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Reporting & Compliance

Report Links
LCAP LEA/Title III SARC Second Interim Report
Official Message from the State Superintendent of Public Instruction
Re: Morgan Hill Concerned Parents Association vs CDE

 

School Accountability Report Cards (SARC)
This section provides links to accountability reports about the state of our schools for the school years listed below. Under California law, as well as the federal No Child Left Behind Act, school districts must provide a report card to show how schools and the district as a whole are performing. This report also must include data on how different groups of students are doing. The school reports tell you how your child’s school is doing compared to last year and to other schools. Reports for earlier years are available by contacting the District Office.

 

School Name

Report Years Available Online

Redwood Elementary

2008-09

2009-10

2010-11

    2013-14 2015-16

Dana Gray Elementary

2008-09

2009-10

2010-11

    2013-14 2015-16

Fort Bragg Middle School

2008-09

2009-10

2010-11

    2013-14 2015-16

Shelter Cove Community Day School

2008-09

Insufficient enrollment-no report

2010-11

    2013-14 2015-16

Fort Bragg High School

2008-09

2009-10

2010-11

2011-12 2012-13 2013-14 2015-16

Noyo Continuation High School

2008-09

2009-10

2010-11

    2013-14 2015-16

Lighthouse Community Day School

2008-09

2009-10

2010-11

    2013-14 2015-16



2016-2017 APPROVED BUDGET

State & Federal Reporting

*  Economic Impact Aid Funding 2013-2014
*  Education Protection Account Original Budget 2013-2014

 

 

 

 

 

 

Title III Year 2 Local Educational Agency Improvement Plan Addendum
In compliance with the Elementary and Secondary Education Act, Section 2133(b), the Title III Year 2 Local Educational Agency Improvement Plan is available for review by clicking the link in this article. The IPA was found to be complete by a team consisting of trained readers from the California Department of Education (CDE), County Offices of Education, and the California Comprehensive Center at West Ed. To meet compliance the Improvement Plan Addendum must be posted for public review, and implementation begins immediately. Questions regarding Title III Year 2 improvement requirements or the FBUSD improvement plan, may be directed to Charles Bush, Superintendent of Fort Bragg Unified School District.

 

Title III Year 3 Local Educational Agency Improvement Plan
 

Title III Budget 2015-16


LEA Plan Addendum
The No Child Left Behind (NCLB) Act of 2001 Section 1116(c)(7)(A) requires that local educational agencies (LEAs) identified for Program Improvement (PI) shall, no later than three months after being identified, develop or revise an LEA Plan, in consultation with parents, school staff, and others. Rather than completely rewriting the district’s existing LEA Plan, the California Department of Education (CDE) requires writing a Plan Addendum to address the following items.

• Address the fundamental teaching and learning needs in the schools of the LEA and the specific academic problems of low-achieving students, including a determination of why the prior LEA Plan failed to bring about increased student achievement.
• Identify actions that have the greatest likelihood of improving the achievement of students in meeting state standards.
• Incorporate scientifically based research strategies that strengthen the core academic program in schools served by the LEA.
• Include specific, measurable achievement goals and targets for all students and subgroups, addressing all elements of Adequate Yearly Progress (AYP).
• Address the professional development needs of the instructional staff.
• Identify how technical assistance will be obtained to support implementation of the LEA Plan revisions.
• Incorporate, as appropriate, learning activities before school, after school, during the summer, and during an extension of the school year.
• Include strategies to promote effective parental involvement in the school.
• Meet all requirements specified in NCLB Section 1116 (c)(7)(A)(i) through (viii).


The LEA Plan Addendum for Fort Bragg Unified School District was approved by Fort Bragg Unified Board of Trusties on June 25th, 2009.


LOCAL CONTROL ACCOUNTABILITY PLAN (LCAP) 2015-2016 UPDATE, 6-30-15

 LOCAL CONTROL ACCOUNTABILITY PLAN (LCAP) 2016-2017 UPDATE

Official Message from the State Superintendent of Public Instruction
Re: Morgan Hill Concerned Parents Association vs CDE

In April 2012, two organizations, the Morgan Hill Concerned Parents Association and the Concerned Parent Association (the plaintiffs), filed a lawsuit against the California Department of Education (CDE) alleging widespread, systemic non-compliance by local educational agencies with the Individuals with Disabilities Education Act (IDEA) and Section 504. The suit also alleges that the CDE fails to monitor, investigate, and correct such non-compliance in accordance with the law. The CDE denies these allegations and is actively defending the litigation.

As part of the litigation discovery process, the plaintiffs have requested numerous documents as well as student data collected and stored by the CDE. Many of the requested documents and data stored in the CDE databases contain personally identifiable information (PII) of children, including children with disabilities, children who requested an assessment or who were assessed for special education eligibility, and children who are attending or who have attended a California school at any time since January 1, 2008. Although the CDE has contested the production of such information, the court at this juncture has ordered the CDE to produce to plaintiffs’ legal counsel documents and data that contain student PII. Included in the court’s order to produce documents and data is a Protective Order prohibiting the plaintiffs and their legal counsel from disclosing confidential information acquired in the course of the lawsuit, including PII, to anyone other than the parties, their attorneys and consultants, and the court. None of this information may be used outside the context of this lawsuit; no student’s identifying records will be disclosed to the public.

As you know, the Family Educational Rights and Privacy Act (FERPA) sets out the requirements for the protection of privacy of parents and students, including privacy of student records. Generally, parents and/or students must provide written consent before an educational agency may disclose PII. However, there are exceptions to this general rule. Specifically, an educational agency must provide PII when ordered by a court, which the CDE has been ordered to do in this litigation. The CDE is obligated to inform the parent or student that the court has ordered it to produce documents and/or data that includes those individuals’ PII and that such persons may object directly to the court regarding this disclosure. To that end, and to comply with FERPA, the CDE is requesting LEAs and SELPAs post the following link to CDE’s Web site, http://www.cde.ca.gov/morganhillcase, from February 1, 2016, through April 1, 2016. The link provides the Notice and Objection Form required by FERPA. 

Fort Bragg Unified School District312 S. Lincoln St.Fort Bragg, CA  95437

707.961.2850

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