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ANIMALS ON CAMPUS The ADA: Beyond the ABC’s of Academics Part C Irene Bowen L. Scott Lissner Jeanine Worden AHEAD, July

ANIMALS ON CAMPUS The ADA: Beyond the ABC’s of Academics Part C Irene Bowen L. Scott Lissner Jeanine Worden AHEAD, July 2013.

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ANIMALS ON CAMPUS The ADA: Beyond the ABC’s of Academics Part C Irene Bowen L. Scott Lissner Jeanine Worden AHEAD, July

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  1. ANIMALS ON CAMPUSThe ADA: Beyond the ABC’sof AcademicsPart CIrene BowenL. Scott LissnerJeanine WordenAHEAD, July 2013
  2. The content provided in this presentation is for informational purposes only.  Neither the content nor delivery of the content is or shall be deemed to be legal advice or a legal opinion.  The audience cannot rely on the content delivered as applicable to any circumstance or fact pattern. The information provided is not a substitute for professional legal advice.
  3. Overview: Which setting, which law?
  4. The Americans with Disabilities Act The ADA (public and private entities) per DOJ Public and private entities must make reasonable modifications to policies where necessary to avoid discrimination Service animals (dogs) allowed where people go Miniature horses admitted to facility per assessment factors
  5. Section 504 of the Rehabilitation Act Department of Education: Postsecondary institutions receiving federal financial assistance must modify academic requirements to ensure they don’t discriminate on the basis of disability Regulation addresses guide dogs
  6. Fair Housing Act HUD regulations: In college or university housing, make reasonable accommodations for individuals who use assistance animals Can include emotional support or therapy animals (not just dogs)
  7. The American with Disabilities Act
  8. DOJ’s new ADA regulations Issued July 26, 2010 Updates to 1991/1994 regulations under titles II (28 C.F.R. part 35) and III (28 C.F.R. part 36) Regulations and guidance are at www.ada.gov
  9. Service animals
  10. ADA regulations:Reasonable modifications Entity must make reasonable modifications in policies, practices, or procedures, when necessary to avoid discrimination. Modify policies, practices, or procedures to permit the use of a service animal by an individual with a disability. Permit individuals with service animals in all areas where members of the public, participants, invitees are allowed to go.
  11. Service animal: definition A dog that is individually trained to do work or perform tasks for the benefit of an individual with a disability (including psychiatric, cognitive, mental)
  12. Examples of tasks (1) Assist during seizure Retrieve medicine or other items Help individual with dissociative identity disorder to remain grounded
  13. Examples of tasks (2) Prevent/interrupt impulsive or destructive behavior Assist with balance, stability Provide non-violent protection or rescue work
  14. Emotional support/comfort? If this is the only function, not considered a service animal A service animal for a person with a psychiatric or other mental disability performs a task, e.g., detects and responds
  15. Can ask only two questions Is this service animal required because of a disability? What work or tasks is the animal trained to perform? Can’t ask about disability.
  16. Other issues (1) An entity can exclude a service animal if -- it is not controlled or it is not housebroken. Entity is not responsible for care or supervision. No “service animal” license or documentation required.
  17. Other issues (2) No deposits can be required (beyond the usual) But individual is responsible for damage beyond usual wear and tear State and local requirements may also apply Can consider allergies of other people with disabilities: See DOJ agreement: Law firm settled after requiring client to leave service dog outside office due to attorneys’ allergies, phobia http://www.ada.gov/larkin-cd.htm
  18. Psychiatric service animal case Alejandro v. Palm Beach State College, S.D. Fla. (2011) Student diagnosed with PTSD, major depressive disorder, ADHD, learning disorder. Then trained her dog as a psychiatric service animal. After she took dog to class for more than a year, it was banned from class.
  19. Court’s decision Alejandro has substantial likelihood of showing -- She is an individual with a disability under the ADA. Her dog qualifies as a service animal: trained to establish eye contact, nip her fingers, or snort when he perceived an imminent panic attack. The dog is “crucial” to her ability to engage in “major life activities” of studying, learning and attending school. College must permit her dog in all areas of campus, including the library, writing lab, cafeteria, and classrooms, until case is resolved.
  20. Outcome Later settled Training of administrators Almost $100,000 from college www.bazelon.org/LinkClick.aspx?fileticket=Rs5_Ily_Riw%3d&tabid=600
  21. Miniature horses
  22. ADA regulations Make reasonable modifications to permit if appropriate Allowed if Reasonable Individually trained
  23. Use assessment factors Type, size, weight (whether facility can accommodate) Handler’s control Whether housebroken Legitimate safety requirements of specific facility
  24. Resources DOJ ADA Requirements: Service Animals http://www.ada.gov/service_animals_2010.htm http://www.ada.gov/service_animals_2010.pdf DOJ web site: www.ada.gov DOJ information line: 800 - 514 - 0301 (voice) 800 - 514 - 0383 (TTY) ADA TA Centers: 800-949-4232 (Voice/TTY) ADA One, LLC -- Two articles from AHEAD’s newsletter The Ides of March are upon us: Are you complying with DOJ’s new regulations about service animals? http://ada-one.com/articles-tips/ahead-of-the-ada-access-curve-part-5/ A Case of a Different Animal: DOJ’s lawsuit against the University of Nebraska about emotional assistance animals http://ada-one.com/articles-tips/ahead-of-the-ada-access-curve-part-8/
  25. Section 504
  26. AcommodatingNo Pets Policies Begin with ADA Service Animal inquiry If it meets the ADA Service Animal criterion you meet your Section 504 obligations following the ADA regulations. If it is not a service animal is the request an accommodation request?
  27. Excerpt: “Service Animals in Post Secondary Education Settings” June 18, 2013 ADA On Line CALLER: “Okay. But if it wasn't the service animal under the ADA, might there be some obligation under 504 in non-housing situations to permit the animal?” RAMIN TAHERI, Staff Attorney, U.S. Department of Education: “If it's not a service animal under the ADA, it's not a service animal. And Schools are free to modify their policies however they feel necessary to avoid disability-based discrimination. But we're not talking about the service animal analysis outlined in the ADA.” CALLER: “Right, they can modify their policy. I guess what I am trying to get at is if something is not a service animal, but for instance, a rabbit, the person says they need it in order to function at the school because of a psychiatric disability, and they have documentation of that, let's say, might 504 require the school to permit the rabbit as a reasonable accommodation in non-housing situations? “ RAMIN TAHERI: “Section 504 would require the school to modify their policies and procedures as necessary to avoid discrimination. The student with a disability who wants to use a non-service animal, for instance, the rabbit, is free to follow the particular college's reasonable procedures for requesting a modification or an accommodation. We would hope to see, as Jeanine mentioned, an interactive process in determining what is appropriate and necessary. And it's going to be a case-by-case basis.” http://www.ada-audio.org/Archives/AudioConference/index.php?type=transcript&id=2013-06-18&app=1
  28. RESOURCES Archived Webinar Service Animals in Post Secondary Education Settings” June 18, 2013 http://www.ada-audio.org/Archives/AudioConference/index.php?type=transcript&id=2013-06-18&app=1 Title II State and Local Government 28 C.F.R. Part 35 (with guidance) http://www.ada.gov/regs2010/titleII_2010/titleII_2010_regulations.htm Title III Places of Public Accommodation 28 C.F.R. Part 36 (with guidance) http://www.ada.gov/regs2010/titleIII_2010/titleIII_2010_regulations.pdf Department of Justice Revised FAQ on Service Animals http://www.ada.gov/service_animals_2010.htm National ADA Network (DBTAC) Fact Sheet # 5 http://www.humancentereddesign.org/neada/documents/National_ADA_Center_Fact_Sheet_5_SERVICE_ANIMALS.pdf Dept. of Housing and Urban Development Memo: New ADA Regulations and Assistance Animals as Reasonable Accommodations under the Fair Housing Act and Section 504 of the Rehabilitation Act of 1973  http://www.nacua.org/documents/FHA_Memo_ServiceAnimals.PDF
  29. The Fair Housing Act
  30. Fair Housing Act

    Access for Individuals Who Use Service Animals and Assistance Animals
  31. Fair Housing Act Application The Fair Housing Act applies to virtually all housing, whether or not there is federal financial assistance Covered housing includes college and university housing, including dormitories and other student housing, fraternities and sororities, and faculty housing. Recent decision holding that student housing is covered. U.S. v. Univ. of Nebraska at Kearney, 2013 U.S. Dist. Lexis 56009 (D. Neb. April 19, 2013)
  32. Obligation to Make Reasonable Accommodations The Fair Housing Act requires housing providers to make reasonable accommodations for individuals with disabilities who use assistance animals Individuals with disabilities who may need such accommodations include: Applicants, tenants, and residents Their family members Other persons associated with residents, tenants and applicants.
  33. Assistance Animals Provide support, assistance or service Include emotional support or therapy animals – terminology used is not important May be trained or untrained Not just dogs – examples: cat, bird, guinea pig, ferret, miniature horse, capuchin monkey, etc.
  34. Assistance Animal Must be Permitted If… Individual has disability, as defined in Fair Housing Act, AND There is a relationship between the individual’s disability and the assistance provided by the animal
  35. Applying the principles … Oral request is enough -- written application may not be required Process should be easy and quick No verification needed if disability and need for animal are observable or known to housing provider Many ways individual may verify disability/need: note from doctor, other medical or social service professional, peer support group, non-medical service agency, reliable third party in a position to know, or the individual himself (proof of receipt of SSDI, SSI, rehabilitation services, or credible statement)
  36. Housing Provider Does Not Need Details about the history, nature, or extent of the disability Access to medical records Detailed information about the animal
  37. Individual is Responsible For maintaining his/her assistance animal For controlling his/her assistance animal
  38. Conditions May Not Be Imposed No breed, weight, or size limitations No fee, deposit, insurance, hold harmless agreement, extra inspections, “pet rules,” veterinary certificates/records, student contract, or special conditions No restrictions on indoor or outdoor access to any areas of housing and public and common use areas associated with housing
  39. Bases for Denial or Exclusion Specific animal poses a direct threat (individualized assessment based on recent credible, objective evidence relating to specific animal’s actual conduct – not speculation about type or breed of animal). Undue Financial and Administrative Burden (very high standard to meet – generally not applicable) Fundamental Alteration (very high standard – typically not applicable)
  40. When Both the ADA and the Fair Housing Act apply … HUD recommends applying the ADA first. If an animal is a service animal under the ADA definition, a separate Fair Housing Act analysis is unnecessary. Access must be granted. Applying the Fair Housing Act first could result in ADA violations. If the animal is not a service animal or a miniature horse covered by the ADA, you must then determine if a reasonable accommodation is required for an assistance animal under the Fair Housing Act.
  41. HUD Process Complaint Investigation and Conciliation Determination of Reasonable Cause or No Reasonable Cause Charge of Discrimination Opportunity to choose forum for litigation Litigation before HUD ALJ or in federal court
  42. More Information U.S. Department of Housing and Urban Development: Service Animals and Assistance Animals for People with Disabilities in Housing and HUD Programs, http://portal.hud.gov/hudportal/documents/huddoc?id=servanimals_ntcfheo2013-01.pdf U.S. Department of Housing and Urban Development and U.S. Department of Justice: Joint Statement on Reasonable Accommodations under the Fair Housing Act, www.hud.gov/offices/fheo/library/huddojstatement.pdf Fair Housing Act complaint can be filed with HUD’s Office of Fair Housing and Equal Opportunity at http://portal.hud.gov/hudportal/HUD?src=/program_offices/fair_housing_equal_opp/online-complaint
  43. APPROACHES ON CAMPUS
  44. What is Your Service & Assistance Animal Policy?
  45. Service Animals Tiered Training No ID badges or vests Is that a Service Animal for a disability? What Services does it perform? Anywhere you can go Behavior – under control Not the same as on a leash Applicable code of conduct
  46. Assistance (Support) Animals Training: referral to accommodation process Reasonable Documentation Other Species (safety and control considerations) May limit areas of access based on objective data May consider other effective accommodations
  47. A Word About Clinical & Other Unique Settings Clinical Settings CDC guidance made simple, “Do you gown up?” Practica, internships & externships Representative selection of sights Work Study & Campus Employment Title I accommodation process
  48. CONTACT

    Irene Bowen, J.D. President, ADA One 9 Montvale Court Silver Spring, MD 20904 http://ADA-One.com IreneBowen@ADA-One.com 301 879 4542 (O) 301 236 0754 (F)
  49. CONTACT L. Scott Lissner, ADA Coordinator, The Ohio State University Office of Diversity And Inclusion 281 West Lane Ave. Columbus, OH 43210 Lissner.2@OSU.EDUHttp://ada.osu.edu (614) 292-6207(v); (614) 688-8605(tty) (614) 688-3665(fax)
  50. CONTACT Jeanine Worden Associate General Counsel for Fair Housing U.S. Dept. of Housing and Urban Development Office of the General Counsel Washington, D.C. 202-402-5188 jeanine.worden@hud.gov
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