In the “Dear Colleague Letter” guidance, entitled (GEN-23-03) Requirements and Responsibilities for Third-Party Services and Institutionsthe definition of third-party services has been significantly expanded to include student recruiting and retention services, developing curriculum and course materials, delivering instruction, assessing student learning, and disseminating marketing materials.
Leaders across the sector say these additions will significantly increase the number of third-party providers who will now be subject to additional government oversight.
It also indicates students may not apply Title IV federal aid funding if the servicer or subcontractor is outside the US or owned or operated by someone other than a US citizen or legal permanent resident of the US.
speaking with The PIE Newsvice president for revenue planning and institutional positioning at 3 Enrollment Marketing, Inc., Bryan Gross asserted that it could have huge implications.
“In the experience I have had with institutions and the use of [online program management]most schools are very diligent about remaining in compliance with current regulations and requirements when it comes to Title IV funds,” the former executive board member at AIRC said.
“The potential for negative impact on [study abroad] cannot be overstated”
Melissa Torres, president & CEO of The Forum on Education Abroad, told The PIE, if the guidance takes effect as currently written, “the potential for negative impact on the ability of colleges and universities to provide high quality education abroad experiences for their students cannot be overstated”.
She predicted the result would likely be a “complete halt to the participation of students receiving Title IV funding, which could negatively impact their retention and graduation rates, since study abroad is widely recognized as a High Impact Practice”.
Likewise, Sara Dart, senior vice president of Education in Ireland shared her concerns with the PIE about the potential global impact this guidance could have on the entire study abroad “ecosystem”.
“It has the potential to negatively affect every type of mobility from faculty-led programs supported by small local providers to long-standing bilateral exchange agreements,” she said.
Webster University’s assistant vice president for international enrolment, Samrat Ray Chaudhuri, talked with The PIE about the both the potential impact on international recruitment and on TNE.
“Overseas campuses of US universities, which partner with a foreign university or a foreign government, often use services including recruitment as part of their overseas operations,” he stated.
“The new DOE guideline does not clarify how such institutional partnerships will survive, since partner institutions are not owned and operated by US citizens or permanent residents,” he continued.
Chaudhuri said many small colleges and tuition-driven private universities depend on agents to recruit international students and suggested moving to a direct recruitment approach would likely prove extremely difficult.
He indicated the cost-inhibitive factors of HEIs employing their own recruiters overseas or regularly sending their teams abroad. “This is very expensive and will not be possible for smaller colleges and universities from a sustainability perspective.”
Chaudhuri said, in some countries, parents and students want to meet agents in person. “It is a culturally essential aspect to build trust. Particularly if the institution does not have a big brand name.”
The University of Delaware’s director of international admissions, Song Hoffman, agreed. “International recruitment agencies, especially some ’boutique’ ones, can often serve as great connectors between parents, students, and institutions, reducing culture and language barriers,” she told The PIE.
As such, if the guidance remains intact, with so much competition with countries that allow international recruiters, Chaudhuri predicted it could be “a free-fall for US international numbers”.
Dart expressed a deep concern about the equity factor, asserting the new guidance “has the potential to significantly widen the existing access gap”.
“Education abroad should be clearly and unequivocally excluded from this guidance”
She noted that studying abroad “is already outside the means of many students and restricting access to Title IV funding will only exacerbate this, leaving study abroad accessible only to those who have the funds to pay out of pocket”.
Likewise, Torres argued, “Education abroad should be clearly and unequivocally excluded from this guidance so that students who rely on federal financial aid – students who are often from underrepresented and underserved populations – are not disadvantaged from their peers.”
The US DOE has extended the period for public comment until March 28, with the guidance slated to go into effect on September 1.
The Forum on Education Abroad has scheduled a webinar for its members on Friday, March 17, and to date, more than 700 participants are registered to attend.