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Final Rules on Teacher Preparation — page 91-92;  US Department of Education.

As the Rogue Ones all gather their forces to defeat the dark monstrosity being built on the edge of their star system, they got a much needed assist from the Feds coming to their rescue.

It was anticipated that teacher colleges would need to provide proof of their graduates’ classroom skills in helping advance student learning, under proposed rules issued Nov. 25 by the U.S. Department of Education…

Programs that failed to do so could eventually be blocked from offering financial aid to would-be K-12 teachers in the form of federal Teacher Education Assistance for College and Higher Education, or TEACH, grants, according to the long-delayed proposal.  The rules are the Obama administration’s attempt to toughen what have long been considered ineffectual requirements left over from “No Child Left Behind”, for teacher-preparation programs in Title II of the Higher Education Act…

The U.S. Department of Education yesterday released its long-awaited final rules on teacher preparation.

Under the rules, states will be required each year to rate all of its traditional, alternative and distance prep programs as either effective, at-risk, or low-performing….

The annual ratings will be based on several metrics, such as a) the number of graduates who get jobs in high-needs schools, b) how long these graduates stay in the teaching profession, and c) how effective they are as teachers, judging from classroom observations as well as their students’ academic performance...

This is in direct opposition to the thrust of Dave Sokola’s educational policies which have had the direct consequence of destroying public education, thereby elevating and illuminating Charter Schools as the more desirable.  His policies preclude running off teachers, they preclude closing schools, and they preclude holding public schools to low ratings while providing Charter Schools with high ones… 

As of today, the thrust of all those policies now take us in the wrong direction to get Title I funding.

  • Instead of running teachers out of high needs schools, we need to get them to stay in high needs schools.
  • Instead of helping the state achieve it’s educational goals, TFA (Teachers For America) now hinders the state from achieving its goals.
  • Instead of making life hell on teachers in high needs schools, the state needs to all it can to maintain, grow, and prosper all those teachers in high needs schools. Every teacher in a high needs school  who quits, now endangers the income the state receives from the Federal Government. Free money that would need to be made up, if it were ever lost.

In a major change from the proposed rules—which were subject to heavy criticism from the fieldstudent learning will not have to be based on test scores or the proxy of teacher evaluations based on student test gains; rather, states will have the flexibility to use other measures deemed “relevant to student outcomes” and determine how various components of their systems are weighted…

 

This is the exact passage which will require the tweaking of SB51 or now it would just be reworking Title 14, Chapter 12…Subchapter VIII – Educator Preparation Programs.

e) Educator preparation programs shall collaborate with the Department to collect and report data on the performance and effectiveness of program graduates. At a minimum, such data shall measure performance and effectiveness of program graduates by student achievement. The effectiveness of each graduate shall be reported for a period of 5 years following graduation for each graduate who is employed as an educator in the State. Data shall be reported on an annual basis. The Department shall make such data available to the public.

(f) The Department shall promulgate rules and regulations governing educator preparation programs pursuant to this subchapter in collaboration with Delaware educators.

And here is the proper tweaking necessary to put Delaware’s Empire of Education, back under Inter-Galactic Law….. 🙂

e) Educator preparation programs shall collaborate with the Department to collect and report data on the performance and effectiveness of program graduates. At a minimum, s Such data measures performance and the effectiveness of educator preparation program graduates by student achievement. The effectiveness of each graduate shall be reported for a period of 5 years following graduation for each graduate who is employed as an educator in the State. Data shall be reported on an annual basis. The Department shall make such data available to the public. State mandated student test scores which have been proven to be ineffective determiners of teacher effectiveness, cannot be part of the evaluation process.

(f) The Department with the approval of the General Assembly, shall promulgate rules and regulations governing educator preparation programs pursuant to this subchapter in collaboration with Delaware educators.

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I look forward to these being put on the table in the first days of the new legislature…

For the timeline is thus… Under the rules, states must establish their reporting systems in the 2016-2017 school year, and can use the following school year to test out their systems. All reporting systems must be in effect by 2018-2019 school year.

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In another change from the draft rules, states will no longer be required to ensure that programs only accept top-performing students, as long as all students are held to a high bar by the program’s end. The aim here is to ensure that prep programs can recruit diverse candidates into the teaching profession.

Requiring another change in Sokola’s SB51 which is now

Title 14  Chapter 12…

Subchapter VIII.  Education Preparation Programs

  • (b) Each educator preparation program approved by the Department shall establish rigorous entry requirements as prerequisites for admission into the program. At a minimum, each program shall require applicants to:

    (1) Have a grade point average of at least a 3.0 on a 4.0 scale or a grade point average in the top fiftieth percentile for coursework completed during the most recent 2 years of the applicant’s general education, whether secondary or post-secondary; or

    (2)(1) Demonstrate mastery of general knowledge, including the ability to read, write, and compute, by achieving a minimum score on a standardized test normed to the general college-bound population, such as Praxis, Scholastic Aptitude Test (SAT), or American College Test (ACT), as approved by the Department.

    Each educator preparation program may waive these admissions requirements for up to 10 20%of the students admitted. Programs shall implement strategies to ensure that students admitted under such a waiver receive assistance to demonstrate competencies to successfully meet requirements for program completion.

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    Never underestimate the power …of the Force…..

 

Parents. Students.

Get back!… Opt out of taking the Smarter Balanced Assessment until that teacher is reinstated… If not reinstated.. don’t take the test…

A) The test is stupid.  (literally)

B) The test has no bearing on your abilities.  Schools look at GPA’s.

C) The test is one thing you control that Meece doesn’t… You choose not to take the test, he is the laughing stock of the entire Charter Network..

D)  The peace of mind that comes after you’ve opted out is incredible, probably one of the nicest feelings you will ever feel…  it’s like being on a white sandy beach, with aqua waves periodically pounding the surf, a cold drink in your hand, a breeze across your well oiled skin, feeling neither too hot or too cold… just right…  Oh, and did I mention the palm trees over you to shade you from the excessive sun?  This vision is almost as great as the feeling you get when opting out of the Smarter Balanced….. It’s literally amazing…

E)  If you Opt Out and change your mind (like when they reinstate your teacher whom who love and adore and who will do more than Meece ever could to help you succeed in college) they are so desperate to have you take the test, they will probably give you bonuses of over thousands of dollars each (j/k but they will certainly let you in with complete forgiveness)…

Opt out of the test this week, and see, see just how much power you have in your hands … Opt out of the Smarter Balanced

dave-sokola

In writing a comment reply I almost tacked this on because it readily became apparent to me why despite Delaware’s education apparatus being in fairly good shape, we are beset with a battering of how f’d-up our local schools are… As any parent knows, their school is not f’d-up and ESPECIALLY when you put an assortment of parents across the state in a room and ask questions, you readily discern there is a dichotomy between how they feel about their  child’s school, versus the generalities of the state’s running this or that educational program…

The gist being that generally all education is f’d-up; but somehow their schools are awesome…

It is time to shoot the messenger….

Dave Sokola initiated the charter school process back when the first Clinton ran the White House… Particularly now that charters have a black eye, he has used the Educational committee to sneak lobbyist-written legislation through passage and a fellow Newark buddy’s signature to give Charters exceptional rights and access which no one else has…

What ever his reason, that is on him.. (It is not “the children”; his policies have made their lives hell).. But as Delaware citizens we have a choice this November to put our school bickerings on a back burner and move forward with improving the quality of education directly at the student level,….. OR we can continue to have the same confrontations that always say the same things on both sides, that are a back and forth of nothing that has not already been said…

Talk is cheap… As with your children, as with the upkeep of your house, as with the constant health of your car and your own body, if you want to get something done, you have to take the initial action yourself.

There is a wonderful human being named Meredith Chapman now challenging Dave Sokola for his 8th District Senatorial seat… a territory that covers the northeast corner of our state from Newark to Hockessin .

If she is able to knock off Dave, then our constant blather of racist inspired public school battering (they simply don’t want to go to school with blacks…Period),  evaporates… In its place we have a clear day with bright sun to actually turn attention to what helps children…

We know.

Exactly.

What helps children…

If we seriously want to improve education, we need to have an 11:1 student teacher ratio in grades k – 5 and in grade 9 in all schools where over 50% of the student body is at or below poverty level….

This applies what works best to those areas that need work… Nothing else is as effective… Nothing.  The best way to motivate people to learn, is to have someone they admire who knows them and mentors them to learn.  In wealthy districts that role can well be filled by parents.  Therefore wealthy districts don’t need as much attention.. But when you have a child entering the school system behind by a 5000 word vocabulary, you have to do something first to catch them up, and then you have to continue a process that continually advances them forward so at some future point in their lives, they enter the workplace on parity with those who were given a now very lucky head start in life…

There are four other things that must be done but in truth all those four are done solely to allocate necessary resources to the only tried and true method of teaching…. One on one involvement…. 11:1 is manageable.

This will NEVER  happen as long as Dave Sokola is in the Senate…  You’ve had 25 years of watching him go THE WRONG WAY!

And like a pinned flea, so far he has squirmed his way out from being caught, and slipped to bite public education at their hair follicles again and again… Across 25 years our fingers just couldn’t seem to grasp the blood engorged body to pull it out of the coiffured entanglements of our educational apparatus… So we accepted it instead… and after every bite, we scratch our skin raw..

We got bitten again, again, and again, and again, and again… (Did I hit the right number or legislative pieces? )..

This time we have tweezers in the form of Meredith Chapman.  Time to get that little bugger OUTTA THERE!….

 

(Kathleen’s lines will be green…. for go, go, goTom’s will be red for stop, stop, stop…….)

“What We Found”

1) AOA found that there was a lack of management participation in key operational activities. Several districts and charter schools failed to attend the entrance conference or to develop individualized policies and procedures governing Unit Count. Some charter schools delegated these responsibilities to Innovative Schools….

1) Some districts and charter schools failed to develop individualized policieand procedures governing Unit Count. AOA also encountered instances where the individual assigned to perform Unit Count tasks had not attended the annual training offered by DOE, resulting in those individuals being unfamiliar with key reports and processes……

2) AOA found that there is a lack of uniform standards surrounding the Unit Count process. This includes the format and required documents of the comprehensive enrollment file. As a result, we identified incidents of missing and incomplete documentation.


2) Our enrollment review identified 9 students who should not have been included in the Unit Count. These disallowances were attributed to errors and failure to follow the requirements provided for in DOE’s Unit Count Regulations Manual

 

3) Many of the inconsistencies and errors we found could be attributed to lack of training. While DOE administers training annually, there is no requirement that individuals attend this training before being assigned Unit Count responsibilities. AOA encountered several instances where the individual performing key Unit Count tasks had not attended the training and were unfamiliar with the Unit Count processes.

3) We also found that some schools had no process to verify attendance, some schools were missing reports and documentation, and some schools had reporting issues. Additionally, AOA determined that there is no statewide standard for documentation that should be included in each school’s comprehensive enrollment file…

4) AOA found a total of 9 students who should not have been included in the Unit Count. These disallowances were attributed to errors and failure to follow threquirements provided for in DOE’s Unit Count Manual….

4) AOA identified 28 disallowances as a result of our review of Early Admissions to Kindergarten. These disallowances were attributed to errors,missing documentation, and inconsistencies in performing evaluations….

5)There is also no standard for qualifying a child for Early Admission to Kindergarten. The districts and charter schools are responsible for developing their own plans and must only follow the broad requirements provided for in Delaware Code. As a result, there were 28 students across four charter schools whose enrollment in Early Kindergarten was unsupported.

5) During our funding review, AOA found that there is no uniform process for tracking the allocation of earned units, which impeded AOA’s ability to complete review procedures….

6) DOE has a process for the monitoring of Units earned for special education and their allocation. However, no such process exists for monitoring of the Units related to regular education. There is also no statewide requirement for the districts or charters to maintain a staffing plan detailing how the Units were allocated, nor is DOE monitoring the allocation and use of such funding. This poses an increased risk for non-compliance with funding allocation generated by the Unit Count including potential to overcharge or undercharge….


6) DOE has sufficient resources and processes in place for the monitoring of Units earned for special education and their allocation. However, the same amount of resources are not available for monitoring of the Units related to regular education. Monitoring of regular education units is currently being performed by the DOE Unit Count Coordinator in addition to the other responsibilities assigned to this role….

 

7) Lastly, AOA found weaknesses in the IT controls surrounding Unit Count PLUS that DOE should address to ensure proper segregation of duties and continuity of operations.

7) Lastly, AOA found weaknesses in the IT controls surrounding Unit Count PLUS that DOE should address to ensure proper segregation of duties and continuity of operations…..

Ok… we’ll analyze and take a breather to get your eyes back to focusing at their regular color levels… (If you want to do something cool, look at a blank wall (white) while reading this…)

Notice how Kathleen’s “lack of management participation” was fuzzed over with… some (charters) “failed to develop individualized policieand procedures governing Unit Count..”  The real problem here is:  LACK OF MANAGEMENT PARTICIPATION!  Erased is the notation that “some schools delegated these responsibilities to Innovative schools…..
innovative-schools-delaware-checkbook

 

Missing in Tom’s assessment is Kathleen’s assertion that there are NO uniform standards surrounding the Unit Count process.  More importantly missing from Wagner is any mention that they “identified incidents of missing and incomplete documentation”. These would be violations which could cause a charter to be revoked by the DOE as well as implact Federal Funding, all which seem to be whitewashed by Tom by describing this illegal act blandly as “errors and failure to follow requirements”…..

I’ll skip the Table of Contents comparison.  The two differences are that Appendix D was added to Tom’s, and it starts on the same page number (25) as Appendix C in Kathleen’s, meaning hers has more meat in it up to that point…

Objective, Scope, and Methodology

State of Delaware Statewide eSchool PLUS and Unit Count Performance Audit Objective, Scope, and Methodology, Objective, Scope, and Methodology
The audit objective was to determine the reliability and sufficiency of the various processes that contribute to the annual Unit Count for the period of July 1, 2015 through June 30, 2016. Our audit concentrated on analyzing the processes that can result in the incorrect funding based on ineligible student enrollment. The work is intended to supplement the audit coverage alreadobtained through the annual Statewide Comprehensive Annual Financial Report and the Statewide Single Audit….

 

The objective was to determine the reliability and sufficiency of the various processes that contribute to the annual Unit Count for the period of July 1, 2015 through June 30, 2016. Our inspection concentrated on analyzing the processes that can result in the incorrect funding based on ineligible student enrollment.

 

The Office of Auditor of Accounts (AOA) performed the following procedures:
 
  • Obtained the Full Student Register (FSR) to corroborate numbers submitted during Unit Count.
  • Obtained attendance records for Unit Count training to determine if all districts were represented.
  • Inspected the processes in place regarding Unit Count to determine if they are in line with the DOE manual. 
  • Interviewed various school staff regarding the processes around Unit Count to determine their understanding.
  • Obtained details regarding DOE staff duties covering Unit Count processes to determine if current staffing is sufficient.
  • Evaluated the process to admit students early to kindergarten.
  • Reviewed and evaluated IT controls for Unit Count PLUS.

 

The Office of Auditor of Accounts (AOA) performed the following procedures
 
  • Obtained the Full Student Register (FSR) attendance report to corroborate Unit Count numbers submitted by schools. 
  • Obtained attendance records for Unit Count training to determine if all districts and charter schools were represented. 
  • Inspected the processes in place regarding Unit Count to determine if they are in line with the  DOE Unit Count Regulations Manual
  • Interviewed various school staff regarding the processes around Unit Count to determine their understanding.
  • Obtained details regarding DOE staff duties covering Unit Count processes to determine if current staffing is sufficient.
  • Evaluated the process to admit students early to kindergarten
  • Reviewed and evaluated IT controls for Unit Count PLUS

     

    BACKGROUND

    Introduction:   At September 2015, the Delaware Department of Education (DOE), located in Dover, served 19 school districts and 27 charter schools. The mission of the Department is to promote the highest quality education for every Delaware student by providing visionary leadership and superior service. The Department is headed by a cabinet secretary and consists of approximately 261 staff members. The Department’s major funding source is the State General Fund…

    Introduction:  At September 2015, the Delaware Department of Education (DOE), located in Dover, served 19 school districts and 27 charter schools. DOE’s mission is to promote the highest quality education for every Delaware student by providing visionary leadership and superior service.DOE is headed by a cabinet secretary and consists of approximately 261 staff members. DOE’s major funding source is the State General Fund.

     

    Delaware school districts and charter schools receive State funding based on a calculation by the DOE using each district’s September 30th Unit Count. Pursuant to 14 Del. C. §1704(1) the number of units shall be calculated based upon the total enrollment of pupils in each school district as of the last school day of September. All students counted during the measurement period are monitored for attendance during the last 10 student days prior to September 30th  to determine their inclusion in the Unit Count. The Unit Count calculation includes the total pupil enrollment on the last school day in September and considers various factors such as grade level and, if applicable, the special education needs of the child. According to DOE’s Unit Count Regulations Manual and Unit Count Training materials, enrollment is defined as “…unless there is reason to believe that a pupil’s attendance during the ten-day period is fleeting or momentary, his/her presence in school for all or part of the 10 days effectively “enrolls” him/her as of the last day of September for the school year.” The parameters of when to count a student when absent are unspecified and require a serious judgment call by the district or charter school. The 2015 Unit Count began on Thursday, September 17, 2015 and ended on Wednesday, September 30, 2015.This period may also be referred to as the FY16 Unit Count.

     

    Delaware school districts and charter schools receive State funding based on a calculation by DOE using the September 30tUnit Count. Pursuant to 14 Del. C. §1704(1), the number of units shall be calculated based upon the total enrollment of pupils as of the last school day of September. All students are monitored for attendance during the last 10 student days of September to determine their inclusion in the Unit Count. The Unit Count calculation includes the total pupil enrollment on the last school day in September and considers various factors such as grade level and, if applicable, the special education needs of the child. According to DOE’s Unit Count Regulations Manual and Unit Count Training materials, enrollment is defined as “…unless there is reason to believe that a pupil’s attendance during the ten-day period is fleeting or momentary, his/her presence in school for all or part of the 10 days effectively ‘enrolls’him/her as of the last day of September for the school year.” The 2015 Unit Count began on Thursday, September 17, 2015, and ended on Wednesday, September 30, 2015. This period may also be referred to as the FY16 Unit Count.

     

    All districts and charter schools complete the September 30th enrollment and unit computation reporting requirements through a link between eSchool PLUS, the statewide pupil accounting system, and Unit Count PLUS, a DOE web-based Identity Management System (IMS) application that enables districts and charter schools to verify their September enrollment and unit allotment reporting requirements. eSchool PLUS is a system offering the following tools for managing student information
     
    Student Administration 
     – Provides school districts with the tools to manage day-to-day student administration and information such as enrollment, demographics, schedules,attendance, discipline, standardized tests, report cards, and transcripts…
     
    Teacher Access Center 
     – Provides teachers with an on line grade bookassignment and attendance management system, and the ability to easily communicate with parents.

    Home Access Center 
     – Provides parents the ability to be more informed of their child’s grades, attendance, assignments, and discipline information.
     
    IEP PLUS 
     – Provides school districts with a means to manage all Individual Education Plans (IEP) for students with special education needs, which streamlines the Federal and State special education reporting process



    All districts and charter schools complete the September 30th enrollment and unit computation reporting requirements through a link between eSchool PLUS, the statewide pupil accounting system, and Unit Count PLUS, a DOE web-based Identity Management System (IMS)application that enables districts and charter schools to verify their September enrollment and unit allotment reporting requirements. eSchool PLUS offers the following tools for managing student information:
     
    Student Administration
     – Provides school districts with the tools to manage day-to-daystudent administration and information such as enrollment, demographics, schedules,attendance, discipline, standardized tests, report cards, and transcripts.
     
    Teacher Access Center 
     – Provides teachers with an on line grade bookassignment and attendance management system, and the ability to easily communicate with parents.

     Home Access Center 
     – Provides parents the ability to be more informed of their child’s grades, attendance, assignments, and discipline information.
     
     IEP PLUS 
     – Provides school districts with a means to manage all Individual Education Plans (IEP) for students with special education needs, which streamlines the Federal and State special education reporting process…

     

    HOW IS THE UNIT COUNT PERFORMED?

    The Unit Count process is performed at the school district level and starts when a student is enrolled in a district and his or her information is entered into eSchool PLUS. System access is controlled through a user file. District and charter school staff are assigned access rights either at the school level or both the district and school level. The required Unit Count calculations prescribed by 14 Del. C. §1703(a) are preloaded into the system. Provided the formula is coded correctly in the system, this process will help ensure the mathematical accuracy of the Unit Count calculation. Once the Unit Count process starts, the following events occur:
     
    Enrollment and student demographic data for each student including special education data maintained in eSchool PLUS, is captured twice daily at 11:30 a.m. and 11:30 p.m. and loaded into Unit Count PLUS which automatically generates enrollment, units, and district-level position allotments.
    All IEP information entered into IEP PLUS is integrated into eSchool PLUS as scheduled by the individual district/charter school and then captured twice daily along with enrollment and student demographic data for each student at 11:30 a.m. and 11:30 p.m. and loaded into Unit Count PLUS.
    Unit Count PLUS calculates occupational-vocational units based on the schedules for students who are enrolled in state-approved Career and Technical Education (CTE) Program courses.  After the Unit Count process is complete, the district/charter school’s Unit Count Coordinator is required to submit to the signed and dated Needs Based Detail by School Report for all schools in their district/charter school and the signed and dated cover letter to the State Unit Count Coordinator by the designated deadline. Each building administrator is required to generate the eSchool PLUS Full Student Register (FSR) Attendance report. This report is signed and dated by the building administrators and placed in the school’s audit file as verification of student attendance during the last 10 school days of September for student’s counted in the September 30th Unit Count..
    The Unit Count process is performed at the school district level and starts when a student is enrolled in a district and his o her information is entered into eSchool PLUS. System access is controlled through a user file. District and charter school staff are assigned access rights either at the school level or both the district and school levels. The required Unit Count calculations prescribed by 14 Del. C. §1703(a) are preloaded into the system. Provided the formula is coded correctly in the system, this process will help ensure the mathematical accuracy of the Unit Count calculation. Once the Unit Count process starts, the following events occur:
     
    Enrollment and student demographic data for each student, including special education data maintained in eSchool PLUS, is captured twice daily at 11:30 a.m. and 11:30 p.m.This data is then loaded into Unit Count PLUS, which automatically generates enrollment, units, and district-level position allotments.
     
    All IEP information entered into IEP PLUS is integrated into eSchool PLUS as scheduled by the individual district/charter school and then captured twice daily, along with enrollment and student demographic data for each student, at 11:30 a.m. and 11:30 p.m.The IEP information is then loaded into Unit Count PLUS.After the Unit Count process is complete, the district/charter school’s Unit Count Coordinator is required to submit both the signed and dated cover letter, and the signed and dated Needs Based Detail by School Report for all schools in their district/charter school to the State Unit Count Coordinator by the designated deadline. Each building administrator is required to generate the eSchool PLUS Full Student Register (FSR) Attendance report. This report is signed and dated by the building administrators and placed in the school’s comprehensive enrollment file as verification of student attendance during the last 10 school days of September. After all reports are received and reviewed by the Unit Count Coordinator, the Secretary of Education certifies the Unit Count. Certification occurs in November.
    How is Funding Received?
    There are three primary state funding types received by public school districts and charter schools as a result of units generated through the September 30th
    Unit Count. The categories are Division I (Salaries and Benefits), Division II (All-Other Costs and Energy), and Division III (Equalization).
    Division I Salaries and Benefits)
    Division I funding pays the state share of salary and benefits. It is intended to provide approximately 70% of a teacher’s salary with the balance provided by local funds. Division I units generate authorized positions yielding from various formulas for teachers,administrators, and instructional staff.“Table 1” below, shows teachers that are earned per a prescribed number of pupils counted in each funding needs category...
    table-1-kathleen
    How are Units Calculated?

    Delaware Code mandates how units are earned based on the funding needs category and the number of pupils in attendance during Unit Count. The units earned are also used to calculate the number of administrators and other instructional staff earned. Table 1 below shows teacher units that are earned per a prescribed number of pupils counted in each funding needs category.

    table-1-tom

“Table 2” below provides examples of other administrative and instructional positions that are generated based on the total number of units counted..

table-2-kathleentable-2-kathleen-2

Table 2 below provides examples of other administrative and instructional positions that are generated based on the total number of units earned….

table-2-tom

CTE Programs are also funded based on the September 30th Unit Count and result in corresponding occupational-vocational units. Delaware CTE Programs include, but are not limited to, Agriscience, Business Finance and Marketing, Family and Consumer Sciences, and Skilled and Technical Sciences.For New Castle County Vocational Technical School District, Polytech School District, and Sussex Technical School District, every 30 students enrolled equals one occupational-vocational unit. For reorganized school districts and charter schools, occupational-vocational units are based on the minutes per week a pupil is provided an approved CTE Program.

 

Occupational-vocational units are also calculated in Unit Count PLUS based on the schedules for students who are enrolled in state-approved Career and Technical Education (CTE) Program courses. Delaware CTE Programs include, but are not limited to, Agriscience, Business Finance and Marketing, Family and Consumer Sciences, and Skilled and Technical Sciences.Because New Castle County Vocational Technical School District, Polytech School District, and Sussex Technical School District are vocational school districts, every 30 students enrolled earns one occupational-vocational unit. For all other districts and charters, occupational-vocational units are based on the minutes per week a pupil is provided an approved CTE Program.

Charter Schools

Students enrolled in a charter school and included in the charter school’s unit count must be listed on the enrollment roster within Unit Count PLUS. The roster provides the basis for transferring local funds attached to students who are enrolled in and are attending a charter school. Additionally, this roster serves as an audit trail….

 

How is Funding Received?
There are three primary state funding types received by public school districts and charter schools as a result of the units earned through the September 30th Unit Count:
Division I(Salaries and Benefits), Division II (All-Other Costs and Energy), and Division III(Equalization). 
Division I (Salaries and Benefits), Division I funding pays the state share of salary and benefits. It is intended to provide approximately 70% of an employee’s salary with the balance provided by local funds.
 Division II (All Other Costs and Energy)
 Division II funding, which consists of All-Other Costs (AOC) and Energy, is calculated based on the number of units earned. AOC funding provides resources for the classroom which include textbooks, furniture, and other classroom equipment. Energy funds pay to heat and cool school buildings.The unit values of AOC and Energy are approved annually in the Operation Budget Bill.For FY 2016, school districts and  charter schools will receive $2,925 for each AOC Unit and $2,435 for each Energy Unit. For example, for every 100 units, the school district or charter school would receive $292,500 for AOC and $243,500 for Energy.
Division III (Equalization)
Division III funding, referred to as equalization funding, attempts to balance the disparity in funding received by districts as a result of disproportionate property values.Equalization is intended to ensure that each district has substantially the same level of resources with which to educate each student. School districts receive varying amounts based on a complex tax effort formula that takes into consideration the property wealth of a district compared to the State average property wealth, as well as the district’s tax effort, or willingness of the district’s citizens to accept higher tax rates. The Equalization Policy Committee was established in 1989 to review the formula annually and make recommendations as needed. Upon completion of the calculation, total state equalization shall be computed by multiplying the State’s share per unit times the number of units of pupils enrolled in the district or charter in the fiscal year for which the Division III funds are appropriated. Division III funding is discretional and may be used by school districts for virtually any legal purpose.


It is important to note that Tom juggled the order considerably here and Kathleen’s Charter school paragraph disappeared completely… 

 

Division II All-Other Costs and Energy)
 
Division II funding consists of All Other Costs (AOC) and Energy. AOC funding provides resources for the classroom which include textbooks, furniture, and other classroom equipment. Energy funds pay to heat and cool school buildings. Earned Division II Vocational AOC funds provide resources to CTE programs. The unit values of AOC and Energy are approved annually in the Operation Budget Bill. For FY 2016,school districts and charter schools will receive $2,925 for each AOC Unit and $2,435 for each Energy Unit.
For example, for every 100 units, the school district or charter school would receive $292,500 for AOC and $243,500 for Energy.
Division III Equalization)
Division III funding, referred to as equalization funding, attempts to balance the disparity in funding received by districts as a result of disproportionate property values. Equalization is intended to ensure that each district has substantially the same level of resources with which to educate each student. School districts receive varying amounts based on a complex tax effort formula that takes into consideration the property wealth of a district compared to the State average property wealth, as well as the district’s tax effort, or willingness of the district’s citizens to accept higher tax rates. The Equalization Policy Committee was established in 1989 to review the formula annually and make recommendations as needed. Upon completion of the calculation, total state equalization shall be computed by multiplying the State’s share per unit times the number of units of pupils enrolled in the school district, the vocational school district, or the special school in the fiscal year for which the Division III funds are appropriated. Division III funding is discretional and may be used by school districts for virtually any purpose….

 

School Funding and Appropriation

Since the Unit Count is not finalized until after the school year begins, DOE performs preliminary calculations in June of each year, and OMB preloads a portion of Division I, II, and III funds for the beginning of the fiscal year. These funds are not available until the beginning of the new fiscal year. DOE monitors Division I funds and OMB will transfer funding over to meet salary and benefit needs as necessary. After the November certification of the Unit Count by the Secretary of Education, the remaining Division II and Division III funds are transferred to the school districts by OMB.If, after the units are certified a student is disqualified through the auditing process from the Unit Count, the units will be recalculated without that student. Another eligible student shall not be substituted for the disqualified student. A student who has been identified as special education and is receiving special education services that is disqualified from the Unit Count due to irregularities contained within supporting documentation may be included in the regular enrollment category provided the student meets eligibility requirements. Only a student disqualified by the audit process may be reassigned to another unit category. In no event can this adjustment result in a net increase in units for a district. Out-of-state children whose parent or legal guardian is employed on a full-time basis by any reorganized school district may attend school in the district where the parent or guardian is employed during the period of the parent or guardian’s employment upon written approval of the receiving district and payment of tuition if charged by the district. Such children may not be included in the September 30th Unit Count for state funding purposes.Student dependents of military and civilian Department of Defense (DOD) personnel who reside in Dover Air Force Base housing who enroll in a district through the Choice program or in a charter school must be reported by the receiving district/charter school to the Caesar Rodney School District (CRSD). Federal funds covering educational services for these students would then be transferred by the CRSD to the State to cover state costs associated with their education and to the receiving district to cover local costs.

 

School Funding and Appropriation
Since the Unit Count is not finalized until after the school year begins, DOE performs preliminary calculations in June of each year, and OMB preloads a portion of Division I, II, and III funds at the beginning of the new fiscal year. DOE and OMB continuously monitor Division I funds and OMB will transfer funding over to meet salary and benefit needs as necessary. After the November certification of the Unit Count by the Secretary of Education, the remaining Division II and Division III funds are transferred to the school districts by OMB, through DOE.If, after the units are certified, a student is disqualified through a Unit Count audit by the State Auditor, the units will be recalculated without that student. Another eligible student shall not be substituted for the disqualified student. A student who has been identified as special education and is receiving special education services that is disqualified from the Unit Count due to irregularities contained within supporting documentation may be included in the regular enrollment category provided the student meets eligibility requirements. Only a student disqualified by the audit process may be reassigned to another unit category. In no event can this adjustment result in a net increase in units for a district. Out-of-state children whose parent or legal guardian is employed on a full-time basis by any school district may attend school in the district where the parent or guardian is employed during the period of the parent or guardian’s employment upon written approval of the receiving district and payment of tuition, if charged by the district. Such children may not be included in the September 30th Unit Count for state funding purposes.Student dependents of military and civilian Department of Defense (DOD) personnel who reside in Dover  Air Force Base housing and are enrolled in a district through the School Choice program or in a charter school must be reported by the receiving district/charter school to the Caesar Rodney School District (CRSD). Federal funds covering educational services for these students are then transferred by the CRSD to the State to cover state costs associated with their education and to the receiving district to cover local costs.
DOE Special Education Monitoring
The DOE is authorized by Title 14 of the Delaware Code to adopt rules and procedures to administer and authenticate the count of children with disabilities as outlined in Chapter 17, Title 14 of the Delaware Code. The DOE conducts verification processes to ensure districts and charter schools report students in special education units in a manner consistent with 14 Del. C.§1703 and 14 DE Admin Code Section 928 and 701. The number of special education units reported by the districts and charter schools in 2015 will be compared to the number reported in 2014. If 5% more or less units in a category are reported between 2014 and 2015, the DOE shall: 
 
  • Contact the district/charter school and request a written explanation for the increase or decrease in units reported, and/or; 
  • Conduct a formal audit of the units reported by the district/charter school. The audit may include, but is not limited to, on-site record reviews, as well as classroom observations,and/or interviews with teachers, administrators, related service providers, and other school staff.
 
DOE currently conducts on-site compliance monitoring of each district and charter school on a five year rotating cycle. The districts and charter schools monitored by the DOE during the 2015-2016 school year will also be included in a verification process to ensure the proper count of children with disabilities are reported. If DOE receives any information indicating the erroneous reporting of special education units, the DOE may conduct a verification process, and/or refer the matter to the State Auditor and other agencies required by law.
The DOE is authorized by the Delaware Code to request financial reports or other information deemed necessary from districts and charter schools to ensure the appropriate use of units earned. Districts and charter schools are required to provide reports and information as requested by DOE.
The Delaware Code requires school districts and charter schools to count students with disabilities in Needs Based Funding Units based on the individual needs of each student. At the completion of the IEP team meeting, the team (which includes parents or guardians) must discuss and review the needs based funding unit as it relates to the adequacy of resources to implement the program and placement outlines in the IEP. The review and discussion should occur at least once a year,and may coincide with the IEP team’s annual review of the child’s IEP. DOE can report information to the State Auditor of Accounts and take any additional actions required by law.


DOE Special Education Monitoring

DOE is authorized by Title 14 of the Delaware Code to adopt rules and procedures to administer and authenticate the count of children with disabilities as outlined in Chapter 17, Title 14 of the Delaware Code. DOE conducts verification processes to ensure districts and charter schools report students in special education units in a manner consistent with 14 Del. C. §1703 and 14 DE Admin. Code Section 928 and 701. The number of special education units reported by the districts and charter schools in 2015 will be compared to the number reported in 2014. If 5% more or less units in a category are reported between 2014 and 2015, DOE shall: 

  • Contact the district/charter school and request a written explanation for the increase or decrease in units reported, and/or;
  • Conduct a formal audit of the units reported by the district/charter school. The audit may include, but is not limited to, on-site record reviews, as well as classroom observations,and/or interviews with teachers, administrators, related service providers, and other school staff.  
    DOE currently conducts on-site compliance monitoring of each district and charter school on a five year rotating cycle. The districts and charter schools monitored by DOE during the 2015-2016 school year will also be included in a verification process to ensure the proper count of children with disabilities are reported.  If DOE receives any information indicating the erroneous reporting of special education units, DOE may conduct a verification process, and/or refer the matter to the State Auditor and other agencies as required by law.
    DOE is authorized by the Delaware Code to request financial reports or other information deemed necessary from districts and charter schools to ensure the appropriate use of units earned. Districts and charter schools are required to comply.
    The Delaware Code requires school districts and charter schools to count students with disabilities in needs based funding categories based on the individual needs of each student. At the completion of the IEP team meeting, the team, which includes parents or guardians, must discuss and review the needs based funding category as it relates to the adequacy of resources to implement the IEP. The review and discussion should occur  at least once a year, and may coincide with the IEP team’s annual review of the child’s IEP. DOE can report information to the State Auditor and take any additional actions required by law…..


    DOE Staffing
    The State Education Associate, Unit Count Coordinator plays an integral role in the Unit Count process and is the primary point of contact for all districts and charter schools. The Unit Count Coordinator’s responsibilities are not limited to the Unit Count process, and include the following: 
  • April 1st  Charter Enrollment  
  • Estimated Unit Count  
  • May 1st  Charter Enrollment & Unit Allotment  
  • September 30th Unit Count  
  • Unit Count Training Statewide School Choice Coordinator (policies and procedures and applications and forms development and maintenance) 
  • Non-public Schools’ Coordinator (Policies and procedures
  • Charter Closures (relocation of active students to their new schools, fulfill records request and send student cumulative folders to their new school) 
  • Statewide School Profiles Coordinator (August release, October release, January release, April release)

    The State Education Associate, School Accounts performs necessary duties to load the funds into accounts for the school districts. This role includes:

    *Allocate and oversee the administration of state school funds generated as part of the Unit Count process, which includes completing the template to preload money into district accounts in June.

    *Converting Division II and III units into dollars after the Unit Count is certified..
    *Making adjustments as necessary based off further review 
    The Director of Exceptional Children Resources performs duties involving Special Education including:
    *Statewide monitoring of Special Education
    *Overseeing the State of Delaware’s compliance with the Individuals with Disabilities Education Act by monitoring various performance indicators….
DOE Staffing
The State Education Associate Unit Count Coordinator plays an integral role in the Unit Count process and is the primary point of contact for all districts and charter schools. The Unit Count Coordinator’s responsibilities are not limited to the Unit Count process, and include the following:
 
  • April 1st Charter Enrollment,
  • Estimated Unit Count,
  • May 1st Charter Enrollment & Unit Allotment,
  • September 30th Unit Count,
  • Unit Count Training.
  • Statewide School Choice Coordinator (policies and procedures, applications, and forms development and maintenance),
  • Non-public Schools’ Coordinator (policies and procedures),
  • Charter Closures (relocation of active students to their new schools, fulfill records request, and send student cumulative folders to their new school), and…
  • Statewide School Profiles Coordinator (August release, October release, January release,April release).
The School Accounts State Education Associate performs necessary duties to load the funds into accounts for the school districts. This role includes:
  • Allocating and overseeing the administration of state school funds generated as part of the Unit Count process, which includes completing the template to preload money into district accounts in June,
  • Converting Division II and III units into dollars after the Unit Count is certified, and
  • Making adjustments as necessary based off further review.
 
 The Director of Exceptional Children Resources performs duties involving Special Education including:
  • Monitoring of statewide Special Education, and
  • Overseeing the State’s compliance with the Individuals with Disabilities Education Act(IDEA) by monitoring various performance indicators….


Early Admission to Kindergarten
 A child entering kindergarten must be age 5 on or before August 31st  of the respective year. The DOE decided that early admission to kindergarten for gifted students should be determined by professionally qualified persons and the local district’s assessment of the best interest of the child. All districts and charter schools must be able to demonstrate through documentation that these students are “gifted and talented”. Documentation as to how these students were determined to be “gifted and talented” should be aligned with 14 Del. C. §2702(b) and should be included in the district/charter school’s Unit Count audit file.
Funding for charter schools is limited to students lawfully enrolled in grades K through 12 as the charter school may be approved to operate. Charter schools shall not include any Pre-K students in their enrollment for Unit Count purposes.
Unit Count Training
Unit Count Training is provided by DOE to all school districts and charter schools every year.During the training, the State Unit Count Coordinator reviews the Unit Count process and highlights any changes from the previous year. Reference materials and guides are provided on the DOE website and are available after training for all school districts and charter schools to access.Unit Count Training is highly encouraged but is not mandatory….

 

Early Admission to Kindergarten
A child entering kindergarten must be age 5 on or before August 31st of the respective year. The law states that early admission tkindergarten for gifted students should be determined by professionally qualified persons and the local district’s assessment of the best interest of the child.
All districts and charter schools must be able to demonstrate through documentation that these students are “gifted and talented.” Documentation as to how these students were determined to be “gifted and talented” should be aligned with 14 Del. C. §2702(b) and should be included in the district/charter school’s Unit Count comprehensive enrollment file.Funding for charter schools is limited to students lawfully enrolled in grades K through 12 as the charter school may be approved to operate. Unlike the districts, charter schools shall not include any Pre-K students in their enrollment for Unit Count purposes.
Unit Count Training

Unit Count Training is provided by DOE to all school districts and charter schools every year.During the training, the State Unit Count Coordinator reviews the Unit Count process and highlights any changes from the previous year. Reference materials and guides are provided on the DOE website after the training. Unit Count Training is highly encouraged but is not mandatory.

 

PROCEDURES AND RESULTS
 
Procedures and Results
In 2008, DOE converted from a manual Unit Count process to an automated process using the eSchool PLUS environment. In 2011, DOE implemented IMS Unit Count PLUS in response to the Needs Based Funding law changes. Unit Count PLUS integrates with eSchool PLUS and calculates the units earned by funding needs categories as described in the background of this report. 
While the implementation of this system reduced the risk of funding calculation errors and moved the environment from a highly manual to a more automated process, there is still a need to ensure that units as reported in the system are valid, properly classified, and supported. A portion of this process is, and will continue to be, reliant on key manual processes. The processes must have structure that supports validity and accuracy of the Unit Count that drives three major categories, Division I, II, and III, of funding.

Our audit concentrated on analyzing the reliability and sufficiency of processes that can result in the incorrect funding based on ineligible student enrollment. The work is intended to supplement the audit coverage already obtained through the annual Statewide Comprehensive Annual Financial Report and the Statewide Single Audit.

PROCEDURES AND RESULTS

In 2008, DOE converted from a manual Unit Count process to an automated process using the eSchool PLUS environment. In 2011, DOE implemented Unit Count PLUS in response to the Needs Based Funding law changes. Unit Count PLUS integrates with eSchool PLUS and calculates the units earned by funding needs categories as described in the background of this report. 

While the 2011 implementation of Unit Count PLUS, as described in the background section, reduced the risk of funding calculation errors and moved the environment from a highly manual to a more automated process, there is still a need to ensure that units as reported in the system are valid, properly classified, and supported. A portion of this process is, and will continue to be, reliant on key manual processes. It is critical that these processes support the validity and accuracy of the Unit Count and the subsequent Division I, II, and III funding.
Our inspection concentrated on analyzing the reliability and sufficiency of processes that can result in incorrect funding based on ineligible student enrollment.
NEED FOR MANAGEMENT’S PARTICIPATION IN KEY OPERATIONAL ACTIVITIES
Innovative Schools
Management’s responsibilities under the Committee of Sponsoring Organizations of the Treadway Commission (COSO) includes, but is not limited to, establishing, with board oversight, structures, reporting lines, and appropriate authorities and responsibilities in the pursuit of the organization’s objectives.
AOA expected personnel from the schools that were trained in Unit Count Procedures to handle communication throughout the engagement. However, during the initial correspondence for the audit, we noticed that Innovative Schools Project Manager and many of her colleagues were the main points of contact for several of the charter schools during the Unit Count. While Innovative Schools could serve to support management in operational processes, the charter schools should not delegate their responsibilities.
Many of the charter schools use Innovative Schools as their Charter Management Organization(CMO). Innovative Schools is a non-profit resource center for Delaware public schools. It serves as a local intermediary for the State of Delaware, and acts as an on-the-ground partner to public schools located within the State. According to Innovative Schools, they research highly successful programs countrywide that align with the State’s initiatives. Innovative Schools works directly with schools to implement these programs efficiently and effectively. Innovative Schools supports the State’s public schools through programs offered in three divisions:

 

  • Innovative School Models that embody modern ways of teaching and learning that have been replicated successfully in public schools across the country.
  •  Innovative School Staffing to ensure that schools have a reliable source of leaders and teachers trained to lead and inspire modern schooling.
  •  Innovative School Solutions to streamline school administrative functions, allowing more dollars to be directed to the classroom. Contracting for services does not relieve Management at a charter school from its responsibilities under COSO. If Management delegates its roles and responsibilities to perform key functions,they are directly responsible for the outcome. Further, Management is required to perform monitoring activities that will help evaluate and communicate internal control deficiencies.
Lack of Entrance Conference Participation
To initiate the audit, AOA scheduled an entrance conference for the districts and a separate one for the charter schools. The entrance conference, that included arrangement for a teleconference option, was to inform the Superintendents/Charter School Heads and Unit Count personnel of the audit plan. There was a lack of attendance and involvement from both the district and charter schools with regards to the entrance conference. 
AOA would have expected those districts and charter schools who were unable to attend the teleconference to respond requesting an additional meeting or details; however, this did not occur.Lack of entrance conference participation alone does not represent a major finding; however, such inattentiveness may have contributed to various weaknesses identified throughout the report. 
Of the 19 School Districts, Appoquinimink and Colonial School Districts were not represented during the entrance conference. Fourteen of the 27 charter schools (52%) did not have representation during the entrance conference. Of those 14, three of the schools below permitted four Innovative Schools representatives to participate on their behalf. The charter schools that did not participate are as follows:
 
  •  Academia Antonia Alonso 
  •  Academy of Dover 
  • Charter School of Wilmington 
  • Delaware Academy of Public Safety and Security 
  • Delaware College Preparatory Academy 
  • Delaware Military Academy 
  • Early College High School at DSU 
  • EastSide Charter School 
  • Family Foundations Academy 
  • Gateway Lab School 
  • Great Oaks Charter School
  • Odyssey Charter School
  • Prestige Academy 
  • Thomas Edison Charter School

 

NEED FOR MANAGEMENT’S PARTICIPATION IN KEY OPERATIONAL ACTIVITIES
Low Entrance Conference Participation
At the onset of the engagement, the Office of the Auditor of Accounts (AOA) held entrance conferences with the districts and charter schools to inform the Superintendents, Charter School Heads, and Unit Count personnel of our work. Despite the teleconference arrangement offered, there was a lack of participation from several districts and charter schools. While low participation alone does not represent a major concern, such inattentiveness may have contributed to various weaknesses identified throughout the report.Of the 19 school districts, Appoquinimink and Colonial School Districts were not represented during the entrance conference. Fourteen of the 27 charter schools (52%) also did not have representation during the entrance conference. Of those 14, three of the schools below permitted Innovative Schools representatives to participate on their behalf. The charter schools that did not directly participate are as follows:
  • Academia Antonia Alonso
  • Academy of Dover 
  • Charter School of Wilmington 
  • Delaware Academy of Public Safety and Security 
  • Delaware College Preparatory Academy 
  • Delaware Military Academy 
  • Early College High School at DSU 
  • East Side Charter School 
  • Family Foundations Academy
  • Gateway Lab School 
  • Great Oaks Charter School 
  • Odyssey Charter School
  • Prestige Academy
  • Thomas Edison Charter School
 Innovative Schools
Many of the charter schools use Innovative Schools as their Charter Management Organization(CMO). Innovative Schools is a non-profit resource center for Delaware public schools. It serves as a local intermediary for the State of Delaware, and acts as an on-the-ground partner to public schools located within the State. According to Innovative Schools, they research highly successful programs countrywide that align with the State’s initiatives. Innovative Schools works directly with schools to implement these programs efficiently and effectively. Innovative Schools provides education and staffing support and also administrative functions to these schools. 

AOA expected school personnel trained in Unit Count procedures to handle communication throughout the engagement. However, we found that the Innovative Schools Project Manager and many of her colleagues were the main points of contact for several of the charter schools during the Unit Count. While Innovative Schools could serve to support management in operational processes, the charter schools are still directly responsible for the outcome. Any delegation of roles and responsibilities to perform key functions must be closely monitored and authorized by management.

 

FAILURE TO DEVELOP AND IMPLEMENT WRITTEN POLICY PROCEDURES

 

DOE, in their Unit Count training, indicated that all districts and charter schools should have a set of policies and procedures specific to the Unit Count process that notates roles and responsibilities. Hence, on October 5, 2015, we requested policies and procedures from all school districts and charter schools. AOA found the following districts and charter schools conducted their Unit Count without an individualized Policy and Procedure Manual:

 

  • Laurel School District
  • Academia Antonia Alonso
  • Delaware Design Lab High School
  • Early College High School at DSU 
  • First State Military Academy
  • Freire Charter School 
  • Gateway Lab School 
  • Great Oaks Charter School 
  • Odyssey Charter School 
  • The Delaware Met 
  • Thomas Edison Charter School 

All districts and charter schools should follow DOE instructions regarding school specific Unit Count Manuals. These manuals should consider all aspects of COSO. Further, AOA has discussed with DOE including this as a requirement in the DOE Unit Count Manual in addition to the communication already provided in DOE’s training. Many of the issues identified throughout the report could be resolved in part by developing individualized Policy and Procedure Manuals.

FAILURE TO DEVELOP AND IMPLEMENT WRITTEN POLICY PROCEDURES

DOE, in their Unit Count Training, indicated that all districts and charter schools should have a set of policies and procedures specific to the Unit Count process that notates roles and responsibilities. As such, AOA requested policies and procedures from all school districts and charter schools. We found the following districts and charter schools conducted their Unit Count without a policy and procedure manual specific to their operations: 
  • Laurel School District 
  • Academia Antonia Alonso 
  • Delaware Design Lab High School 
  • Early College High School at DSU 
  • First State Military Academy 
  • Freire Charter School 
  • Gateway Lab School 
  • Great Oaks Charter School 
  • Odyssey Charter School
  • The Delaware Met
  • Thomas Edison Charter School

All districts and charter schools should follow DOE instructions regarding school specific Unit Count manuals. Further, AOA has discussed with DOE including this as a requirement in the  DOE Unit Count Regulations Manual in addition to the communication already provided in DOE’s training.

SCHOOL UNIT COUNT PERSONNEL INEFFECTIVENESS

As is done each year, Unit Count Training was offered by DOE on July 21, 2015, to all districts and charter schools. All School Unit Count Coordinators, in addition to anyone working in a position that supports the Unit Count process, are encouraged to attend this training. In addition, AOA was able to observe the significant amount of support and coaching provided to the schools regarding the Unit Count process, which can be complex and tedious. 
AOA performed procedures to verify there was representation by all of the districts and charter schools. Throughout the engagement, AOA determined that many of the Unit Count duties are not necessarily handled by the Unit Count Coordinators. Some duties are delegated to individuals who did not attend the training and are unfamiliar with the Unit Count process. It was not uncommon for those directly charged with Unit Count responsibilities to lack any knowledge about the existence of key reports, much less how to use those reports. The problem is further compounded in schools that lack Unit Count Manuals mentioned earlier in this report. 

Assigning Unit Count responsibilities to individuals without adequate training resulted in AOA’s request for FSRs being met with submissions that were blank, incomplete, and for the wrong timeframe. As a result, AOA had to make additional requests in order to receive correct documentation due to the following issues represented by “X” in “Table 3” below.table-3-kathleen

In addition to the previous recommendation on individual Unit Count Manuals, AOA recommends that districts and charter schools work to ensure all parties involved in the Unit Count process are aware of their respective responsibilities to promote effective internal controls and adequate continuity and cross training of Unit Count staff. Failure to follow through with these recommendations will result in continued operating inefficiencies, at the schools and DOE, and increase risk of errors and non-compliance.

UNTRAINED PERSONNEL

 

As is done each year, DOE offered Unit Count Training on July 21, 2015, to all districts and charter schools. All School Unit Count Coordinators, in addition to anyone working in a position that supports the Unit Count process, are encouraged to attend this training. In addition to the annual training, AOA observed the significant amount of support and coaching provided tothe schools regarding the Unit Count process, which can be complex and tedious. 
AOA verified whether all of the districts and charter schools were represented at the annual training. However, throughout our work, we found that many of the Unit Count duties are not necessarily handled by the Unit Count Coordinators who attend the training. Some duties are delegated to individuals who did not attend the training and are unfamiliar with the Unit Count process. AOA found instances in which those directly charged with Unit Count responsibilities were unfamiliar with key reports and their purpose.
Assigning Unit Count responsibilities to individuals without adequate training may have contributed to improper documentation generated during AOA’s initial documentation requests.For example, AOA’s request for FSRs included submissions that were blank, incomplete, and for the wrong time frame, as indicated by “X” in Table 3 below.
As a result, AOA had to make additional requests in order to receive correct documentation…
table-3-tom

AOA recommends that districts and charter schools work to ensure all parties involved in the Unit Count process are aware of their respective responsibilities and attend the annual training. Failure to follow through with these recommendations will increase the risk of errors and non-compliance….

ENROLLMENT AND UNIT COUNT ERRORS

Enrollment Review: Disallowances

In order to evaluate the reliability and sufficiency of the various processes that contribute to the annual Unit Count, AOA sampled 450 students statewide from 9 districts (27 schools) and 18 charter schools and compared the FSR Attendance reports to the Student Lists (Names Behind the Numbers) and conducted on site visits to substantiate enrollment. According to DOE’s Unit Count Regulations Manual and Unit Count Training materials, enrollment is defined as “…unless there is reason to believe that a pupil’s attendance during the ten-day period (last 10 days of school in September) is fleeting or momentary, his/her presence in school for all or part of the 10 days effectively “enrolls” him/her as of the last day of September for the school year.” AOA used this criterion when evaluating attendance and found the criterion to lack a definition for “fleeting and momentary”. Since the criterion was very subjective, we worked closely with the DOE Unit Count Coordinator to evaluate attendance documentation.When on site, AOA found that the schools had no clear understanding of what constitutes “fleeting and momentary“and even voiced this concern to AOA. 

 
Through our review, AOA identified 9 students that were counted in the Unit Count that should be disallowed. Of the 9 disallowances identified, 4 students met the criterion of “fleeting and momentary”. Additionally, AOA found 4 students who were included in the Unit Count who never attended school for the current school year. Lastly, AOA identified one student who was enrolled in a distance learning program that does not meet the DOE Unit Count regulations Manual’s (Section 6.2) requirements for inclusion.
 
“Table 4” below provides specifics related to the 9 disallowances identified by AOA.table-4-kathleen

 Again, these 9 disallowances were derived from a sample; therefore, there could be additional“Fleeting & Momentary” and “No Show” students not identified during our audit. AOA recommends DOE take a firm position on repayment of funds relative to these disallowed students for FY 2016….

 

Enrollment Review: Disallowances
In order to evaluate the reliability and sufficiency of the various processes that contribute to the annual Unit Count, AOA reviewed 450 students statewide from 9 districts (27 schools) and 18 charter  schools. We compared the FSR Attendance reports from eSchool PLUS to the Student Lists and conducted on site visits to substantiate enrollment. According to DOE’s Unit Count Regulations Manual and Unit Count Training materials, enrollment is defined as “…unless there is reason to believe that a pupil’s attendance during the ten-day period (last 10 days of school in September) is fleeting or momentary, his/her presence in school for all or part of the 10 days effectively enrolls him/her as of the last day of September for the school year.” AOA used this criterion when evaluating attendance and found no clear definition for “fleeting and momentary.”Since the criterion was very subjective, we worked  closely with the DOE Unit Count Coordinator to evaluate attendance documentation… AOA also found that the schools had no clear understanding of what constitutes “fleeting and momentary” and many even voiced this concern to AOA.
Through our review, AOA identified 9 students counted in the Unit Count that should be disallowed. See Table 4 below. Of the 9 disallowances identified, 4 students met the criterion of“fleeting and momentary.” Additionally, AOA found 4 students included in the Unit Count who never attended school for the current school year. Lastly, AOA identified one student who was enrolled in a distance learning program that does not meet the
DOE Unit Count Regulations Manual’s (Section 6.2) requirements for inclusion.
.table-4-tom


Again, we did not review 100% of students enrolled in Delaware school districts and charter schools; therefore, there could be additional disallowances not identified during our work. AOA recommends DOE take a firm position on repayment of funds relative to these disallowed students for FY 2016.

(9 out of the 450 sample is 2%; if extrapolated to all Delaware’s children (136,027) that 2% would point to a problem of 2720 students for who we are paying who are not there…At $13,000 total cost per child, the combined total could be as high as $35 million dollars) –editor.

 

Enrollment Review: Lack of Attendance Verification

Delaware Academy of Public Safety and Security and Prestige Academy did not have a process to validate that teachers had entered attendance into eSchool PLUS. AOA was unable to determine if the lack of internal controls surrounding attendance during the Unit Count resulted in any errors at Delaware Academy of Public Safety and Security. Prestige Academy did disclose to AOA that there were known attendance issues that have since been rectified; however, AOA is unsure of any impact this may have had on the Unit Count.

 

Enrollment Review: Missing FSRs
As described in the Background section, each building administrator is required to generate the eSchool PLUS FSR attendance report. This report is signed and dated by the building administrators and placed in the school’s audit file as the school’s verification of student attendance..

Enrollment Review: Missing Documentation
As part of our attendance review, AOA reviewed documentation for attendance validation, excused absences (doctor excuses and parent notes), gradebooks, work samples, transfer documentation, homebound agreements, and outside agency agreements. Through our review we determined the following:
  • Gateway Lab and the Delaware Met failed to retain copies of notes for excused absences.
  • The Delaware Met failed to retain transfer documentation for transfer students.
Enrollment Review: Reporting Issues
During AOA’s review of attendance, we determined that the districts and charter schools are using various views in eSchool PLUS to produce attendance reports necessary for the Unit Count. It was discovered that there are various views available for running the FSR attendance reports in eSchool PLUS. Each view displays a variety of attendance information i.e. tardy –excused/unexcused, absence – excused/unexcused, Home Bound Instruction, Outside Agency,etc. AOA obtained the FSRs to corroborate the numbers submitted during the Unit Count.Upon reviewing the FSRs for each school, we noted several inconsistencies with the view selection. Some views were more descriptive than others. It was determined that no statewide eSchool PLUS Attendance View standard exists for running the FSR attendance report which can result in inaccurate data. As an example, Dunbar Elementary School submitted to DOE a FSR that only displayed excused absences. Since the FSR is reviewed by administrators and used to substantiate the students included in the Unit Count, it is critical that the most comprehensive view is used to demonstrate attendance. AOA would recommend that DOE specify which “view” the FSR is printed in when submitting for the September 30th Unit Count. 
During our review of the FSRs, AOA also noted reporting issues at Cape Henlopen High School and Delaware Academy of Public Safety and Security. Cape Henlopen High School failed to set a value for the max field in the Criteria Details page in eSchool PLUS, resulting in students being marked as absent for the whole day who were in fact only tardy. Delaware Academy of Public Safety and Security incorrectly coded two students as absent in eSchool PLUS instead of to an Outside Agency. Although these reporting errors had no impact on the end result of the Unit Count, there could potentially be other issues outside of our audit sample that could negatively impact the Unit Count.
Enrollment Review: Comprehensive Enrollment File

 During the attendance review, AOA also requested each school’s comprehensive enrollment file,often referred to as the “Unit Count Audit Binder”, as required per DE Admin. Code 701.

Throughout this process we found the level of organization of the enrollment files to be on various ends of the spectrum. Some schools, such as those schools from the Red Clay and Christina School Districts, were extremely organized, making the audit process very efficient. Other schools had an enrollment file that lacked certain items that would constitute a comprehensive enrollment file. These schools were able to piece together the requested documentation while AOA waited on site to review. Delaware Academy of Public Safety and Security claimed to maintain an audit file but was unable to provide AOA with one after multiple requests. The schools listed below were able to provide the requested documentation; however, the documentation was not kept in a“comprehensive enrollment file”.

  • Delaware College Preparatory Academy 
  • George Read Middle School 
  • Milford High School 
  • Providence Creek Academy 
  • Sussex Tech High School 
  • William Penn High School 
  • Wilmington Manor Elementary School 
A majority of the schools visited by AOA expressed concern about the vague requirements and were requesting feedback from AOA on what should be included in their enrollment file. AOA believes that inclusion of a “Unit Count Enrollment File Checklist” in the
DOE Regulations Manual would help to alleviate this issue.


 
Enrollment Review: Lack of Attendance Verification
 Delaware Academy of Public Safety and Security and Prestige Academy did not have a process to validate that teachers had entered attendance into eSchool PLUS. AOA was unable to determine if the lack of internal controls surrounding attendance during the Unit Count resulted in any errors at Delaware Academy of Public Safety and Security. Prestige Academy did disclose to AOA that there were known attendance issues that have since been rectified; however, AOA is unsure of any impact this may have had on the Unit Count.
 
Enrollment Review: Missing FSRs
As described in the Background section of this report, each building administrator is required to generate the eSchool PLUS FSR attendance report. This report is signed and dated by the building administrators and placed in the school’s comprehensive enrollment file as the school’s verification of student attendance during the last 10 school days of September. We found that 42 of the 45 schools we visited maintained this report in their comprehensive enrollment file. The remaining three schools, which included Delaware College Preparatory Academy, Family Foundations Academy, and Gateway Lab, were unable to provide AOA evidence that this step of the Unit Count was completed. AOA found the missing FSRs extremely alarming, as these reports are used to substantiate the entire Unit Count process.
Enrollment Review: Missing Documentation
As part of our enrollment review, AOA reviewed documentation for attendance validation, sucas signed teacher attendance sheets, checklists, the eSchool PLUS Missing Submissions Report, excused absences (doctor excuses and parent notes), gradebooks, work samples, transfer documentation, homebound agreements, and outside agency agreements. Through our review,we determined the following 
  • Gateway Lab and the Delaware Met failed to retain copies of notes for excused absences. 
  • Delaware Met failed to retain transfer documentation for transfer students.
Enrollment Review: Reporting Issues
During AOA’s review of attendance, we determined that there is no Statewide standard for how the FSR attendance report is generated in eSchool PLUS and, therefore, districts and charter schools are not consistently producing the attendance reports necessary for the Unit Count. AOA obtained the FSRs to corroborate the numbers submitted during the Unit Count and noted several inconsistencies with the report view selection. With the various views available for running the FSR attendance,we found that some views provided a variety of attendance information while others did not.
For example, Laurel School District’s Dunbar Elementary School submitted to DOE an FSR that only displayed excused absences but not unexcused absences. Since the FSR is reviewed by administrators and used to substantiate the students included in the Unit Count, AOA recommends that DOE specify which view will provide the most comprehensive view to demonstrate attendance.
During our review of the FSRs, AOA also noted reporting issues at Cape Henlopen High School and Delaware Academy of Public Safety and Security. Cape Henlopen High School failed to properly set a data field in eSchool PLUS, which resulted in students being marked as absent for the whole day who were in fact only tardy. Delaware Academy of Public Safety and Security incorrectly coded two students as absent instead of to an Outside Agency in eSchool PLUS.Although these reporting errors had no impact on the end result of the Unit Count, other issues may have occurred outside of our review that could negatively impact the Unit Count.
Enrollment Review: Comprehensive Enrollment File
During the enrollment review, AOA also requested each school’s comprehensive enrollment file,often referred to as the “Unit Count Audit Binder,” as required per DE Admin. Code 701.
Throughout this process, we found the organization of the enrollment files to be on various ends of the spectrum. Some schools, such as those schools from the Red Clay and Christina School Districts, were extremely organized, making our review very efficient. Other schools’ files lacked certain items that would constitute a comprehensive enrollment file.While the schools listed below were able to piece together the requested documentation, the documentation was not kept in a physical comprehensive enrollment file:
  • Delaware College Preparatory Academy
  • George Read Middle School, Colonial School District
  • Milford High School, Milford School District
  • Providence Creek Academy
  • Sussex Tech High School, Sussex County Vo-Technical School District
  • William Penn High School, Colonial School District
  • Wilmington Manor Elementary School, Colonial School District
Delaware Academy of Public Safety and Security claimed to maintain a comprehensive enrollment file but was unable to provide AOA with one after multiple requests. 
Unsupported Early Admission to Kindergarten
In the beginning stages of the audit, DOE expressed concerns of the abuse of the Early Admission to Kindergarten process. Prior to 2009, DOE was responsible for evaluating “gifted and talented”children, and according to DOE, in those years there were less than 10 Early Admissions to Kindergarten students across the entire State of Delaware. Charter schools are not allowed state funding for Pre-K, and AOA believes that some schools are using this process as a way to circumvent the system to receive state funding for children that normally would not be eligible to be counted in the September 30th Unit Count, and to also alleviate families of the responsibility of seeking daycare for underage children. 

AOA completed a statewide review of Early Admission to Kindergarten and determined that none of the school districts throughout the State had an Early Admissions to Kindergarten. However, four of the charter schools had a total of 28 Early Admission students as demonstrated in “Table 5” below.

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No standard assessment or scoring rubric currently exists for Early Admissions to Kindergarten in the State of Delaware. DOE allows each school district and charter school to develop their own assessment and requires only that assessments follow the guidelines of 14 Del. C. §3101(6) with supporting documents identified as Early Admission to Kindergarten. Specifically, the guidelines should follow:

 

14 Del. C. §3101(6)
(6) “Gifted or talented child” means a child in the chronological age group 4 through the end of the school year in which the child attains the age of 21 or until receipt of a regular high school diploma, whichever occurs first, who by virtue of certain outstanding abilities is capable of a high performance in an identified field. Such an individual, identified by professionally qualified persons, may require differentiated educational programs or services beyond those normally provided by the regular school program in order to realize that individual’s full contribution to self and society. A child capable of high performance as herein defined includes one with demonstrated achievement and/or potential ability in any of the following areas, singularly or in combination:
a. General intellectual ability;
b. Specific academic aptitude;
c. Creative or productive thinking;
d. Leadership ability;
e. Visual and performing arts ability;

f. Psychomotor ability.

 

Upon closer examination, AOA learned about various problems with the early admissions process at these charter schools and all 28 early admissions should be disqualified.
 
  • Two of the charter schools (EastSide and Family Foundations) had no standardized assessment or scoring rubric. 
  • EastSide and Family Foundations did not consistently perform the same evaluation for all Early Admissions. 
  • Kuumba was unable to provide any supporting documentation for the three students they included in the Unit Count and stated that any students admitted early were done so in error. 
  • Evaluation forms for EastSide and Family Foundations were labeled “Pre-K” even though charter schools are not permitted to include Pre-K students in their Unit Count enrollment. 
  • EastSide altered assessments to allow Early Admissions, see “Figure 1″ below. 
  • All evaluation forms prepared by Delaware College Preparatory Academy did not support Early Admissions, as there were various mathematical errors and the instructions on the evaluation forms were not followed. 
  • Family Foundations Academy publicized the incorrect final enrollment date of October 30th on their website instead of the August 31st deadline. See “Figure 2” below

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Despite all the time and effort on DOE’s part to support the schools through training and individual instructions on how to ensure proper Unit Counts, the lack of attention to adhering to funding guidelines for these four charter schools is disconcerting and demonstrates a disregard for their responsibilities to ensure fiscal accountability. AOA recommends DOE take a firm position on repayment of funds relative to these early admission students for FY 2016. Further, AOA has offered to review the prior two fiscal years in the area of Early Enrollment and report on the outcome….

 

Unsupported Early Admission to Kindergarten

In the beginning stages of our review, DOE expressed concerns regarding the potential abuse of the Early Admission to Kindergarten process. Prior to 2009, DOE was responsible for State of Delaware Statewide eSchool PLUS and Unit Count Inspection Procedures and Results evaluating “gifted and talented” children, and according to DOE, in those years, there were less than 10 Early Admission to Kindergarten students across the entire State of Delaware. Charter schools are not allowed state funding for Pre-K, and DOE believes that some schools may circumvent the system to receive state funding for children that normally would not be eligible to be counted in the September 30th

Unit Count, and to also alleviate families of the responsibility of seeking daycare for underage children. 

AOA completed a statewide review of Early Admission to Kindergarten and determined that no school districts throughout the State had any Early Admission to Kindergarten students.However, four of the charter schools had a total of 28 Early Admission students as demonstrated in Table 5 below. 

table-5-tom

Upon closer examination, AOA learned about various problems with the early admissions process at these charter schools and determined all 28 early admissions should be disqualified.
 
  • EastSide and Family Foundations had no standardized assessment or scoring rubric and,therefore, did not consistently perform the same evaluation for all early admissions.
  • Evaluation forms for EastSide and Family Foundations were labeled “Pre-K” even though charter schools are not permitted to include Pre-K students in their Unit Count enrollment. 
  • EastSide altered assessments to allow early admissions. See Figure 1 below. 
  • All evaluation forms prepared by Delaware College Preparatory Academy did not support early admissions, as there were various mathematical errors and the instructions on the evaluation forms were not followed. 
  • Family Foundations Academy publicized the incorrect final enrollment date of October30th on their website instead of the August 31st deadline. See Figure 2 below. 
  • Kuumba was unable to provide any supporting documentation for the three students included in the Unit Count and stated that any students admitted early were done so in error.

figure-1-kathleenfigure-2-kathleen

 

During our review, AOA determined that no standard assessment or scoring rubric currently exists for Early Admission to Kindergarten in the State of Delaware. DOE allows each school district and charter school to develop their own assessment and requires only that assessments follow the guidelines of 14 Del. C. §3101(6), with supporting documents identified as Early Admission to Kindergarten. 

AOA recommends DOE take a firm position on repayment of funds relative to these early admission students for FY 2016 and provide standard guidance or forms to ensure consistency.

DIVISION 1 FUNDING

Monitoring of Complex Funding Requirements                                                                         During planning of the engagement, DOE requested that AOA include procedures to verify the use of Division I funding. AOA requested documentation that DOE represented would demonstrate the districts’ and charter schools’ final application of Division I funds; this documentation was generally referred to as “staffing plans” by DOE. As the audit progressedDOE explained that, although not required of the districts and charter schools, the “staffing plan”should demonstrate that the units filled are consistent with the units earned per the Needs Based Position Entitlement Report.

During our review, we found broad variations in “staffing plan” submissions. Some schools were more detailed, while others lacked information to identify whose salary was being charged to specific Division I categories. It was very apparent that the reports did not consistently provide proof of a school’s process to ensure appropriate application of Division I funding, nor did DOE have a process to monitor this process throughout the funding period.

 

DOE insisted that AOA should perform procedures to reconcile the use of these funds because of their desire to learn if districts overcharge the State for Division I funding. Since performing reconciliation is a management function, AOA did not perform the reconciliation procedure. Had AOA spent the time on reconciling, it would have created an audit impairment. DOE’s request to have AOA identify overcharges through reconciliation procedures does not address the lack of monitoring that is needed to ensure funds are used appropriately and in accordance with regulations. This is a much broader issue than simply identifying overcharges.
Under Principle 10 Section 10.01 of the United States Government Accountability Office’s Standards for Internal Control, management should design control activities to achieve objectives and respond to risk. Management (management for the State includes both DOE and the districts and charter schools) should have control processes in place to mitigate the risks that Division I funding is not properly allocated in accordance with the Delaware Code.
 

AOA believes that DOE can play a significant role in establishing a requirement for a reconciliation process with a standardized format for reporting the results of the reconciliation. Additionally, we recommend that DOE monitor this process throughout the period to ensure appropriate funding and use of staffing is occurring.

 

DIVISION 1 FUNDING
Tracking of Complex Funding Requirements
During planning of the engagement, DOE requested that AOA include procedures to verify the use of Division I funding. AOA requested documentation that DOE represented would demonstrate the districts’ final application of Division I funds. This documentation was generally referred to as staffing plans by DOE. DOE explained that, although not required of the districts, the staffing plan should demonstrate that the units filled are consistent with the units earned per the Needs Based Position Entitlement Report.
During our review, we found broad variations in staffing plan submissions. Some districts wermore detailed, while others lacked information to identify whose salary was being charged to specific Division I categories. Due to the lack of a standardized template for staffing plans or reconciliations, AOA expressed concerns regarding the feasibility of completing review procedures.
At the suggestion of DOE, AOA attempted to perform procedures using the staffing plan submitted by Smyrna School District, which was a good example of a template that should be used for tracking the fulfillment of earned positions. Despite the amount of detail provided in Smyrna School District’s staffing plan, the reconciliation still took AOA more than 10 hours to complete. The reconciliation would not have been possible using the staffing plans from some of the other districts or charter schools due to the lack of detailed data in their submissions. 

AOA met with DOE post-review, and we have agreed to collaborate in the development of a template form that will be sent to the school districts and charter schools during AOA’s next review. A standardized format will better able AOA to review unit usage across the State.

DOE MONITORING

 

DOE Special Education Monitoring
As stated in the background section of this report, the DOE is authorized by Title 14 of the Delaware Code to adopt rules and procedures to administer and authenticate the count of children with disabilities as outlined in Chapter 17, Title 14 of the Delaware Code. The DOE conducts verification processes to ensure districts and charter schools report students in special education units in a manner consistent with 14 Del. C. §1703 and 14 DE Admin Code Section 928 and 701.The number of special education units reported by the districts and charter schools in 2015 will be compared to the number reported in 2014. If 5% more or less units in a category are reported between 2014 and 2015, the DOE shall:
Contact the district/charter school and request a written explanation for the increase or decrease in units reported, and/or;
 
Conduct a formal audit of the units reported by the district/charter school. The audit may include, but is not limited to, on-site record reviews, as well as classroom observations,and/or interviews with teachers, administrators, related service providers, and other school staff.
 
DOE currently conducts on-site compliance monitoring of each district and charter school on a five year rotating cycle. The districts and charter schools monitored by the DOE during the 2015-2016 school year will also be included in a verification process to ensure the proper count of children with disabilities are reported. If DOE receives any information indicating the erroneous reporting of special education units, the DOE may conduct a verification process, and/or refer the matter to the Office of Auditor of Accounts and other agencies required by law.
The DOE is authorized by the Delaware Code to request financial reports or other information deemed necessary from districts and charter schools to ensure the appropriate use of units earned. Districts and charter schools are required to provide reports and information as requested by DOE.
The Delaware Code requires school districts and charter schools to count students with disabilities in ‘Needs Based Funding’ units based on the individual needs of each student. At the completion of the IEP team meeting, the team (which includes parents or guardians) must discuss and review the ‘Needs Based Funding’ unit as it relates to the adequacy of resources to implement the program and placement outlined in the IEP. The review and discussion should occur at least once a year,and may coincide with the IEP team’s annual review of the child’s IEP. DOE can report information to the State Auditor of Accounts and take any additional actions required by law.
Statewide monitoring of Special Education, as detailed above, is performed by the Director of Exceptional Children Resources. The Director, along with her team, also verifies the compliance of the Individuals with Disabilities Education Act (IDEA). Each team member is assigned to monitor various annual performance indicators. 

Based on our review of processes used by DOE, we believe there is adequate monitoring in place to catch widespread abuse of special education units.

 

DOE MONITORING
 
 DOE Special Education Monitoring
 As stated in the background section of this report, DOE conducts verification processes and on-site monitoring to authenticate the count of children with disabilities and ensure districts and charter schools report students in special education units in a manner consistent with 14 Del. C.§1703 and 14 DE Admin. Code Section 928 and 701. The IEP team reviews the IEPs of special education students and discusses the needs based funding category as it relates to the adequacy of resources to implement the program and placement outlined in the IEP. 
Statewide monitoring of Special Education, as detailed in the background section, is performed by the Director of Exceptional Children Resources. The Director, along with her team, also verifies compliance with IDEA. Each team member is assigned to monitor various annual performance indicators.

Based on our review of DOE’s processes, we believe there is adequate monitoring in place to catch widespread abuse of special education units.

 

DOE Regular Education Monitoring
While DOE demonstrated a strong commitment to dedicating resources to Special Education monitoring as described in the previous section, we found that the same level of monitoring was not performed at DOE over Regular Education.
Most of the work involved with monitoring the Unit Count lies solely with the DOE Unit Count Coordinator. The Unit Count Coordinator not only has to conduct the annual Unit Count training, and monitor and assist with certifying the September 30th Unit Count, but also serves as the main point of contact for any issues/discrepancies post-Unit Count.
Given the extensive work associated with the Regular Education Unit Count, it would be beneficial and more efficient to have a DOE Unit Count team to assist the DOE Unit Count Coordinator in monitoring the regular education units. This team could assist in monitoring the staffing plans detailed in the Division I Funding Section of this report. While the Unit Count Coordinator is making every effort to perform monitoring as time permits, there are insufficient resources to commit to a formal process with regular monitoring for Regular Education.


DOE Regular Education Monitoring
While DOE demonstrated a strong commitment to dedicating resources to Special Education monitoring as described in the previous section, we found that the same level of resources was not available for Regular Education monitoring.
Most of the work involved with monitoring the Unit Count lies solely with the DOE Unit Count Coordinator. The Unit Count Coordinator not only has to conduct the annual Unit Count training, and monitor and assist with certifying the September 30th Unit Count, but she also serves as the main point of contact for any issues or discrepancies post-Unit Count.

Given the extensive work associated with the Regular Education Unit Count, it would be beneficial and more efficient to have a DOE Unit Count team to assist the DOE Unit Count Coordinator in monitoring the regular education units. While the Unit Count Coordinator is making every effort to perform monitoring as time permits, there are insufficient resources to commit formal monitoring for Regular Education.

 

UNIT COUNT ‘PLUS IT’ CONTROLS

 

Overall the internal controls surrounding Unit Count PLUS were aligned with the Information Systems Controls documented in FISCAM. However, we observed three areas for DOE’s consideration: 
  • The Unit Count PLUS Developer has no backup in Unit Count PLUS; he is the only one with access to the system, and in case of an emergency there is no one in place to seamlessly take over his role. 
  • There is no workflow approval in FogBugz; when changes need to be made, no one is reviewing and approving these changes. These changes should be reviewed for proper segregation of duties. 
  • There is no formal documentation regarding the use of Unit Count PLUS for the end user. Aside from generic information, there is no User Guide to help instruct someone on the use and development of the application, which could assist in continuity in the event of employee turnover.
 

UNIT COUNT ‘PLUS IT’ CONTROLS

During this engagement, we also reviewed the internal controls in place surrounding Unit Count PLUS to determine whether the controls were adequate and met the standards set forth in the Federal Information System Controls Audit Manual (FISCAM).

Overall, the internal controls surrounding Unit Count PLUS were aligned with the Information Systems Controls documented in FISCAM. However, we observed three areas for DOE’s consideration:
  • The Unit Count PLUS Developer has no backup in Unit Count PLUS; he is the only one with access to the system, and in case of an emergency there is no one in place toseamlessly take over his role. 
  • There is no workflow approval in FogBugz; when changes need to be made, no one is reviewing and approving these changes. These changes should be reviewed for proper segregation of duties. 
  • There is no formal documentation regarding the use of Unit Count PLUS for the end user. Aside from generic information, there is no User Guide to help instruct someone on the use and development of the application, which could assist in continuity in the event of employee turnover.

APPENDIX A
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APPENDIX  A
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APPENDIX B

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APPENDIX  B 

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APPENDIX  C

Delaware Code Requirements for Use of Earned Units

Each unit below is converted into state funds needed for a specific position’s salary applied to the category for that school year unless an exemption is elected by the district or school by following the guidelines below.

Once the district or charter school has decided which individual employee to assign to the unit, the state portion of salaries paid to employees is based on the State Salary Schedule outlined in 14 Del.C. ch. 13. The amount from the schedule is determined based on that specific employee’s position, years of experience, level of education, professional degrees, licenses and certifications held, number of months employed (10, 11, or 12), and types of students served (regular, basis,complex, intensive, etc.).
Hence, the need to identify and follow the application of a specific individual throughout the funding cycle is critical to ensure that the units filled are consistent with the units earned. Without such ongoing record keeping and monitoring, an employee could be charged to the unit but not be used in the appropriate capacity. 
We have extracted the specific funding requirements from the Delaware Code and have detailed them below to help elaborate on the complex funding requirements.
Preschool students
  • Earn 1 unit per 12.8 students
  • Funds must be used to support services for the students but are not limited to employing teachers only.
  • The funds may be used to hire preschool special education teachers, paraprofessionals,and speech and language pathologists, or other related services personnel as determined at the local level.
  • The units may also be used to secure contractual services.
K-3 students 
  • Earn 1 unit per 16.2 students 
  • At least 20% of teachers at the K-3 building level must be certified in the area of special education. 
  • 98% of the Division I units must be allocated to the schools that generated them. 
  • The school board can waive the 98% rule by a vote held at a public meeting.
4-12 Regular Education 
  • Earn 1 unit per 20 students 
  • 98% of the Division I units must be allocated to the schools that generated them 
  • The school board can waive the 98% rule by a vote held at a public meeting
4-12 Basic Special Education (Basic) 
  • Earn 1 unit per 8.4 students 
  • 98% of the Division I units must be allocated to the schools that generated them 
    The school board can waive the 98% rule by a vote held at a public meeting
  • All units generated by special education students are to be used for professional staff to support students with disabilities, to include special education teachers, school psychologists, speech/language pathologists, reading specialists, educational diagnosticians,counselors, class aides and social workers.
  • Districts are authorized to use up to 5% of the units for para-professionals or to cash them in for related services.
                               
Pre K-12 Intensive Special Education (Intensive
  • Earn 1 unit per 6 students 
  • 100% of the units must support the students that generate them. 
  • Used for special education teachers, school psychologists, speech/language pathologists,reading specialists, educational diagnosticians, counselors, class aides and social workers. 
  • Units may also be used to cash-in for other related services.
Pre K-12 Complex Special Education (Complex)
  • Earn 1 unit per 2.6 students
  • 100% of the units must support the students that generate them.
  • Used for special education teachers, school psychologists, speech/language pathologists,reading specialists, educational diagnosticians, counselors, class aides and social workers. 
  • Units may also be used to cash-in for other related services.

Academic excellence units (K-12) 

  • Each district earns 1 unit for each 250 students, grades K through 12 
  • Used for reading, communications skills, mathematics, science, social studies, elementary and secondary counseling, elementary and secondary foreign languages, elementary and secondary performing arts, elementary physical education, elementary music, elementary art, library services, career education in grades 7 and 8, paraprofessionals, programs for gifted and talented pupils, career placement counselors, programs for limited English proficient pupils, programs for children at risk as defined by the Department of Education,programs to promote improved school climate and discipline, intervention specialists,programs to provide additional time, and an athletic trainer. 
  • 30% of academic excellence units can be cashed-in at a rate of $35,000/unit
Related services units (K-12) 
1 unit for each 57 units of the K-3, 4-12 (regular education) and basic units. 
1 unit for each 5.5 units of the pre-K-12 intensive units. 
1 unit for each 3.0 units of the pre-K-12 complex units. 
Used for special services such as speech therapy, occupational therapy, physical therapy,early identification and assessment of disabilities, special counseling services,developmental, corrective or supportive services
12 month students (K-12) 
  • Programs for children with severe mental disabilities, autism, traumatic brain injury, deaf/blindness, or orthopedic disabilities 
  • State share calculated at 100% of complex units and 30% of intensive units earned 
  • Programs limited to 1,426 hours for students with autism and 1,282 hours for all other students

 

Occupational-Vocational Units (7-12)

  • 1 unit earned per 30 students
  • Only available to New Castle County Vo-Tech, Kent County Vo-Tech, and Sussex County Vo-Tech School Districts.

Students counted in occupational-vocational units shall be deducted from the regular unit using the formula: Occupational-vocational units x .5<equal sign>deductible units..

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APPENDIX  C 

Delaware Code Requirements for Use of Earned Units

Each unit below is converted into state funds needed for a specific position’s salary applied to the category for that school year unless an exemption is elected by the district or school by following the guidelines below.
Once the district or charter school has decided which individual employee to assign to the unit,the state portion of salaries paid to employees is based on the State Salary Schedule outlined in 14 Del.C. ch. 13. The amount from the schedule is determined based on that specific employee’s position, years of experience, level of education, professional degrees, licenses and certifications held, number of months employed (10, 11, or 12), and types of students served (regular, basis,complex, intensive, etc.).
Hence, the need to identify and follow the application of a specific individual throughout the funding cycle is critical to ensure that the units filled are consistent with the units earned.Without such ongoing record keeping and monitoring, an employee could be charged to the unit but not be used in the appropriate capacity.
We have extracted the specific funding requirements from the Delaware Code and have detailed them below to help elaborate on the complex funding requirements.
Preschool students
  • Earn 1 unit per 12.8 students
  • Funds must be used to support services for the students but are not limited to employing teachers only.
  • The funds may be used to hire preschool special education teachers, paraprofessionals,and speech and language pathologists, or other related services personnel as determined at the local level.
  • The units may also be used to secure contractual services.
K-3 students
  • Earn 1 unit per 16.2 students
  • At least 20% of teachers at the K-3 building level must be certified in the area of special education.
  • 98% of the Division I units must be allocated to the schools that generated them

The school board can waive the 98% rule by a vote held at a public meeting

4-12 Regular Education
  • Earn 1 unit per 20 students
  • 98% of the Division I units must be allocated to the schools that generated them
  • The school board can waive the 98% rule by a vote held at a public meeting
4-12 Basic Special Education (Basic)
  • Earn 1 unit per 8.4 students
  • 98% of the Division I units must be allocated to the schools that generated them
  • The school board can waive the 98% rule by a vote held at a public meeting
  • All units generated by special education students are to be used for professional staff to support students with disabilities, to include special education teachers, school psychologists, speech/language pathologists, reading specialists, educational diagnosticians, counselors, class aides and social workers.
  • Districts are authorized to use up to 5% of the units for para-professionals or to cash them in for related services.
Pre K-12 Intensive Special Education (Intensive)
  • Earn 1 unit per 6 students
  • 100% of the units must support the students that generate them.
  • Used for special education teachers, school psychologists, speech/language pathologists,reading specialists, educational diagnosticians, counselors, class aides and social workers.
  • Units may also be used to cash-in for other related services.
Pre K-12 Complex Special Education (Complex)
  • Earn 1 unit per 2.6 students
  • 100% of the units must support the students that generate them.
  • Used for special education teachers, school psychologists, speech/language pathologists,reading specialists, educational diagnosticians, counselors, class aides and social workers.
  • Units may also be used to cash-in for other related services.
Academic excellence units (K-12)
  • Each district earns 1 unit for each 250 students, grades K through 12
  • Used for reading, communications skills, mathematics, science, social studies, elementary and secondary counseling, elementary and secondary foreign languages, elementary and secondary performing arts, elementary physical education, elementary music, elementary art, library services, career education in grades 7 and 8, paraprofessionals, programs for gifted and talented pupils, career placement counselors, programs for limited English proficient pupils, programs for children at risk as defined by the Department of Education, programs to promote improved school climate and discipline, intervention specialists, programs to provide additional time, and an athletic trainer.
  • 30% of academic excellence units can be cashed-in at a rate of $35,000/unit
Related services units (K-12)
  • 1 unit for each 57 units of the K-3, 4-12 (regular education) and basic units.
  • 1 unit for each 5.5 units of the pre-K-12 intensive units.
  • 1 unit for each 3.0 units of the pre-K-12 complex units.
  • Used for special services such as speech therapy, occupational therapy, physical therapy,early identification and assessment of disabilities, special counseling services,developmental, corrective or supportive services.

 

12 month students (K-12)
  • Programs for children with severe mental disabilities, autism, traumatic brain injury,deaf/blindness, or orthopedic disabilities
  • State share calculated at 100% of complex units and 30% of intensive units earned
  • Programs limited to 1,426 hours for students with autism and 1,282 hours for all other students
Occupational-Vocational Units (7-12)
  • 1 unit earned per 30 students
  • Only available to New Castle County Vo-Tech, Kent County Vo-Tech, and Sussex County Vo-Tech School Districts.

Students counted in occupational-vocational units shall be deducted from the regular unit using the formula: Occupational-vocational units x .5 = deductible units
appendix-c1-tomappendix-c2-tom


(APPENDIX   D)  There is no appendix D in Kathleen’s report. This was added by Tom after he sent the audit report to schools audited and printed their responses )

APPENDIX   D

Management Responses

Appoquinimink School District’s Response

“Again, I object to the part about the entrance conference attendance. I request that you remove that whole section, or at least Appoquinimink’s name from it. I don’t believe I received any communication on the entrance conference in time to attend or send a representative. Not your fault or mine – our email system was acting flaky around that time.

(1) The purpose of an entrance conference is to discuss the objectives of an audit and define the scope. Attendance at the entrance conference therefore cannot possibly be within scope of the audit and that is defined formally during the conference. If this attendance is auditable, shouldn’t there have been a pre-entrance conference conference to tell us that physical or phone attendance at the entrance conference is within scope of the audit? This could be a finding if you were auditing entrance conference attendance for some engagement, but it has nothing to do with how districts and charters followed State law and regulation before this conference even occurred. There is absolutely no cause and effect relationship between attendance at an entrance conference and Unit Count/eSchool recordkeeping accuracy, internal controls, and compliance. If my school district failed to respond to auditor requests as a result of missing the meeting that is one thing, but that didn’t happen. As you reported, we had no adverse findings. 

(2) Your email of April 15, 2016 indicated the non-attendance at the entrance conference as an’observation,’ not a finding. Reading this report, it reads like a finding. It even appears in theWhat We Found’ section in the beginning of the report. Again, how can it be a ‘finding’ whenattendance at an audit entrance conference has nothing at all to do with compliance, internalcontrols, etc. in the unit count process?

Please consider removing the section on attendance at the entrance conference wherever itappears, or at least Appoquinimink’s name.”

AOA’s  Comment: 

AOA made a footnote reference in the report regarding the email system’s issues causing a delayed response that prevented the District from having representation at the entrance conference. The purpose of our audit report is to provide not only findings and recommendation but also the results of our work. Therefore, we reported our observation of the low entrance conference attendance. We agree, however, that inclusion of this observation in the “What We Found” section did make it appear like a finding, and we have removed that language

The Laurel School District Responce

“The Laurel School District does have a Unit Count Manual that includes procedures,regulations, guidelines, timelines, Unit Count policies, student rosters and additional documentation surrounding the annual Unit Count process. The district has maintained the same manual format since Needs Based Funding went into effect and has never received indication or instruction that the manual was not adequate. Indeed, there are no written requirements, regulations, or state code that stipulate the specific format or components of a Unit Count Manual. 14 DE Admin. Code, 700 Finance and Personnel, 701 Unit Count, Section 1.2 simply states ‘each school shall maintain September enrollment records in a manner which will allow for efficient enrollment audits by the Department of Education and the State Auditor of Accounts. At the end of September, each school shall assemble a comprehensive enrollment file that contains all necessary support materials to substantiate the enrollments reported.’ Thisafore mentioned criteria was met. The Laurel School District does not agree that there was a failure to develop and implement written policies and procedures.”AOA’s Comment The Laurel School District provided AOA with a copy of DOE’s Unit Count Regulations Manual, instead of District-specific policies and procedures as DOE instructed during annual Unit Count training.

AOA’s Comment
The Laurel School District provided AOA with a copy of DOE’s Unit Count Regulations Manual, instead of District-specific policies and procedures as DOE instructed during annual Unit Count training.
Academia Antonia Alonso Response: 
1. Written policies and procedures WERE in place, even though initially developed by Innovative Schools. I, the Operations Manager, was part of the manual review and Unit Count Training provided by Innovative Schools and was responsible for maintaining a system of effective internal controls – as evidenced by the comprehensive documentation provided in the Audit Files. Located in our Audit File Folder, was our binder of all audit manuals and instructions as well as policy and procedures. During the audit, the auditors asked for specific files, but never asked to see our Manual of Policy and Procedures. The manual/binder was and still is located in the folder (accordion style) in our office with our Administrative Assistant. A second manual is kept in my office (Operations Manager) as a back-up.
2. No reference was made in the report to the manuals that we did have, along with the evidence of a well-designed system of internal controls as evidenced in the Audit File. If auditors wanted to so note a more personalized approach in the manual, they should have so cited and not discount the comprehensive manual and evidence of internal controls in place in our school.
3. There is no noted documentation in the state regulations or policy manuals to require Unit Count Policies and Procedures be unique; nor is there citation that prevents Academia Antonia Alonso from receiving or contracting for assistance in developing policies and procedures.Contracted assistance is a routine practice in many areas of our school operations (for example,HR and budget services and many other areas of developing policies and operating procedures)
4. Innovative Schools’ role as CMO for Academia Antonia Alonso in FY 2016 was authorized by the DDOE and State Board of Education. This authorization included a legitimate role in assisting our school and in no way violates requirements established in the State of Delaware Budgeting and Accounting Policy Manual.”
AOA’s Comment 

AOA did not have any issues with the documentation reviewed and found that Academia Antonia Alonso’s procedures reflected effective internal controls. However, we still take exception to the lack of an individualized policy and procedure manual that documents the Unit Count roles, responsibilities, and processes specific to their operations

Early College High School at DSU’s Response

“Our school had policies and procedures in place that were followed during the Unit Count process in SY16. As our CMO, Innovative Schools, developed the policies and procedures, I wasa part of the manual review and Unit Count Training provided by Innovative schools. I, in turn,trained my staff who would ultimately be responsible for the accuracy of the Unit Count.

During the Unit Count process, I was responsible for ensuring that the policies and procedures were followed at my school, and as a result, your team was able to complete our school site audit in less than 30 minutes. The comprehensive documentation provided in the Audit Files at our school reflected the policies and procedures we used. No reference was made about this in the report to the manuals presented, along with the evidence of a well-designed system of internal controls as evidenced in the Audit File. If auditors wanted to note a more personalized approach in the manual, they should have so cited and not discount the comprehensive manual and evidence of internal controls in place in my school.
There is nothing in state regulations or policy manuals to require Unit Count policies and procedures be unique; nor is there citation that prevents schools (regular or charter) from receiving or contracting for assistance in developing policies and procedures. Contracted assistance is a routine practice in many areas of charter school operations (for example, HR and budget services and many other areas of developing policies and operating procedures). Title 14,Ch. 5 § 501: provides for flexibility in charter school operations: ‘…a charter to organize and run independent public schools, free of most state and school district rules and regulations governing public education, as long as they meet the requirements of this chapter…
I have worked in Delaware public education for the past 25 years, 24 of them in spent in school districts who have always had a ‘Unit Count Training,’ complete with a uniform set of procedures. Innovative Schools’ role as CMO for our school in FY 2016 was authorized by the DDOE and State Board of Education. This authorization included a legitimate role in assistingour schools and in no way violates requirements established in the State of Delaware Budgeting and Accounting Policy Manual.”
AOA’s Comment

AOA did not have any issues with the documentation reviewed; in fact, Early College High School had some of the best record-keeping practices we observed. However, the School did not provide specific policies and procedures as DOE instructed during annual Unit Count training.

East Side Charter and Family Foundation’s Response:

“Thank you for sending the report. We are looking to ensure that we operate at an optimal level in the future. Please see our comments below for Family Foundations and East Side. 

P.15 – shows a document used for early admission screening for East Side but attached  is a letter that was previously sent to the state as well as the screening method that was used as well.

– FFA did not accept any funds for the 12 4 year old students who attended our school

 P.16 – Website was changed 8/20/15 after Family Foundations received new leadership under Dr.Browne.The website remains up to date with the August date for children to be 5 .

I look forward to any best practices that the state can send for unit count along with the follow up for the training that took place for unit count this year.”
 
AOA’s Comment 
 
AOA’s review of East Side’s early admission to kindergarten documentation found that some students had an Entrance Interview form on file, while others did not. These forms were not completed consistently; some only had yes or no answers while others had explanations or answers from the child written on them. All students had a completed Individual Child Report on file that displayed how the child was assessed in several areas; however we were not provided with a rubric that explains how these scores were measured.
 
The 12 students enrolled in early admission to kindergarten for Family Foundations all appear on the Student List report generated from eSchool PLUS, which is a listing of only those children included in the Unit Count. If these students were not meant to be included then they should have been marked as “Do not include” within eSchool PLUS. DOE confirmed that Family Foundations did receive funding for these students. 
 
AOA holds the recommendation that all 11 of the East Side students and all 12 of the Family Foundation students enrolled in early admission to kindergarten be disallowed. 
 
AOA notes that Family Foundations did correct the error on their website. The screenshot in our report was pulled on July 21, 2015, one month before the correction was made. 
 
Prestige Academy’s Response 
 
“I am writing to respond to the eSchool [sic] and Unit Count Audit performed this past school year. The first response is for untrained personnel. Our current Administrative Assistant has been through all of the appropriate training in relation to the September 30 count. When the original files were sent al [sic] of the files did not go through due to an issue with our copier/fax system.It was determined that there was an issue and it was immediately corrected and the documentation was corrected and sent. This attributed the issues around missing documentation as well as having to have multiple requests for the appropriate information.”
 
AOA’s Comment:  
 
AOA acknowledges that the Administrative Assistant assigned to the Unit Count did attend the training held by DOE in July 2015. However, there were several communications between AOA and Prestige during our attempt to obtain the Full Student Register (FSR), which are summarized in the timeline below:

  • 09/30/2015  Received FSR with wrong dates (08/24/2015-09/30/2015), instead of the last 10 days in September.
  • 11/24/2015   AOA requested corrected version to show correct dates.
  • 11/30/2015   Received FSR that had no absences or tardies displayed.
  • 11/30/2015   Received FSR with absences and tardies, but missing the even-numbered pages.
  • 11/30/2015    AOA requested explanation as to why the total students had changed from 312 to 221.
  • 11/30/2015    Received response that it was due to first FSR being printed with August date.
  • 12/01/2015    AOA requested the even-numbered pages.
  • 12/02/2015   Received same FSR from 11/30/2015 that had no absences or tardies displayed.
  • 12/11/2015    Obtained the correct FSR from DOE.
 
AOA received no communication during this period regarding issues with the copier/fax system.Any issues with the copier/fax system would not have attributed to incorrectly pulled FSRs. Ultimately, AOA had to obtain the correct FSR from DOE.
 
Providence Creek Academy’s Response
 
“While we do not necessarily [sic] agree with your statement concerning the ‘Physical [sic]comprehensive enrollment file, all records were readily available in both paper form and electronic form…”
 
AOA’s Comment
 
AOA observed that some schools, including Providence Creek Academy, maintained the documentation that supported the enrollments reported in an electronic format. AOA did not take exception to this because the  DOE Unit Count Regulations Manual  does not specify the format in which the comprehensive enrollment file be maintained. However, AOA’s review of the supporting documentation from the schools electing to maintain the records electronically was more time-consuming and required more assistance from the on-site contact person than those schools that maintained the documents in a physical comprehensive file. AOA believes that by providing more guidance in the  DOE Unit Count Regulations Manual  on the best practices for this type of record-keeping would help to minimize errors and the amount of time and effort that the review process requires.
 
Innovative Schools’ Response
 
“We have carefully reviewed the revised Statewide eSchool PLUS and Unit Count  Inspection report provided by the State of Delaware Office of Auditor of Accounts, released on August 4,2016. We find it particularly concerning that each of the schools we supported for the 2015 Unit Count was cited for Failure to Develop and Implement Written Policies and Procedures.
 
This finding is inaccurate. Written policies and procedures were in place at all schools we supported through this process. Each school had a comprehensive manual that outlined the policies and procedures to be followed in detail. The manual was given to the schools as part of the training sessions on Unit Count their representatives attended. Even though the manual was initially developed by Innovative Schools, many of our schools made modifications to the actual practice through the process as various strategies were found to work better in some schools than others. These modifications were noted in their manuals and will result in continuous improvement for each of them. Each school was responsible for maintaining a system of effective internal controls – as evidenced by the comprehensive documentation provided in the Audit Files at each school. No reference was made in the report to the manuals each school did have, along with the evidence of a well-designed system of internal controls as evidenced in the Audit File. If the audit stipulates that each school develop their own distinct manuals, auditors should have identified this discrepancy during the audit process, and mentioned it at that time. After the initial findings were posted we sought to find if there was something in state regulations or policy stipulating that Unit Count Policies and Procedures be unique for each school. We did not find any such requirement; nor is there citation that prevents schools (regular or charter) from receiving or contracting for assistance in developing policies and procedures.Most districts have one set of policies and procedures for completing unit count that apply to all of their schools, and to which they are held accountable. Each school within a district does not have a unique system for completing their unit count. Contracted assistance is a routine practice in many areas of charter school operations (for example, HR and budget services, and developing policies and procedures for different operating and programmatic areas.) Title 14, Ch. 5  § 501:

provides for flexibility in charter school operations.  ‘…a charter to organize and run independent public schools, free of most state and school district rules and regulations governing public education, as long as they meet the requirements of this chapter ‘
Innovative Schools as CMO for four of the schools mentioned in the report was authorized by the DDOE and State Board of Education to serve in this supportive role for them. This authorization included a legitimate role in assisting our schools in distinct capacities and in no way violates requirements established in the State of Delaware Budgeting and Accounting Policy Manual. For the other non-CMO schools we supported, there is no regulation prohibiting assistance from a school-support or other organization.
We hope you will use this opportunity to address this important issue; one which impacts the operational flexibility to which charter schools in Delaware are entitled. Please let us know if we can be of further assistance. Thank you.”

AOA’s Comment

While AOA did not seek comment on the report from Innovative Schools because Innovative Schools is not management of the charter schools, AOA decided to accept the response. AOA does not take exception to Innovative Schools’ involvement or support of the charter schools. In fact, AOA found that those schools assisted by Innovative Schools generally had a well-documented, comprehensive enrollment file that was maintained in a standardized format and was easy for AOA to review. However, as DOE instructed during annual Unit Count training, each district and charter school must have specific Unit Count policies and procedures detailing their internal processes.

 

REFERENCES 

.

 

ass-bug

“For some reason, the parties running the Delaware DOE this year, have decided to ignore 14-17 years of legislation and DOE precedent, and change the rules to force more money to flow to charters.”

“Desperate”, I believe is the word we’re looking for… “Desperate” as in the last days of the Third Reich, as in the last 2 minutes of a NFL playoff game, as in the final day before election day.

They know their time is up!  They are using these last four months of this lame duck session to make permanent changes they hope will benefit them later when they get kicked up into the private sector… If they don’t act now, it will be too late… someone else will be controlling the money…..

In case you don’t know what happened, here is a refresher…

The DOE surprised every public school by changing the formula on how charters were to be paid… Pay them more was their decree..  What they are proposing is unconstitutional… For when you ask the taxpayers for taxes, and they first say no, and so you tell them exactly what it gets spent on, and they acquiesce and say….”ok this time, here, but spend it only on those items”.…  and THEN you do NOT spend it on those items which are part of the contract,…. you have an illegal use of tax money that cannot stand up in court...

Example: when Brandywine School District passed a referendum to put turf on their field, you can’t send all that money to charters and leave the field in its original condition… Yet that is exactly what rogue elements in the DOE conspired to do…and frankly, almost got away with.

After giving them the benefit of the doubt up to now, today we found out the trickery involved is not accidental…

Today we found that they held onto all notice of the changes affecting public districts right up to the deadline, then sent them bills telling them that they must pay more but refusing to give any reasons as to why.  You’d expect that in Communist Russia. Isn’t it odd for somewhere here in the USA?

Today we found that they had meetings with a few select Superintendents, not all, and specifically told them:  DO NOT TELL YOUR boards or business managers.  You’d expect that in Communist Russia.  Isn’t it odd for somewhere in the USA?

Today we found they sent over-inflated charter bills to the districts, threatening they immediately be paid in full.  You’d expect that in Communist Russia.  Isn’t it odd for somewhere in the USA?

Today (although we suspicioned it) it was proven that certain Charters are really trying to gut all public education in this state and they don’t care about your children.  The idea that they just want more money, does not back up the precise use of hurtful tactics used to achieve it.  The standard methods to get more money work well enough. Trying purposefully to destroy public education, is the ONLY explanation that can explain their timeline. And the reason they picked on Christina?  Because it is full of black people … White people vote.. but kicking blacks again and again has become acceptable to the Delaware Way because Blacks don’t go to the polls in high enough numbers…. This was designed specifically to implode Delaware’s poorest public schools by stealing large amounts of money from them…Again, You’d expect that in Communist Russia.  Odd for somewhere in the USA.

“All that stuff you committed to the voters” they told all the school districts…. “Pfffft… voters are just scum.  We’re not going to pay attention to any of that crap… That money is not sacrosanct. Pay the extra $3 million to Newark Charter, NOW!!!!! “

An injunction forbidding any payments from Christina or other districts to Charters until this can be sorted out… would be the proper course of action… 

Violating public trust to enrich ones own pockets puts people in jail…. Or at least gives them a big fine to pay…. Pursuing this should be step two.

This proposed action by the DOE, if carried out, will hurt 15,000 children… It will help none… Not even the 2000+ students at Newark Charter School!  None of the funds stolen from the basic necessities required to teach 15,000 students, will go to assist any of the kids at Newark Charter… All this money, and I mean ALL of it, is to pay for their two new buildings that they royally screwed up and are on the hook for their financing …….

 

It takes a little sleuthing to figure out what happened.

In a nutshell the game was up when Manuel Alfaro, who was the executive director of assessment design and development at the College Board went online at Linkdin and posted some cryptic messages.  Over time this was his story.

Coleman brought him in a month after his takeover of  SAT by Common Core. Coleman to meet test deadlines simply transferred Common Core’s material over to the SAT data base and had hired Alfaro to create a fake research and development operation to get around copyright laws… Basically his job was to make it look like it was not stolen.

The test was published and distributed before being proof read.  Proof readers were eventually hired but after the test had been sent out… The May 2016 test was this test, it is the one Juniors took in Delaware to determine… whatever…  Small problems in this test were wrong answers marked as right ones, or no correct answer available among the 5 options. Bigger problems involved the “fake” questions now regularly inserted in such tests which do not count towards the score and are only there to test their quality for use in future tests.  These inserted questions were so difficult and time consuming, they prevented students from finishing the test.  Hence the scores of May 2016 will be lower than years past.

However Alfaro though he lived through it, does not have the tests. Therefore he was appealing to several states including Delaware, to use the transparency clauses in their contracts to bypass the College Board’s proprietary restrictions and have them find the questions, answers, and details to back up what he lived through…

His computer has been confiscated by the FBI.  Now, because of this court case, a gag order has been levied upon him and all involved and all relevant documents have been put under court seal.

Simultaneous to this, Reuters is reporting on an East Asian cheating scandal involving the SAT and PSAT  Apparently there is only a small pool of questions which many firms-for-hire to boost scores, already have.  They teach the questions and answers and their customers score very high on these tests.  Sourced out of East Asia Reuters was given 400 of the current questions from an outside source and sent copies of them to the College Board to confirm they were legit.  The College Board pleaded with them not to publish these actual questions and answers since they were the only questions in use this school year.

Bottom line: anyone looking for reassurance that the SAT is a better test under Coleman will be very disappointed.

As Reuters says… the test has never been worse….

“200 hundred items were sent to the Content Advisory Committee for review. Their feedback was scathing. One committee member wrote an 11-page document letting the College Board know that these were the worst items he had ever seen. In the past, he had not seen the worst items because they were rejected due to poor item statistics. In fact, the usual 15-20 percent of the items that are pretested and are rejected due to poor performance, were on the May 2016 test used to hold students and teachers accountable.”

Charter schools shall be eligible for public funds under procedures established by this section….

The Department of Education (not the district) shall annually calculate the local cost per student expended by each school district for each type of student for the year immediately preceding based on the formula set forth in subsection (e) of this section…

subsection (e)

Local cost per student as used in this section shall be calculated as follows:

Total Local Operating Expenditure in Preceding Fiscal Year’s Total Division I Units, minus Spec School Units Number of Pupils per Unit

Where:

Total Local Operating Sum of all expenditures (Expenditure in from local sources) minus (Preceding FY local expenditures for tuition) minus (local expenditures for debt service) minus (local expenditures for Minor Capital Improvement) minus (local cafeteria expenditures) minus (any other local expenditures deemed by the Secretary of Education to be inappropriate for inclusion for the purpose of this chapter).

Breaking it down,  the Total Local Operating Cost, is the sum of all a district’s expenditures

minus its expenditures for tuition (meaning students who left the district and took their money with them)… Obviously these could not be counted towards the cost of those students remaining….

minus any expenditures for debt… No one accounts for debt as a cost of doing business.  I don’t care if you are a restaurant, a movie theater, or Chemoirs.  Debt cost is added after all expenses of doing business have been calculated.  Then with those profits, you pay off debt.   Debt cost can have nothing to do with per student cost otherwise taking on debt suddenly makes it look like you are spending wildly on each student.

minus Minor Capital Improvements … Fixing a roof or installing a new air conditioner cannot be directly related to the cost per student.  Imagine if it were, how student costs would rapidly fluctuate yearly and between districts or even in the same fiscal year… Older districts would be stuck with unbearably high costs, newer districts enjoying much lower.

minus Local Cafeteria expenditures….

minus any other expenditure deemed by the Secretary to be inappropriate for inclusion…

So if any wrongdoing has occurred, it is directly attributable to the Secretary of Education…   He is in charge of determining each district’s cost per student, and IF there are any other expenditures which need excluded from the cost per student, he makes the decision…

So are we going to lynch Mark Murphy now?  You’re a little late…

Now that you too have seen the law, this statement Earl Jaques included in his mysterious email which tags a line of Sokola’s, is odd.

“The Christina District increased that line from under $700 thousand to about $9.2 million since 2011, and has not asked the Secretary for approval of the increased exemptions. “ —Sokola

Seeing how only the Secretary can make any adjustment to the formula and how only the Secretary can determine the cost per student, it is difficult to think Dave Sokola knows what he is talking about….  How could they increase that line when only the Secretary handles “that line”?

Rather odd from someone who wrote the legislation.

If Christina were holding back money, it would be at the behest of a former Secretary of Education’s decision, not the Christina School Board themselves…

So any attempt to blame Christina District is not going anywhere.  They are blameless. Don’t take my word for it. Read Title 14: *(509)…. Perhaps Sokola and Meece should take time to commiserate together and spend their time singing the …. “509 Blues”…. (in Title 14, that is)…