Virginia Seclusion and Restraint Regulations.

Sincerely,

Ashley E. Reyher

Director of Student Services

Poquoson City Public Schools

Member, Virginia Council of Administrators of Special Education