Frequently Asked Questions


NASAD Protocols, Procedures, and the Application of Standards

Q: My institution is scheduled to conduct its comprehensive review. The dates of the visit and members of the visiting team have been confirmed. Can this visit be rescheduled/postponed?

A: Yes. On-site reviews may be rescheduled/postponed by institutions as necessary and desired. Institutions finding it necessary to postpone comprehensive accreditation reviews from one academic year to the next (i.e., from 2022–2023 to 2023–2024) for good cause may wish to review NASAD’s Policy on Postponements. As a reminder, formal requests for postponements require approval and therefore must be submitted to the National Office. Should questions arise regarding the Policy or its application, please contact NASAD staff (info@arts-accredit.org).

Q: My institution is scheduled to conduct its comprehensive review. Although the visitation dates have been confirmed, one of the evaluators is no longer able to serve on the team. Can a replacement be found at this time? If not, what options are available?

A: Two options are available for consideration – (a) work with the National Office staff to seek a new team member, or (b) request a postponement of the visit. Institutions interested in postponing comprehensive visits should review the NASAD Policy on Postponements. NASAD staff (info@arts-accredit.org) is available to discuss each option in detail.

Q: Will the rescheduling of a visit, a request for postponement, or the provision of an extension of time to submit required information to the Commission result in a future adverse Commission action?

A: The rescheduling and postponement of visits, and extension of deadlines as they pertain to anticipated Commission replies, will have no effect on the outcome of future Commission reviews and actions provided the institution moves forward on the newly established and approved timeline expeditiously. It is important to note that procedural remedies that offer a provision of additional time are offered by NASAD to accredited institutional members to assist them to conduct insightful reviews and prepare clear and well-considered replies.

Q: When is my institution’s next on-site comprehensive review?

A: Every accredited institutional member is required to proactively schedule, as initiated by the submission of its Notice of Intention to Apply form, its next comprehensive accreditation review and conduct its associated on-site evaluative visit in a timely fashion and in accord with NASAD Procedures. The dates of an institution’s next comprehensive review (expressed as an academic year, i.e., 2022-2023, 2023-2024, etc.) may be found in the NASAD Directory Lists. Institutions should schedule the on-site review at their convenience during either the fall or spring of the academic year listed. Materials (i.e., Self-Study, Management Documents Portfolio, etc.), should be sent to each visiting evaluator and the NASAD National Office no later than four weeks prior to the actual date of the on-site review. Should questions arise regarding the schedule of comprehensive reviews, please contact NASAD staff (info@arts-accredit.org).

Q: According to the NASAD Directory List, my institution is slated for its comprehensive review during the 2021-2022 academic year. Can the comprehensive review be postponed until the next academic year?

A: Yes. Please see NASAD’s Policy on Postponements. The Policy offers helpful and specific information to those wishing to consider postponements of comprehensive reviews whether scheduled or anticipated. Should questions arise, please contact NASAD staff (info@arts-accredit.org).

Q: Is NASAD conducting or planning to conduct virtual comprehensive visits?

A: Virtual visits associated with comprehensive reviews are not being conducted at this time and are not planned in the foreseeable future. In-person reviews of student work and competency development, institutional resources as they support art and design programs, and intellectual dialogue and interaction among colleagues, continue to be irreplaceable components of the NASAD peer review process – a process that is designed to consider all aspects of an institution and the interrelationships between and among them. Should questions arise, please contact NASAD staff (info@arts-accredit.org).

Q: Can a consultative visit be conducted virtually?

A: Institutions secure the services of consultants for a variety of reasons. Consultative work which includes a review of documentation (such as a Self-Study and supportive materials prepared for a comprehensive review) and discussion of the application of standards could be accomplished virtually. Institutions proceeding in such fashions are guided to ensure the security and confidentiality of the platform(s) used. However, if the intention of a consultative review is consideration of the development of student competencies and the adequacy of resources to support the art/design program, it is recommended that the review be conducted in-person. Should questions arise, please contact NASAD staff (info@arts-accredit.org).

Q: Many changes are underway and/or anticipated at this time. Must each be reported to NASAD?

A: It depends. In cases where the changes are substantial in nature as defined by NASAD in the Rules of Practice and Procedure (see NASAD Handbook 2020-21, Rules of Practice and Procedure, Part II., Article V.), applications for Substantive Change will be required. Changes of less substantive natures will be reviewed during an institution’s next comprehensive review. Institutional representatives unsure of whether a change is “substantial” should contact NASAD staff (info@arts-accredit.org). As the institution considers options and implements changes, the following reminders are offered:

  • Representatives anticipating changes to existing policies and procedures are encouraged to review current institution-wide initiatives and approaches.
  • All policy changes whether temporary or permanent should be documented by the institution and disseminated and made available to appropriate constituencies.
  • Institutions may wish to seek review by legal counsel of any proposed change to ascertain the potential for risk and/or liability.

Q: Will the implementation of changes affect the institution’s accredited institutional membership status?

A: An institution making changes in direct response to unfolding circumstances may wonder whether NASAD will take an immediate action which could jeopardize the institution’s current accreditation status. It is important to remember that all NASAD Commission reviews operate within an existing, established, and published system of due process—a system which opens conversations; welcomes dialogue; offers the opportunity to discuss comprehensively an institution’s initiatives and, based on these initiatives, its ongoing ability to comply with standards; and comes to conclusion only after thorough consideration of all salient information has been completed (see NASAD Handbook 2020-21, Bylaws, Article I., Sections 2.–5.). Careful attention to the processes outlined above and consideration of anticipated changes in light of current standards typically result in collegial conversations among peers interested in the advancement of art/design students and student achievement which assist institutions to not only demonstrate compliance with applicable standards, but to hone and advance their own initiatives. Should an institution desire feedback regarding the potential impact of an anticipated change on the institution’s continuing ability to comply with standards, please contact NASAD staff (info@arts-accredit.org).

Q: My institution is considering the viability of all curricular offerings at this time, including those curricular programs which may be discontinued and units which may be consolidated. Is information available that might assist me to create a set of talking points which outline and support the value of art and design study at the collegiate level?

A: Yes. Many documents are available in NASAD’s library which speak to this important issue. Please note the following: the Working Group on the Arts in Higher Education (WGAHE) Brochures; Distance Education and the Arts Disciplines; Work of the Arts Executives in Higher EducationGiftedness, Arts Study, and Work. In addition to a review of salient information found in these documents, please feel free to engage the staff in conversation to discuss approaches being considered and plans anticipated. Members of the NASAD staff may be able to offer helpful ideas and perspectives.

Q: Will the 2021 NASAD Annual Meeting be conducted on-site as planned in St. Louis, Missouri?

A: At this time, the NASAD 2021 Annual Meeting is scheduled to take place October 13–16, 2021 at the Hyatt Regency St. Louis at The Arch in St. Louis, Missouri. As always, NASAD looks forward to welcoming attendees and to the opportunity for membership interaction and professional development. Any change in schedule or plan will be shared with NASAD members and constituents. Detailed information and meeting registration will be available on the NASAD website in the coming weeks. NASAD will continue to remain abreast of unfolding conditions which could affect the conduct of this on-site meeting. Decision-making will be guided by such considerations as well as a deep and abiding concern for the health and well-being of all individuals involved in the work of NASAD.

Q: If the 2021 on-site NASAD Annual Meeting is cancelled, will NASAD conduct the 2021 Annual Meeting in its entirety virtually?

A: Should the 2021 on-site Annual Meeting of NASAD be cancelled, the meeting in its entirety will not be conducted through virtual means. Noting that the NASAD Annual Meeting is an opportunity for individuals to come together in community for the purpose of connecting, communicating, and broadening understandings and awareness of salient issues, and now intimately aware of and familiar with the limitations placed on communications conducted through virtual means, it would be viably impossible for NASAD to replicate through virtual means the vital, interactive, and organic interactions that are a hallmark of each Annual Meeting. Should a cancellation be announced, as was the case in 2020, NASAD would seek alternative means to conduct the business of the membership, Executive Committee, Board of Directors, and Commission on Accreditation.

Q: What is the Affirmation Statement Questionnaire and when is it due?

A: On June 1 of each year, NASAD informs accredited institutional members of their responsibility to submit an Affirmation Statement Questionnaire. This three-page questionnaire requests information intended to provide assurance that all curricular programs under the purview of NASAD and meeting NASAD listing requirements have been or will be submitted for review and approval, and that substantive changes— past, current, and/or projected—have been or will be submitted for review and approval. Affirmation Statement Questionnaires are an important part of the Association’s system for remaining current with the work of accredited institutional members and documenting continuing compliance with NASAD standards. Please note that temporary short-term changes implemented in response to the effects of the coronavirus (i.e., the temporary movement of coursework from on ground to online) need not be reported on the Affirmation Statement Questionnaire. Changes made that are substantive in nature and intended to become permanent (i.e., the creation of new curricular programs which fall under the purview of NASAD) should be noted on the Affirmation Statement Questionnaire. Should questions arise, please contact NASAD staff (info@arts-accredit.org).

Q: Are the provisions of the NASAD Code of Ethics still in force?

A: NASAD has been following since 2017 a possible restraint of trade concern held by the Department of Justice (DOJ) as it may pertain to the National Association for College Admission Counseling (NACAC) specifically with regard to changes made by NACAC to its Code of Ethics and Professional Practices in 2017. Although NACAC amended its Code provisions in September of 2019, the concern resulted in a complaint filed by DOJ against NACAC in December of 2019 (see Federal Register dated January 10, 2020). Comprehensive information regarding the DOJ proceedings, which have now come to a close, may be found here. The DOJ Final Judgment dated April 17, 2020 may be found here. Given the provisions of the DOJ Final Judgment, NASAD will be offering in the form of Proposed Revisions to the NASAD Handbook 2019-20, modifications to specific provisions of the current NASAD Code of Ethics. Proposed Revisions will be forwarded to the membership for consideration later this summer following NASAD review protocols articulated in the NASAD Handbook 2019-20. A vote of the membership is expected to be taken in October of 2020. The text of the NASAD Code of Ethics remains unchanged at this time. However, when applying the provisions of the NASAD Code, it is suggested that institutions become mindful of and attentive to the provisions of the DOJ Final Judgment. Although certain specific activities are now prohibited as outlined in the DOJ Final Judgment, it is important to remember that (a) a hallmark of the work of NASAD accredited institutional members is the continuing and unwavering regard held for ethical practices that are fair, applied equitably, and continue to serve and protect both institutions and students, and the field, and (b) such practices may be freely exercised absent the presence of articulated requirements. The Code of Ethics is based upon long-standing NASAD principles, which remain today. Approaches and initiatives which (a) uphold the spirit of the NASAD Code and the principles upon which it rests firmly, and (b) attend to the letter of the DOJ judgment should be considered as appropriate and can be implemented consistent with the provisions of each. Should questions arise, please contact NASAD staff (info@arts-accredit.org).

Meetings

Q: When is the next meeting of the Commission on Accreditation?

A: The spring meeting of the Commission on Accreditation will take place April 21-25, 2021. The fall meeting of the Commission on Accreditation will take place October 9-14, 2021.

Submission Deadlines

Q: When are materials slated for review by the Commission on Accreditation due?

A: Materials in support of a comprehensive review (Self-Study, Management Documents Portfolio, Self-Study Appendices) must be submitted at least four weeks prior to an institution’s on-site visitation. Typically, consideration of such information is slated for Commission review the semester after the on-site visit. Responses and Progress Reports and applications for Plan Approval and/or Final Approval for Listing are due in the National Office no later than March 1 for the April meeting and September 1 for the October meeting. Optional Responses to NASAD Visitors’ Reports are due in the National Office no later than March 15 for the April meeting and September 15 for the October meeting. Materials should be submitted in hard and electronic copy (i.e., on a flash drive). Should questions arise regarding submissions and/or submission deadlines, please contact NASAD staff (info@arts-accredit.org).

Q: Due to the effects of the coronavirus, the visit dates for my institution were rescheduled to the fall of 2020. Must the Self-Study and accompanying materials be amended and resubmitted?

A: No. If a site visit related to a comprehensive review is rescheduled or postponed, updates to the Self-Study may be provided as part of an institution’s Optional Response submitted after receipt of the Visitors’ Report. The Self-Study and accompanying materials should not be rewritten and resubmitted. Questions regarding submissions may be directed to NASAD staff (info@arts-accredit.org).

Q: If an institution postpones its on-site comprehensive review and the Self-Study and supporting documentation have been finalized, must they be amended?

A: No. If a site visit related to a comprehensive review is rescheduled or postponed, updates to the Self-Study may be provided as part of an institution’s Optional Response submitted after receipt of the Visitors’ Report. The Self-Study and accompanying materials should not be rewritten and resubmitted. Questions regarding submissions may be directed to NASAD staff (info@arts-accredit.org).

Q: My institution is required to respond to issues outlined in an NASAD Commission Action Report. If additional time is needed to prepare the institution’s reply, may an extension be requested?

A: Yes. An institution may request a six-month extension for good cause. A request should be sent to NASAD staff (info@arts-accredit.org).

Submission Format

Q: In what format should materials be submitted for Commission review?

A: Institutions are asked to follow existing protocols, providing three copies of comprehensive visit materials, and two copies of Responses and Progress Reports and Plan Approval and/or Final Approval for Listing applications. These materials should be submitted to the National Office in hard and electronic copy (i.e., on a flash drive) by the prescribed submission deadline.

Q: If an accredited institutional member of NASAD plans to develop, enroll students in, and/or advertise a new curricular program which falls under the purview of NASAD and is to be offered on a continuous basis, is an application for Plan Approval required?

A: Yes. Institutions considering or that have initiated new curricular programs are guided to review procedures and requirements applicable to new curricular programs which may be found in the NASAD Handbook 2020-21, Rules of Practice and Procedure, Part II., Article I., Section 3. and Article VI., and the NASAD Policies and Procedures for Reviews of New Curricula. Temporary and short-term curricular programs implemented in response to the effects of the coronavirus (i.e., the temporary movement of coursework from on ground to online) need not be submitted for Plan Approval. Institutions are reminded that programs in which more than 40% of the required coursework is delivered through distance learning means will be designated as distance learning programs by NASAD and in NASAD publications, and therefore are required to be submitted for Plan Approval (even if an on ground version of the same curricular program is offered and has been approved by NASAD) (see NASAD Handbook 2020-21, Standards for Accreditation III.H.). Should questions arise regarding the necessity to submit applications for Plan Approval, please contact NASAD staff (info@arts-accredit.org) prior to submission. Staff will work with each institution individually to ascertain and confirm the necessity for submission.

Q: What must an institution do if it plans to discontinue an existing curricular program now approved and listed by NASAD, and enrolling students?

A: Institutions are asked to notify NASAD of intentions to discontinue offering currently approved and listed curricular programs. At the same time, such curricular listings should be removed from institutional published materials. Should institutions decide to reactivate such programs in the future, applications for Plan Approval will be required. Institutions discontinuing programs are also asked to develop and implement teach-out agreements (as/if necessary) and teach-out plans outlining how students currently enrolled in such programs will be ensured the opportunity to complete their course of study.

Q: If an accredited institutional member plans to make substantive changes to a currently approved and listed curricular program, is an application for Substantive Change required?

A: It depends. In cases where the changes are substantial in nature as defined by NASAD in the Rules of Practice and Procedures (see NASAD Handbook 2020-21, Rules of Practice and Procedure, Part II., Article V.), applications for Substantive Change will be required. Changes of less substantive natures will be reviewed during an institution’s next comprehensive review. Institutional representatives unsure of whether a change is “substantial” should contact NASAD staff (info@arts-accredit.org).

Q:  My institution has just received an invoice from NASAD. We note that the invoice suggests that the balance is due within thirty (30) days. Given the financial hardships faced by my institution at this time, would NASAD consider a modified payment option?

A: Yes. NASAD is aware of the financial challenges faced by institutions at this time. Should you wish to discuss payment options, please contact NASAD staff (info@arts-accredit.org).

Q: I was scheduled to travel to an institution to conduct an on-site review. This review has now been rescheduled/postponed. May I submit expenses incurred to date to NASAD for reimbursement now rather than waiting until after the rescheduled on-site review?

A: Yes. Evaluators (and consultants) who have incurred expenses as a result of rescheduled/postponed on-site reviews are asked to submit their expense forms with receipts to NASAD for reimbursement at the earliest possible time. Please notify NASAD if there has been any change in your mailing address at this time. Individuals planning to visit the institution at a later date are asked, if possible, to work directly with the travel carrier to secure the value of the ticket and to apply this value when rebooking. Individuals who are unable to participate in a future visit are asked, if possible, to work directly with the travel carrier to seek a refund for the full or partial cost of the ticket and if successful to reduce the total amount of expenses by the refunded amount. Please note that information regarding expenses, including expense forms and associated receipts may be submitted electronically for expedited service. Should questions arise regarding expenses or the reimbursement process, please contact NASAD staff (info@arts-accredit.org).

Q: I have accepted an invitation to serve as a visiting evaluator (consultant) for a visit that is scheduled to take place in the fall. What are my options if (a) I don’t feel comfortable traveling given current national circumstances, and/or (b) my institution has banned all employee travel?

A: NASAD appreciates the time and effort offered by the volunteers that participate in the accreditation process. It respects the positions of its volunteers and the institutions they represent. Evaluators (and consultants) scheduled for visits that are rescheduled or postponed are asked to make their own determinations about their ability to serve during the newly requested time period based upon existing and current personal and institutional conditions. If for any reason an individual is unable to participate in an upcoming visit, please contact NASAD staff (info@arts-accredit.org).

Latitude and Flexibility

NASAD standards and procedures offer the wide latitude necessary for work in a creative field. The standards are frameworks that address functions and their fulfillment, leaving methods and means to institutional discretion. Such latitude supports institutional development and use of new or different means during difficult times, or at any time. Given these flexibilities, the standards frameworks and procedures now in place remain effective in the guidance and support they provide to institutions. Such a position of consistency and constancy is comforting when it appears clear that applications, approaches, and methodologies established by institutions and accepted as common practice based on years of their proven efficiency and effectiveness at times may no longer be practical, or in some cases, possible. To deal with such realities, institutions adopt or may have to adopt temporary practices, procedures, and policies in response to current situations. Disruptions require institutions to find new ways to address functions once served by long-standing virtually ubiquitous practices. Practices that pertain to issues such as the delivery of course content, studio participation, grading policies, admission procedures, and the like, are being reconsidered, recalibrated, and reintroduced in creatively modified ways. Although NASAD standards are set in a framework which offers flexibility and provides latitude, a framework which encourages experimentation, innovation, and the development of new approaches to curricula which enables institutions to address the functions expressed in the standards and their fulfillment in various ways, many institutions are left to wonder whether their planned initiatives (i.e., new curricular programs, substantive changes) and/or newly and swiftly implemented policies will enable them to continue to adhere to applicable NASAD standards. Should such reasonable questions arise, administrators are asked to contact the National Office staff swiftly and without hesitation. The National Office staff exists to serve NASAD members and constituencies. Though the Commission on Accreditation holds singular authority and responsibility to ascertain compliance, the National Office staff can provide information, assistance, and advice as you unpack and consider issues of concern and work through scenarios that not only enable the institution to address current realities but attend to NASAD requirements. It remains important for NASAD member institutions to meet the letter and spirit of the standards as appropriate – standards expressed in functions which indicate to students, the public, and state/federal agencies the basic content and level of rigor expected in art and design education and training, and the skills, knowledge, and competencies that students enrolled in these programs of study are expected to acquire and master.

Looking for Solutions

Ideas and feedback provided by peers can be invaluable. However, a practice that may work well for some, accepted as a panacea for all, may be less effective in addressing individual challenges faced by other institutions. It is important to remember that each institution and situation is unique, and therefore that each situation requires careful thought, consideration, and decision-making which specifically addresses the issues before the institution. One of the strengths of our higher education system is the freedom available to each institution to create, design, and implement initiatives and curricular programs which align with locally stated missions and intents, and the ability these freedoms provide to institutions to solve problems on their own terms given local conditions and the availability of resources. Administrators should seek information pertinent to current situations from appropriate and confirmed authorities, but use this information specifically and perhaps, uniquely. Information and analysis that specifically targets an institution’s particular challenges can inform decision-making processes in invaluable ways. Implementation of a one-size-fits-all, “off-the-shelf” solution may exacerbate, rather than ameliorate, existing undesirable conditions. The strategic approach described herein will require the dedication of an amount of time necessary to collect information and consider various options. However, such an approach may provide to the institution the most comprehensive set of means available to assist it to find the most effective way forward.

Changes to the Academic Calendar

Q: My institution is contemplating a change to the institutional calendar. Will such a decision affect the accreditation status of my institution?  What considerations must be made by the institution as it plans for this change and works to ensure ongoing compliance with applicable NASAD standards?

A: To address this question comprehensively, a careful and close look must be taken at the applicable standards. Please note the following Handbook citations (NASAD Handbook 2020-21):

  • Standards for Accreditation III.A.1.e.: “The total time requirement for any postsecondary program must be commensurate with the number of credit or clock hours required to complete the program. Reasonable total time requirements must be formulated and published.”
  • Standards for Accreditation III.A.2.a.: “a. Credit shall be awarded consistently according to the published credit policies of the institution and in compliance with NASAD standards. Institutional policies shall establish the credit hour in terms of time and achievement required. The minimum time requirement shall be consistent with or reasonably approximate the following: (1) a semester hour of credit represents at least 3 hours of work each week, on average, for a period of fifteen to sixteen weeks; (2) a quarter hour of credit represents at least 3 hours of work each week for a period of ten or eleven weeks. Credit for other kinds of academic requirements or offerings that are in different formats, use different modes of delivery, or that are structured to take a different amount of time is computed on the same basis in terms of representing at least the equivalent amount of work. Policies concerning achievement shall be consistent with the principle that credit is earned only when curricular, competency, and all other requirements are met and the final examination or equivalent is satisfactorily passed.”
  • Standards for Accreditation III.A.2.b.-c.: “(b.) In lecture/discussion courses requiring outside preparation, 1 hour of credit represents 1 hour each week of the term in class, and 2 hours of work outside class. In studio/laboratory courses, 1 hour of credit represents 3 hours of studio/laboratory time and space each week of the term: normally, studio classes led by an instructor meet for a minimum of 1.5 hours per week for each credit granted, and more often than not, for 2 hours per week; the remaining time is for studio/laboratory class preparation. Any explanations and justifications regarding variations from these norms are to be substantiated with evidence of student achievement relevant to the purpose of the course. In all cases, faculty contact must be sufficient to ensure the development of knowledge and skills required by each course. Normally faculty contact is greater at the foundation or introductory level. (c.) When institutions offer programs and courses for abbreviated time periods, or in independent study, they must ensure that students completing such programs or courses acquire levels of knowledge, competence, and understanding comparable to that expected of students completing work in the standard time period. For example, in order to earn 1 hour of credit during a summer session, students must attend approximately the same number of class hours and make the same amount of preparation as they would in attending a 1-hour-per-week course for one term during the regular academic year.”

These standards offered above suggest that institutions must provide to students the time and instruction necessary for them to develop knowledge and skills. The guidelines/norms offered suggest approaches; approaches are not dictated. As an example, note that the component parts of instruction include time in class (with and without an instructor) and student work, and that the location of the class is not defined. Is it possible that although time is reduced that student achievement expectations are not altered and can be obtained? Is it possible that time could be defined in ways other than that indicated by typical traditions? Is it possible that, given the flexibilities the standards allow, the institution could restate how and where students are required to “use” time? It is important to note that the issue is not one of arithmetic or formula, but rather, of conditions that ensure the development of student competencies. The standards offer to institutions several possible approaches which would result in meeting not only the spirit, but the letter of the standards. Should an institution wish to implement modifications, it is strongly recommended that the institution memorialize in writing any restatement of expectations as they pertain to time, and that the written materials confirm to students the alignment of expected outcomes as being the same (if this is the case) as that shared with the students upon entry (i.e., catalog description). Please note: Related to the Handbook citations offered above, it is important to distinguish between that which is a standard (i.e., indicated by the terms such as must, shall) and that which is not (i.e., indicated by terms such as should, normally, percentage). As the institution considers options and implements changes, the following reminders are offered:

  • Representatives anticipating changes to existing policies and procedures are encouraged to review current institution-wide initiatives and approaches.
  • All policy changes whether temporary or permanent should be documented by the institution and disseminated and made available to appropriate constituencies.
  • Institutions may wish to seek review by legal counsel of any proposed change to ascertain the potential for risk and/or liability.
  • Institutions are reminded to remain cognizant of federal and state requirements and statements as they pertain to grading policies and activities. Please note: The federal government has published three successive memos since March 2020 directed to institutions participating in federal aid programs for the purpose of (a) reminding institutions of current requirements, and (b) extending flexibilities/exemptions now available to institutions. Unlike the approach taken by NASAD which embeds flexibility within its application of standards, the federal government is amending current rules and regulations at this time to address the challenges faced by institutions due to the unfolding and anticipated effects of the coronavirus which means that decisions can change and that each has a designated period of applicability. Institutions considering changes to the academic calendar should continue to keep abreast of information released by the federal government and any deadlines associated with these flexibilities and/or exemptions offered. Two of the three memos include guidance as it pertains to the length of the academic year and are referenced below.
  • Length of Academic Year
    The Department is authorized under 34 CFR § 668.3 to approve a reduced academic year. If at any point an institution determines it will close as the result of a campus health emergency, it may contact the School Participation team to request a temporary reduction in the length of its academic year (htts://ifap.ed.gov/electronic-announcements/030520Guidance4interruptionsrelated2CoronavirusCOVID19).
  • Academic Year (§ 668.3)
    The Department is authorized to approve a reduced academic year if an institution offering credit-hour programs is unable to offer at least 30 weeks of instruction during its academic year. If an institution determines it will temporarily cease providing instruction, extend a break, or otherwise reduce the length of its term in a manner that results in fewer than 30 weeks of instruction in the academic year as the result of COVID-19 disruptions, it should send an email to CaseTeams@ed.gov to request a temporary reduction in the length of its academic year. The request must:
  • Identify each educational program or programs for which the institution requests a reduction and the requested number of weeks of instructional time for those programs (institutions are permitted to request the waiver for all programs); and
  • Demonstrate good cause for the requested reductions (which would include disruptions related to COVID-19).
  • Institutions should include in the subject line of the email the institution’s name, OPEID, and the state where the main campus is located. The request will be reviewed and forwarded to the appropriate School Participation Division, which will communicate its final determination to the institution.

Grading

Q: Can my institution change from a letter to a pass/fail grading system? Will such a decision affect the accreditation status of my institution? What considerations must be made by the institution as it plans for this change and works to ensure ongoing compliance with applicable NASAD standards?

A: Many institutions have considered or implemented policies which provide to students the option of being evaluated on a pass/fail rather than letter grade basis. Such opportunities can provide flexibilities to students that serve to assist them as they navigate difficulties, both foreseen and unforeseen, which result from participation in courses now offered and delivered only via distance learning means. NASAD does not prescribe a particular structure or approach, rather it seeks to ensure that institutions have in place effective systems of evaluation. To this end, it is the responsibility of each of institution to design and implement grading policies that are “clear, accurate, and readily available” (see NASAD Handbook 2020-21, Standards for Accreditation II.I.1.a.). and to “maintain up-to-date records of each student’s educational progress including courses taken, grades, repertory studied, performances associated with degree or program requirements, and the results of other appropriate evaluations” (see NASAD Handbook 2020-21, Standards for Accreditation II.H.1.h.). Noting that grading systems serve to indicate levels of student achievement and the success of institutions in their efforts to educate and train students, each institution must “demonstrate that the educational and artistic development of students is first among all evaluative considerations” and in doing so that “regular, systematic attention…be given to evaluating the learning achievements of individual students” and that “individual evaluations…be analyzed and organized to produce an overall picture of the extent to which the educational and artistic purposes of the art/design unit are being attained” (see NASAD Handbook 2020-21, Standards for Accreditation II.L.1.b.(1-2)). Further, “reviews and evaluations must demonstrate consideration of the functions of study at all levels (graduate, undergraduate, and certificate or diploma programs) and the purposes, structure, content, and results of each specific program of study” (see NASAD Handbook 2020-21, Standards for Accreditation II.L.1.a.(4)). In the Handbook passages above, it is important to distinguish between that which is a standard (i.e., indicated by the terms such as must, shall) and that which is not (i.e., indicated by terms such as should, normally, percentage). As the institution considers options and implements changes, the following reminders are offered:

  • Representatives anticipating changes to existing policies and procedures are encouraged to review current institution-wide initiatives and approaches.
  • All policy changes whether temporary or permanent should be documented by the institution and disseminated and made available to appropriate constituencies.
  • Institutions may wish to seek review by legal counsel of any proposed change to ascertain the potential for risk and/or liability.
  • Temporary changes in grading policies may or may not be substantive and therefore may or may not require Commission review. Representatives are guided to contact the NASAD staff to discuss the nature and function of any modification.
  • Institutions are reminded to remain cognizant of federal and state requirements and statements as they pertain to grading policies and activities.

On Ground Operations

Q: With regard to on ground classes, studios, exhibitions, and the like, when can we resume daily/typical (before COVID-19) levels of activity? What effect will modifications to such practices have on the accreditation status of my institution? What issues are important to consider as we study the viability and safety of conducting in-person activities and events?

A: For many, NASAD is a source of information, stability, assistance, and wisdom – resulting historically from its intellectually-focused, institution-centered, and fair-minded approach to its accreditation responsibilities, and also from NASAD’s deep respect for all types and mixtures of artistic and intellectual work and for the artistic and intellectual work accomplished by member institutions. In its role to provide a forum for the exchange of ideas and dialogue, NASAD does not attempt to formulate doctrine, a curriculum, or a set of curricula to which all must adhere. NASAD seeks to preserve and enhance conditions that support different and institution-specific pathways, approaches, and agendas within the fields of art and design. The breadth of variety within NASAD is evidence of institutional creativity. A focus on function rather than method remains a condition of creative freedom in an organization of NASAD’s scope. With these principles firmly in place, NASAD conversations concentrate on institutions individually in light of existing realities in play; they assist institutions to open and/or expand dialogues which advance their efforts to consider, design, and implement tailor-made solutions that will lead them to actions that enable each on its own terms to address local conditions and realities. The practice of engaging in conversations which focus solely on a particular institution – its mission, its, goals, its desired outcomes – is a hallmark of the work of NASAD, and often provides abiding assistance and support to institutions, and nurtures approaches to thinking that can be captured and applied in the future to a multitude of situations. Employing this approach, conversations in which all parties are engaged often serve as catalysts which spur and support institutions to find their own answers, on their own terms, informed by their stated missions, answers also aligned with national standards. Although these conversations often focus on anticipated results, beyond the framework of functions outlined in the standards, NASAD avoids, and rightfully so, any suggestion of what an institution must do or how an institutional initiative must be accomplished. Such decisions can be made only by administrators and faculties possessing extensive knowledge of local realities, potential options and opportunities, and available resources, resources which may be needed and/or are available to support initiatives designed to address institution-specific challenges. During these particularly difficult times, it is important to recall that journeys marked by discoveries which result in the consideration of factual and applicable information can promote deeper understanding of conditions which may in turn, assist administrators to reach conclusions that take into account not only the health and safety of all individuals involved in the work of the art/design unit, but the work of the unit itself. As institutions offering art and design study consider the advisability of conducting on ground classes, studios, exhibitions, and the like, it remains imperative that definitive information be secured, studied, and used to support decision-making efforts, and that any advice received or good practices shared by others be entertained in light of what the institution is able to accomplish reasonably and within its means given existing resources.

Resumption of activities should be considered only after comprehensive consideration of salient facts has been undertaken, and only at such times when each institution deems that its activities may be conducted safely. Issues such as testing; quarantine guidelines; protocols when individuals are found to be symptomatic or test positive; physical distancing; queue markers; space capacities for facilities such as dining halls and restrooms; use capacity for tight spaces such as hallways, stairways, and elevators; total capacities for existing spaces such as dorm rooms, transportation vehicles; size of gatherings; use of masks, gloves, and shields; disinfecting and cleaning procedures and timelines for high and low touch surfaces; capacities of HVAC systems including air flow and turnover rate; and movement of air in spaces should be considered. Once protocols are approved, each should be memorialized in writing and shared as appropriate with members of the institution’s community. To assist institutions in this regard, NASM will be offering a series of professional development seminars based on scientific studies now underway which are focusing on bioaerosol emissions in the performing arts and possible proactive measures that can be taken to reduce exposures. Please see information pertaining to the topic-focused session entitled, Bioaerosol Emissions in the Performing Arts – Reducing Emissions and Exposures: A Multi-Part Series listed in the Informed Decision-Making section of this webpage.

The dialogues which take place between institutions and NASAD are tailored to assist and support institutions as they advance initiatives intended to strengthen the education and training provided to art and design students and advance the cause of art and design in higher education. These conversations focus on each institution individually. It is important to note that the provision of broad overarching statements which suggest general remedies or discipline-wide solutions for all could lead to incalculable harm to institutions and their students. Noting the changes being made by institutions in direct response to unfolding circumstances, some wonder whether NASAD will take immediate negative action which could jeopardize the accredited status of a current institutional member. It is important to remember that NASAD reviews each institution against the standards as they apply to the institution given its current and planned programs and initiatives. NASAD will continue to ascertain what has been promised to students, whether these promises are being fulfilled, and whether in fulfilling its promises, the institution continues to meet applicable standards expressed primarily in functions rather than methods. It is also important to remember that NASAD Commission reviews operate within an existing, established, and published system of due process – a system which opens conversations; welcomes dialogue; offers the opportunity to discuss comprehensively an institution’s initiatives, and based on these initiatives, its ongoing ability to comply with standards; and reaches conclusion only after consideration of all salient information. It is strongly recommended that institutions concerned about how standards are applied and ongoing standards compliance seek the counsel of the staff. Such conversations offer to art and design administrators opportunities to discuss and brainstorm a number of pressing issues. NASAD continues to encourage institutions to consult with local health and safety officials, to monitor information and guidelines released by the CDC, and as necessary, to seek review by legal counsel of any potential risk and/or liability which could be associated with decisions pertaining to resumption of on ground activities.

Assistance

Q: During these challenging times where can I find assistance?

A: Various types of assistance can be found within and beyond NASAD. Colleagues: The comfort of colleagues can and should be sought. Those who share an understanding of the challenges we face on a daily basis and provide kind and reassuring words at just the right moment, can awaken our tired and worn spirits and rejuvenate our resolve. Peer Institutions: The practices of peers may be helpful to know, but implementation of the practices of others should be studied carefully and undertaken only if the practice aligns with the institution’s intentions and abilities. NASAD Staff: NASAD staff members are available to discuss NASAD policies, protocols, procedures and standards, and those of external agencies/entities that may have a bearing on an institution’s ability to maintain compliance with applicable NASAD standards. Please do not hesitate to contact the staff before a thought turns into a worry, before a curiosity grows into a saga of epic proportion. A list of staff names and assigned responsibilities may be found online. Staff members stand ready to offer assistance. As well, please do not hesitate to contact the Executive Director if assistance is required (kmoynahan@arts-accredit.org; (703) 437-0700, ext. 116). Remember that regardless of how weary you are, you have more power than you know. Look to each other for comfort, to the activities of others for inspiration, to the work of those with appropriate expertise for information, to the work we as a field have accomplished as a source of pride. Have faith in your wisdom, your fortitude, and your ability to address what arrives on your desks tomorrow knowing that your leadership is ever more critical during these challenging and unprecedented times.