Final Priority-Investing in Innovation Fund, 32209-32215 [2015-13671]
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Vol. 80
Friday,
No. 108
June 5, 2015
Part II
Department of Education
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34 CFR Subtitle A
Final Priority—Investing in Innovation Fund; Applications for New Awards;
Investing in Innovation Fund—Validation Grants; Applications for New
Awards; Investing in Innovation Fund—Scale-Up Grants; Rule and Notices
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Federal Register / Vol. 80, No. 108 / Friday, June 5, 2015 / Rules and Regulations
DEPARTMENT OF EDUCATION
34 CFR Subtitle A
[Docket ID ED–2015–OII–0006]
RIN 1855–ZA10
Final Priority—Investing in Innovation
Fund
[Catalog of Federal Domestic Assistance
(CFDA) Numbers: 84.411A (Scale-up
grants), 84.411B (Validation grants), and
84.411C (Development grants)]
Office of Innovation and
Improvement, Department of Education.
ACTION: Final priority.
AGENCY:
The Assistant Deputy
Secretary for Innovation and
Improvement announces a priority
under the Investing in Innovation Fund
(i3). The Assistant Deputy Secretary
may use this priority for competitions in
fiscal year (FY) 2015 and later years.
The priority does not repeal or replace
previously established priorities for this
program.
DATES: This priority is effective July 6,
2015.
FOR FURTHER INFORMATION CONTACT:
Allison Moss, U.S. Department of
Education, 400 Maryland Avenue SW.,
Room 4W319, Washington, DC 20202.
Telephone: (202) 453–7122 or by email:
i3@ed.gov.
If you use a telecommunications
device for the deaf (TDD) or a text
telephone (TTY), call the Federal Relay
Service (FRS), toll free, at 1–800–877–
8339.
SUMMARY:
Summary
of the Major Provisions of This
Regulatory Action: In this document,
the Department announces a priority for
the i3 program that promotes the
implementation of comprehensive high
school reform and redesign strategies.
This priority may be used in the
Development, Validation, or Scale-up
tier of the i3 program in FY 2015 and
future years, as appropriate. We have
made one change from the priority
proposed in the Federal Register on
March 17, 2015 (80 FR 13803). The
priority announced in this document
includes language that expands the
types of schools in which applicants
may propose to implement
comprehensive high school reform
strategies. We make this change in
response to comments received from the
public and in an effort to ensure that the
priority is designed to support high
schools that are most in need of
comprehensive reform.
Costs and Benefits: The Assistant
Deputy Secretary believes that the
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SUPPLEMENTARY INFORMATION:
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priority does not impose significant
costs on eligible applicants seeking
assistance through the i3 program.
The priority is designed to be used in
conjunction with several priorities that
have already been established under the
i3 program, and no priority, whether it
is used as an absolute or competitive
preference priority, affects the overall
amount of funding available to
individual applicants in any given fiscal
year.
In addition, we note that participation
in this program is voluntary. Potential
applicants need to consider carefully
the effort that will be required to
prepare a strong application, their
capacity to implement a project
successfully, and their chances of
submitting a successful application. We
believe that the costs imposed on
applicants by the priority would be
limited to paperwork burden related to
preparing an application and that the
benefits of implementing these
proposals would outweigh any costs
incurred by applicants. The costs of
carrying out activities would be paid for
with program funds and with matching
funds that can be provided by privatesector partners other than the applicant.
Thus, the costs of implementation need
not be a burden for any eligible
applicants, including small entities.
Purpose of Program: The i3 program
addresses two related challenges. First,
there are too few practices in education
supported by rigorous evidence of
effectiveness, despite national attention
paid to finding practices that are
effective in improving education
outcomes in the decade since the
establishment of the Department’s
Institute of Education Sciences. Second,
there are limited incentives to expand
effective practices substantially and to
use those practices to serve more
students across schools, districts, and
States. As a result, students do not
always have access to high-quality
programs.
The i3 program addresses these two
challenges through its multi-tier
structure that links the amount of
funding that an applicant may receive to
the quality of the evidence supporting
the efficacy of the proposed project.
Applicants proposing practices
supported by limited evidence can
receive small grants to support the
development and initial evaluation of
promising practices and help to identify
new solutions to pressing challenges;
applicants proposing practices
supported by evidence from rigorous
evaluations, such as large randomized
controlled trials, can receive
substantially larger grants to support
expansion across the Nation. This
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structure provides incentives for
applicants to build evidence of
effectiveness of their proposed projects
and to address the barriers to serving
more students across schools, districts,
and States so that applicants can
compete for more sizeable grants.
As importantly, all i3 projects are
required to generate additional evidence
of effectiveness. All i3 grantees must use
part of their grant award to conduct
independent evaluations of their
projects. This ensures that projects
funded under the i3 program contribute
significantly to improving the
information available to practitioners
and policymakers about which practices
work, for which types of students, and
in which contexts. More information
about the i3 program, including
information about eligible applicants,
can be found in the notice of final
priorities, requirements, definitions, and
selection criteria, published in the
Federal Register on March 27, 2013 (78
FR 18682).
Program Authority: American Recovery
and Reinvestment Act of 2009 (ARRA),
Division A, Section 14007, Pub. L. 111–5.
We published a notice of proposed
priority (NPP) for this program in the
Federal Register on March 17, 2015 (80
FR 13803). That notice contained
background information and our reasons
for proposing the particular priority.
Public Comment: In response to our
invitation in the NPP, 14 parties
submitted comments on the proposed
priority.
We group major issues according to
subject. Generally, we do not address
technical and other minor changes.
Analysis of the Comments and
Changes: An analysis of the comments
and of any changes in the priority since
publication of the NPP follows.
Comment: Several commenters
generally approved of the priority, but
expressed concerns that the priority’s
requirement that applicants serve
schools that are eligible to operate Title
I schoolwide assistance programs under
section 1114 of the Elementary and
Secondary Education Act of 1965
(ESEA), as amended, was problematic.
One commenter noted that including
such language in the priority would
exclude projects that are designed to
serve high school students who are
participating in regionally benefical
district-wide reform efforts. One
commenter echoed this concern, and
requested that we allow applicants to
determine that not less than 40 percent
of the students served by the project
will be from low-income families by
aggregating the students across all
schools that will be served. Another
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commenter indicated that, if we do
intend to require that projects designed
to address this priority support the
above-referenced schools, we must take
steps to ensure that applicants are aware
of the different ways in which a school
may qualify to operate Title I
schoolwide assistance programs. The
commenter explained that high school
students do not often identify
themselves as being eligible for free- and
reduced-priced lunch, even if they do
qualify for such assistance. A third
commenter raised similar concerns and
asked that we edit the priority so that it
would support projects designed to
support schools where not less than 40
percent of students are from low-income
families, as calculated under section
1113 of the ESEA. The commenter also
asked that we clarify that applicants
could demonstrate eligibility under this
priority by using a feeder pattern, and
noted that the Department had issued
non-regulatory guidance in 2003
indicating that such an approach would
be acceptable for demonstrating that a
school meets Title I requirements.
Discussion: We thank the commenters
for expressing these concerns, and note
that Congress, in the Explanatory
Statement of the Fiscal Year 2015
Appropriations Act, directed the
Department, in making new awards
with FY 2015 i3 funds, to establish a
priority to support high school reform in
schools where not less than 40 percent
of students are from low-income
families. We proposed to carry out this
congressional directive through a
priority to support schools eligible to
operate Title I schoolwide assistance
programs. However, upon review of the
commenters’ concerns, we have
determined that revisions to the priority
are necessary in order to ensure that
projects designed to address this
priority implement high school reform
strategies in schools with demonstrated
need. We think the revisions we have
made fully reflect Congress’ stated
interest in supporting schools where not
less than 40 percent of students are from
low-income families, but allow enough
flexibility to ensure that applicants have
some discretion in determining which
schools are most in need of
comprehensive reform.
We also note that upon further
review, we determined that the
proposed priority may cause
unintended difficulties for applicants
that are not yet able to identify, at the
time their proposals are due to be
submitted, all of the schools that would
be included in their proposed projects.
With the expanded language, we ensure
that applicants with plans to scale their
projects could do so, but note that those
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applicants would still need to establish
that they will serve schools that can
demonstrate that not less than 40
percent of their students are from lowincome families. We also note that all i3
grantees must serve high-need students.
Changes: We have broadened the
requirements for which types of schools
may be included in a project under this
priority.
Comment: One commenter expressed
support for the priority but requested
clarification. Specifically, the
commenter inquired whether an
applicant could fully address the
priority if it proposed to implement its
project in a school that meets Title I
schoolwide assistance eligibility
criteria, but is not designated as a Title
I school because needs are greater for
other schools in its district.
Discussion: If an applicant proposes
to address the priority by designing a
project that would serve a school that is
eligible to operate Title I schoolwide
assistance programs under section 1114
of the ESEA, and the applicant provides
appropriate evidence of that eligibility
in its application, we would consider
such a project as adequately addressing
the priority even if the school in
question is not currently operating such
a program. We note that all i3 grantees
must serve high-need students, and
encourage applicants to consider
carefully whether their proposed
projects are reaching those students who
are most in need of support. We also
note that in response to concerns raised
by other commenters, discussed above,
we have further clarified the priority.
Changes: None.
Comment: One commenter inquired
whether a ‘‘feeder-to-high school’’
intervention that reflects the continuous
progression of instructional standards
would address the priority. The
commenter noted more generally that it
is important we consider the learning
trajectories of students, and how those
trajectories may change over time.
Discussion: We agree that projects
should be designed to adapt to changing
needs of students over time in order to
better ensure appropriate support.
In addition, we think that a project
such as that described by the
commenter could meet the priority,
assuming the applicant provides a
thorough and complete discussion of
how its proposal is designed to increase
the number and percentage of students
who graduate from high school collegeand career-ready and enroll in college,
other postsecondary education, or other
career and technical education.
Changes: None.
Comment: One commenter asked that
we expand the priority to include
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strategies that would improve school
climate, particularly relationships
between students and their teachers.
Another commenter noted that the
priority could be strengthened by more
explicitly supporting expanded learning
opportunities and strategies in order to
improve student engagement in school.
Discussion: We agree that school
climate and student engagement play
important roles in fostering student
success and well-being, and indeed can
be taken into account by an applicant
when designing a comprehensive high
school reform strategy. We note,
however, that in 2013 (78 FR 18681), the
i3 program established a priority that
addresses low-performing schools. That
priority includes areas of focus on
improving school performance and
culture, addressing non-academic
factors that affect student achievement,
and enhancing student engagement in
learning. In addition, in 2014 (79 FR
73425) the Department established a set
of supplemental priorities and
definitions that may be used in any
discretionary grant program, including
the i3 program. These priorities include
one that specifically focuses on
improving school climate. As such, we
believe that mechanisms for addressing
the commenters’ concerns already exist,
and it is not necessary to change the
priority.
Changes: None.
Comment: One commenter requested
that we more specifically promote early
college high schools and dual
enrollment as strategies that would be
supported by the priority. A second
commenter suggested that we explicitly
promote small schools of choice models,
and noted that such strategies are
supported by evidence that meets the
What Works Clearinghouse Evidence
Standards. Another commenter
suggested that we revise the priority to
include a specific focus on competencybased learning models. The commenter
also requested that we encourage
applicants to embed strategies for
collecting and sharing data effectively
into their proposed projects;
specifically, the commenter suggested
that projects designed to address this
priority make teacher effectiveness and
student postsecondary enrollment data
publicly available.
Discussion: While we agree that a
proposed project that utilizes such
strategies could address the priority,
assuming the project meets all other
necessary requirements, we decline to
prescribe specific strategies to
applicants. We think that applicants are
best-suited to determine the most
appropriate strategies for their
communities, and encourage applicants
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to consider several factors, including the
extent of available research on possible
strategies, when designing their
proposed projects. We generally
encourage applicants to use data to
make informed decisions, and note that
any data that are shared publicly must
be done so in accordance with
applicable privacy laws.
Changes: None.
Comment: One commenter asked that
we revise the priority to focus more
clearly on comprehensive academic
support that could be achieved through
partnerships with postsecondary
institutions or through extracurricular
programs. The commenter also noted
that students can improve their collegeand career-readiness through study of
the social sciences, in addition to
science, technology, engineering, and
mathematics (STEM).
Discussion: We agree with the
commenter that efforts to improve
comprehensive academic support,
through partnerships with
postsecondary institutions,
extracurricular programs, or other
means could be important aspects of a
project designed to meet this priority.
We note that such projects, assuming
they are designed to be implemented in
the appropriate school settings, would
address this priority. However, we
decline to prescribe specific strategies to
applicants because we think that
applicants are best-suited to determine
the most appropriate strategies for their
communities.
We also agree that students can
improve their college- and career-ready
skills through the study of a wide
variety of subjects that encompass the
social sciences as well as STEM-related
fields. We note that the second
paragraph of the priority provides
illustrative examples for applicants to
consider when preparing an application;
we will not disqualify an applicant that
proposes a project designed to improve
social studies education so long as that
project meets the requirements outlined
in the first paragraph of the priority and
meets all relevant eligibility
requirements.
Changes: None.
Comment: One commenter expressed
support for the priority and encouraged
us to use it, in FY 2015 and in future
years, in conjunction with a priority
focused on improving principal
effectiveness, which was published in
the Federal Register, along with 14
other supplemental priorities for
discretionary grant programs, on
December 10, 2014 (79 FR 73425).
Another commenter expanded on this
suggestion, requesting that we revise the
priority to reflect the need for
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meaningful professional development
for teachers and principals in any
comprehensive high school reform
strategy.
Discussion: We thank the commenter
for the suggested use of the priority in
this and future competitions and
recognize that such a combination
would be possible. We also note that on
March 30, 2015, we published in the
Federal Register a notice inviting
applications for i3 Development awards
(80 FR 16648), and in that document we
include the above-referenced principal
effectiveness priority as an absolute
priority.
We agree with the commenter that
teachers and principals who are
supported to be effective are integral
parts of any comprehensive high school
reform strategy. We encourage
applicants to consider carefully the
needs of their schools, including their
schools’ staff, when designing a project
to address this priority. We do not think
it is necessary to revise the priority in
order to specifically mention
meaningful professional development
for teachers and principals. We want
toprovide an applicant that is
responding to this priority with the
flexibility to decide whether to address
this concern.
Changes: None.
Comment: One commenter suggested
that we revise the priority to include a
focus on cultivating partnerships with
external organizations, noting that such
strategic partnerships can help a grantee
to maximize the impact of school
improvement efforts.
Discussion: We agree that building
relationships with community and other
partners is a useful strategy to ensure
maximum impact, and long-term
sustainability, of a project. We note that
all LEA i3 grantees are required to
establish partnerships with private
sector entities and all i3 grantees are
required to secure private sector
matching funds before receiving their i3
grant. We expect that a private sector
entity with which a grantee chooses to
partner will be a key stakeholder in the
project with a vested interest in
ensuring its ultimate success. Because
we already require grantees to secure
private sector matching funds to further
support their i3 projects, we do not
think think further revisions to the
priority are necessary.
Changes: None.
Comment: One commenter generally
approved of the priority, but suggested
that we revise the priority to allow
applicants to focus on students of
highest need as part of their proposed
comprehensive high school reform
strategy. The commenter suggested this
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revision in order to ensure that funded
projects ensure equitable outcomes for
all students.
Discussion: All 13 grantees are
required to implement practices that are
designed to improve student
achievement or student growth, close
achievement gaps, decrease dropout
rates, increase high school graduation
rates, or increase college enrollment and
completion rates for high-need students.
We agree with the commenter that
projects designed to address this
priority would need to propose
strategies that are comprehensive, but
we note that applicants should consider
carefully the needs in their schools. We
think the applicant is best-suited to
determine how best to improve
outcomes for all students through a
comprehensive high school reform
strategy, and do not think that changes
to the priority are necessary to address
the commenter’s concern.
Changes: None.
Comment: One commenter urged the
Department to revise the priority to
include a focus on increasing racial and
socioeconomic diversity, and decreasing
racial and socioeconomic isolation, in
schools.
Discussion: We agree with the
commenter that maintaining racial and
socioeconomic diversity in schools is
important to ensure that students are
fully prepared to be successful in their
careers and in life. We thank the
commenter for noting that on December
10, 2014, the Department published in
the Federal Register a priority that
focuses on increasing diversity, and that
the priority is designed so that the
Department has the option to use it in
any discretionary grant program (79 FR
73425). We note that in FY 2015 or in
future years, the i3 program could use
this priority as an absolute or
competitive preference priority in
combination with the priority
announced in this document. We also
note that other Department programs,
such as the Magnet Schools Assistance
Program, have encouraged applicants to
propose strategies to increase diversity
in schools. Because mechanisms for
including a focus on diversity already
exist, we do not think a change to the
priority is necessary.
Changes: None.
Comment: One commenter urged the
Department to ensure that the priority
supports projects that are designed to
use comprehensive high school reform
strategies in a way that increases the
number of low-income students who
matriculate into postsecondary
programs.
Discussion: We agree that any priority
used in a discretionary grant program
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should include a clear discussion of the
outcomes we wish to see as a result of
funded projects. We note that the
priority requires that projects be
designed to increase the number and
percentage of students who graduate
high school college- and career-ready
and enroll in postsecondary programs.
We also note that the priority requires
that projects designed to address it be
implemented in schools with large
populations of low-income students.
Finally, we note the i3 program’s overall
requirement that funded projects be
designed to improve student
achievement or student growth, close
achievement gaps, decrease dropout
rates, increase high school graduation
rates, or increase college enrollment and
completion rates for high-need students.
While we agree that the priority should
help to increase the number of lowincome students who matriculate into
postsecondary programs, we do not
think that changes to the priority are
necessary to address this.
Changes: None.
Comment: Three commenters
expressed general support for the
priority, but noted concerns that do not
directly relate to it. One commenter
expressed interest in learning about the
other mechanisms the Department has
to provide support to schools across the
nation that are in need of additional
funding. Another commenter expressed
concern that our current portfolio of
grantees does not employ external staff
to carry out project evaluations, thus
introducing bias to any impact findings
that are ultimately reported. Finally, a
commenter requested that in future
competitions we use a pre-application
process in the Validation and Scale-up
competitions, similar to the process we
have used in the past several years for
the Development competition.
Discussion: Although we generally do
not respond to comments that are not
related to the proposed priority
published in the Federal Register on
March 17, 2015 (80 FR 13803), we think
it is important to clarify several aspects
of the i3 program as well as the
Department’s mechanisms for providing
assistance more broadly. First, we note
that the majority of the funding the
Department provides to States and local
educational agencies (LEAs) is through
State-administered formula programs,
such as Part A of Title I of the ESEA and
Part B of the Individuals with
Disabilities Education Act. This means,
generally, that if an entity meets the
eligibility requirements set out in a
formula program, that entity is entitled
to funding and does not need to
compete. By contrast, the funding the
Department has provided to grantees
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under the i3 program and other
discretionary grant programs represents
a relatively small portion of the total
funding with which we support
students. For information on the
Department’s planned funding for
discretionary grant programs for FY
2015, please review the Forecast of
Funding Opportunities at www2.ed.gov/
fund/grant/find/edlite-forecast.html.
Second, we note that per the notice of
final priorities, requirements,
definitions, and selection criteria for
this program, published in the Federal
Register on March 27, 2013 (78 FR
18681), all i3 grantees are required to
conduct an independent evaluation of
their projects, which means that the
evaluation must be designed and carried
out independent of, but in coordination
with, any employees of the entities who
develop a process, product, strategy, or
practice and are implementing it. We
think the independent evaluation is a
critical element of the i3 program and
note that we have required grantees to
conduct independent evaluations since
the first year in which we provided
funding.
Finally, we appreciate the suggestion
to use a pre-application process in the
Validation and Scale-up competitions
and we are pleased to learn that the preapplication process used in the
Development competition has worked
well for applicants. Our primary reason
for implementing the process in FY
2012 and in subsequent years was to
reduce burden for Development
applicants proposing to pilot brand new
ideas. We also wanted to find a way to
better manage very high numbers of
applications submitted to the
Development competition. By first
asking applicants to submit a sevenpage pre-application, and providing
those applicants with initial feedback
from expert reviewers, we greatly
reduced the volume of applicants
submitting full applications, reducing
burden for applicants that needed to
spend more time developing their
proposals in order to increase their
likelihood of ultimately submitting a
successful application. We also found
that the process decreased burden for
Department staff and expert reviewers.
Most importantly, we found that with
this process, we were still able to fund
high-quality Development applications.
While this process has worked well in
the Development competition, we are
not likely to use it in the Validation or
Scale-up competitions for two reasons.
First, we receive far fewer applications
for these competitions, so the initial
triage provided by a pre-application
process is not necessary. Second, an
important aspect of the Validation and
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Scale-up competitions is the level of
evidence that an applicant must use to
support its proposed project. While in
the Development competition, we use
the pre-application process to provide
initial feedback on novel approaches,
initial feedback on Validation and
Scale-up applications would be quite
different, because the proposed
approaches, to be eligible for funding,
must be supported by strong or
moderate evidence of their
effectiveness. Therefore, while we
appreciate the commenter’s suggestion
to use a pre-application process for all
three competitions, we do not think the
approach is necessary or practical.
Changes: None.
Comment: One commenter expressed
general disapproval of the priority and
the i3 program. The commenter noted
that our rationale for proposing the
priority was flawed and that
applications funded under this priority
will not lead to projects that
successfully improve outcomes for
students.
Discussion: We appreciate the
commenter’s concerns. Through the i3
program, we seek to fund innovative
approaches to persistent challenges in
education, and require that all i3
grantees partner with an independent
evaluator in order to determine which
approaches work. While we strive to
fund projects that are most likely to
have successful outcomes, we
understand that it is equally important
to learn which approaches do not work,
and why.
Changes: None.
Comment: One commenter expressed
support for the priority and noted the
important role career and technical
education programming can play in
comprehensive high school reform
models.
Discussion: We thank the commenter
for the support.
Changes: None.
FINAL PRIORITY:
Priority—Implementing
Comprehensive High School Reform and
Redesign.
Under this priority, we provide
funding to support comprehensive high
school reform and redesign strategies in
high schools eligible to operate Title I
schoolwide programs under section
1114 of the Elementary and Secondary
Education Act of 1965, as amended, or
in schools that can demonstrate that not
less than 40 percent of students are from
low-income families. These strategies
must be designed to increase the
number and percentage of students who
graduate from high school college- and
career-ready and enroll in college, other
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postsecondary education, or other career
and technical education.
These strategies could include
elements such as implementing a
rigorous college- and career-ready
curriculum; providing accelerated
learning opportunities; supporting
personalized learning; developing
robust links between student work and
real-world experiences to better prepare
students for their future; improving the
readiness of students for post-secondary
education in STEM fields; or reducing
the need for remediation, among others.
Types of Priorities:
When inviting applications for a
competition using one or more
priorities, we designate the type of each
priority as absolute, competitive
preference, or invitational through a
notice in the Federal Register. The
effect of each type of priority follows:
Absolute priority: Under an absolute
priority, we consider only applications
that meet the priority (34 CFR
75.105(c)(3)).
Note: In the i3 competition, each
application must choose to address one of the
absolute priorities, and projects are grouped
by that absolute priority for the purposes of
peer review and funding determinations. For
the competition with FY 2015 funds,
Congress directed the Department to
designate the priority announced in this
document as an absolute priority.
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Competitive preference priority:
Under a competitive preference priority,
we give competitive preference to an
application by (1) awarding additional
points, depending on the extent to
which the application meets the priority
(34 CFR 75.105(c)(2)(i)); or (2) selecting
an application that meets the priority
over an application of comparable merit
that does not meet the priority (34 CFR
75.105(c)(2)(ii)).
Invitational priority: Under an
invitational priority, we are particularly
interested in applications that meet the
priority. However, we do not give an
application that meets the priority a
preference over other applications (34
CFR 75.105(c)(1)). This notice does not
preclude us from proposing additional
priorities, requirements, definitions, or
selection criteria, subject to meeting
applicable rulemaking requirements.
Note: This notice does not solicit
applications. In any year in which we choose
to use this priority, we invite applications
through a notice in the Federal Register.
Executive Orders 12866 and 13563
Regulatory Impact Analysis
Under Executive Order 12866, the
Secretary must determine whether this
regulatory action is ‘‘significant’’ and,
therefore, subject to the requirements of
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the Executive order and subject to
review by the Office of Management and
Budget (OMB). Section 3(f) of Executive
Order 12866 defines a ‘‘significant
regulatory action’’ as an action likely to
result in a rule that may—
(1) Have an annual effect on the
economy of $100 million or more, or
adversely affect a sector of the economy,
productivity, competition, jobs, the
environment, public health or safety, or
State, local or tribal governments or
communities in a material way (also
referred to as an ‘‘economically
significant’’ rule);
(2) Create serious inconsistency or
otherwise interfere with an action taken
or planned by another agency;
(3) Materially alter the budgetary
impacts of entitlement grants, user fees,
or loan programs or the rights and
obligations of recipients thereof; or
(4) Raise novel legal or policy issues
arising out of legal mandates, the
President’s priorities, or the principles
stated in the Executive order.
This final regulatory action is not a
significant regulatory action subject to
review by OMB under section 3(f) of
Executive Order 12866.
We have also reviewed this final
regulatory action under Executive Order
13563, which supplements and
explicitly reaffirms the principles,
structures, and definitions governing
regulatory review established in
Executive Order 12866. To the extent
permitted by law, Executive Order
13563 requires that an agency—
(1) Propose or adopt regulations only
upon a reasoned determination that
their benefits justify their costs
(recognizing that some benefits and
costs are difficult to quantify);
(2) Tailor its regulations to impose the
least burden on society, consistent with
obtaining regulatory objectives and
taking into account—among other things
and to the extent practicable—the costs
of cumulative regulations;
(3) In choosing among alternative
regulatory approaches, select those
approaches that maximize net benefits
(including potential economic,
environmental, public health and safety,
and other advantages; distributive
impacts; and equity);
(4) To the extent feasible, specify
performance objectives, rather than the
behavior or manner of compliance a
regulated entity must adopt; and
(5) Identify and assess available
alternatives to direct regulation,
including economic incentives—such as
user fees or marketable permits—to
encourage the desired behavior, or
provide information that enables the
public to make choices.
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Executive Order 13563 also requires
an agency ‘‘to use the best available
techniques to quantify anticipated
present and future benefits and costs as
accurately as possible.’’ The Office of
Information and Regulatory Affairs of
OMB has emphasized that these
techniques may include ‘‘identifying
changing future compliance costs that
might result from technological
innovation or anticipated behavioral
changes.’’
We are issuing this final priority only
on a reasoned determination that its
benefits justify its costs. In choosing
among alternative regulatory
approaches, we selected those
approaches that maximize net benefits.
Based on the analysis that follows, the
Department believes that this regulatory
action is consistent with principles in
Executive Order 13563.
We also have determined that this
regulatory action does not unduly
interfere with State, local, and tribal
governments in the exercise of their
governmental functions.
In accordance with both Executive
orders, the Department has assessed the
potential costs and benefits, both
quantitative and qualitative, of this
regulatory action. The potential costs
are those resulting from statutory
requirements and those we have
determined as necessary for
administering the Department’s
programs and activities.
Intergovernmental Review: This
program is subject to Executive Order
12372 and the regulations in 34 CFR
part 79. One of the objectives of the
Executive order is to foster an
intergovernmental partnership and a
strengthened federalism. The Executive
order relies on processes developed by
State and local governments for
coordination and review of proposed
Federal financial assistance.
This document provides early
notification of our specific plans and
actions for this program.
Accessible Format: Individuals with
disabilities can obtain this document in
an accessible format (e.g., braille, large
print, audiotape, or compact disc) on
request to the program contact person
listed under FOR FURTHER INFORMATION
CONTACT.
Electronic Access to This Document:
The official version of this document is
the document published in the Federal
Register. Free Internet access to the
official edition of the Federal Register
and the Code of Federal Regulations is
available via the Federal Digital System
at: www.gpo.gov/fdsys. At this site you
can view this document, as well as all
other documents of this Department
published in the Federal Register, in
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Federal Register / Vol. 80, No. 108 / Friday, June 5, 2015 / Rules and Regulations
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text or Adobe Portable Document
Format (PDF). To use PDF you must
have Adobe Acrobat Reader, which is
available free at the site.
You may also access documents of the
Department published in the Federal
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19:11 Jun 04, 2015
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Register by using the article search
feature at: www.federalregister.gov.
Specifically, through the advanced
search feature at this site, you can limit
your search to documents published by
the Department.
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32215
Dated: May 27, 2015.
Nadya Chinoy Dabby,
Assistant Deputy Secretary for Innovation and
Improvement.
[FR Doc. 2015–13671 Filed 6–4–15; 8:45 am]
BILLING CODE 4000–01–P
E:\FR\FM\05JNR2.SGM
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Agencies
[Federal Register Volume 80, Number 108 (Friday, June 5, 2015)]
[Rules and Regulations]
[Pages 32209-32215]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2015-13671]
[[Page 32209]]
Vol. 80
Friday,
No. 108
June 5, 2015
Part II
Department of Education
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34 CFR Subtitle A
Final Priority--Investing in Innovation Fund; Applications for New
Awards; Investing in Innovation Fund--Validation Grants; Applications
for New Awards; Investing in Innovation Fund--Scale-Up Grants; Rule and
Notices
Federal Register / Vol. 80 , No. 108 / Friday, June 5, 2015 / Rules
and Regulations
[[Page 32210]]
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DEPARTMENT OF EDUCATION
34 CFR Subtitle A
[Docket ID ED-2015-OII-0006]
RIN 1855-ZA10
Final Priority--Investing in Innovation Fund
[Catalog of Federal Domestic Assistance (CFDA) Numbers: 84.411A
(Scale-up grants), 84.411B (Validation grants), and 84.411C
(Development grants)]
AGENCY: Office of Innovation and Improvement, Department of Education.
ACTION: Final priority.
-----------------------------------------------------------------------
SUMMARY: The Assistant Deputy Secretary for Innovation and Improvement
announces a priority under the Investing in Innovation Fund (i3). The
Assistant Deputy Secretary may use this priority for competitions in
fiscal year (FY) 2015 and later years. The priority does not repeal or
replace previously established priorities for this program.
DATES: This priority is effective July 6, 2015.
FOR FURTHER INFORMATION CONTACT: Allison Moss, U.S. Department of
Education, 400 Maryland Avenue SW., Room 4W319, Washington, DC 20202.
Telephone: (202) 453-7122 or by email: i3@ed.gov.
If you use a telecommunications device for the deaf (TDD) or a text
telephone (TTY), call the Federal Relay Service (FRS), toll free, at 1-
800-877-8339.
SUPPLEMENTARY INFORMATION: Summary of the Major Provisions of This
Regulatory Action: In this document, the Department announces a
priority for the i3 program that promotes the implementation of
comprehensive high school reform and redesign strategies. This priority
may be used in the Development, Validation, or Scale-up tier of the i3
program in FY 2015 and future years, as appropriate. We have made one
change from the priority proposed in the Federal Register on March 17,
2015 (80 FR 13803). The priority announced in this document includes
language that expands the types of schools in which applicants may
propose to implement comprehensive high school reform strategies. We
make this change in response to comments received from the public and
in an effort to ensure that the priority is designed to support high
schools that are most in need of comprehensive reform.
Costs and Benefits: The Assistant Deputy Secretary believes that
the priority does not impose significant costs on eligible applicants
seeking assistance through the i3 program.
The priority is designed to be used in conjunction with several
priorities that have already been established under the i3 program, and
no priority, whether it is used as an absolute or competitive
preference priority, affects the overall amount of funding available to
individual applicants in any given fiscal year.
In addition, we note that participation in this program is
voluntary. Potential applicants need to consider carefully the effort
that will be required to prepare a strong application, their capacity
to implement a project successfully, and their chances of submitting a
successful application. We believe that the costs imposed on applicants
by the priority would be limited to paperwork burden related to
preparing an application and that the benefits of implementing these
proposals would outweigh any costs incurred by applicants. The costs of
carrying out activities would be paid for with program funds and with
matching funds that can be provided by private-sector partners other
than the applicant. Thus, the costs of implementation need not be a
burden for any eligible applicants, including small entities.
Purpose of Program: The i3 program addresses two related
challenges. First, there are too few practices in education supported
by rigorous evidence of effectiveness, despite national attention paid
to finding practices that are effective in improving education outcomes
in the decade since the establishment of the Department's Institute of
Education Sciences. Second, there are limited incentives to expand
effective practices substantially and to use those practices to serve
more students across schools, districts, and States. As a result,
students do not always have access to high-quality programs.
The i3 program addresses these two challenges through its multi-
tier structure that links the amount of funding that an applicant may
receive to the quality of the evidence supporting the efficacy of the
proposed project. Applicants proposing practices supported by limited
evidence can receive small grants to support the development and
initial evaluation of promising practices and help to identify new
solutions to pressing challenges; applicants proposing practices
supported by evidence from rigorous evaluations, such as large
randomized controlled trials, can receive substantially larger grants
to support expansion across the Nation. This structure provides
incentives for applicants to build evidence of effectiveness of their
proposed projects and to address the barriers to serving more students
across schools, districts, and States so that applicants can compete
for more sizeable grants.
As importantly, all i3 projects are required to generate additional
evidence of effectiveness. All i3 grantees must use part of their grant
award to conduct independent evaluations of their projects. This
ensures that projects funded under the i3 program contribute
significantly to improving the information available to practitioners
and policymakers about which practices work, for which types of
students, and in which contexts. More information about the i3 program,
including information about eligible applicants, can be found in the
notice of final priorities, requirements, definitions, and selection
criteria, published in the Federal Register on March 27, 2013 (78 FR
18682).
Program Authority: American Recovery and Reinvestment Act of
2009 (ARRA), Division A, Section 14007, Pub. L. 111-5.
We published a notice of proposed priority (NPP) for this program
in the Federal Register on March 17, 2015 (80 FR 13803). That notice
contained background information and our reasons for proposing the
particular priority.
Public Comment: In response to our invitation in the NPP, 14
parties submitted comments on the proposed priority.
We group major issues according to subject. Generally, we do not
address technical and other minor changes.
Analysis of the Comments and Changes: An analysis of the comments
and of any changes in the priority since publication of the NPP
follows.
Comment: Several commenters generally approved of the priority, but
expressed concerns that the priority's requirement that applicants
serve schools that are eligible to operate Title I schoolwide
assistance programs under section 1114 of the Elementary and Secondary
Education Act of 1965 (ESEA), as amended, was problematic. One
commenter noted that including such language in the priority would
exclude projects that are designed to serve high school students who
are participating in regionally benefical district-wide reform efforts.
One commenter echoed this concern, and requested that we allow
applicants to determine that not less than 40 percent of the students
served by the project will be from low-income families by aggregating
the students across all schools that will be served. Another
[[Page 32211]]
commenter indicated that, if we do intend to require that projects
designed to address this priority support the above-referenced schools,
we must take steps to ensure that applicants are aware of the different
ways in which a school may qualify to operate Title I schoolwide
assistance programs. The commenter explained that high school students
do not often identify themselves as being eligible for free- and
reduced-priced lunch, even if they do qualify for such assistance. A
third commenter raised similar concerns and asked that we edit the
priority so that it would support projects designed to support schools
where not less than 40 percent of students are from low-income
families, as calculated under section 1113 of the ESEA. The commenter
also asked that we clarify that applicants could demonstrate
eligibility under this priority by using a feeder pattern, and noted
that the Department had issued non-regulatory guidance in 2003
indicating that such an approach would be acceptable for demonstrating
that a school meets Title I requirements.
Discussion: We thank the commenters for expressing these concerns,
and note that Congress, in the Explanatory Statement of the Fiscal Year
2015 Appropriations Act, directed the Department, in making new awards
with FY 2015 i3 funds, to establish a priority to support high school
reform in schools where not less than 40 percent of students are from
low-income families. We proposed to carry out this congressional
directive through a priority to support schools eligible to operate
Title I schoolwide assistance programs. However, upon review of the
commenters' concerns, we have determined that revisions to the priority
are necessary in order to ensure that projects designed to address this
priority implement high school reform strategies in schools with
demonstrated need. We think the revisions we have made fully reflect
Congress' stated interest in supporting schools where not less than 40
percent of students are from low-income families, but allow enough
flexibility to ensure that applicants have some discretion in
determining which schools are most in need of comprehensive reform.
We also note that upon further review, we determined that the
proposed priority may cause unintended difficulties for applicants that
are not yet able to identify, at the time their proposals are due to be
submitted, all of the schools that would be included in their proposed
projects. With the expanded language, we ensure that applicants with
plans to scale their projects could do so, but note that those
applicants would still need to establish that they will serve schools
that can demonstrate that not less than 40 percent of their students
are from low-income families. We also note that all i3 grantees must
serve high-need students.
Changes: We have broadened the requirements for which types of
schools may be included in a project under this priority.
Comment: One commenter expressed support for the priority but
requested clarification. Specifically, the commenter inquired whether
an applicant could fully address the priority if it proposed to
implement its project in a school that meets Title I schoolwide
assistance eligibility criteria, but is not designated as a Title I
school because needs are greater for other schools in its district.
Discussion: If an applicant proposes to address the priority by
designing a project that would serve a school that is eligible to
operate Title I schoolwide assistance programs under section 1114 of
the ESEA, and the applicant provides appropriate evidence of that
eligibility in its application, we would consider such a project as
adequately addressing the priority even if the school in question is
not currently operating such a program. We note that all i3 grantees
must serve high-need students, and encourage applicants to consider
carefully whether their proposed projects are reaching those students
who are most in need of support. We also note that in response to
concerns raised by other commenters, discussed above, we have further
clarified the priority.
Changes: None.
Comment: One commenter inquired whether a ``feeder-to-high school''
intervention that reflects the continuous progression of instructional
standards would address the priority. The commenter noted more
generally that it is important we consider the learning trajectories of
students, and how those trajectories may change over time.
Discussion: We agree that projects should be designed to adapt to
changing needs of students over time in order to better ensure
appropriate support.
In addition, we think that a project such as that described by the
commenter could meet the priority, assuming the applicant provides a
thorough and complete discussion of how its proposal is designed to
increase the number and percentage of students who graduate from high
school college- and career-ready and enroll in college, other
postsecondary education, or other career and technical education.
Changes: None.
Comment: One commenter asked that we expand the priority to include
strategies that would improve school climate, particularly
relationships between students and their teachers. Another commenter
noted that the priority could be strengthened by more explicitly
supporting expanded learning opportunities and strategies in order to
improve student engagement in school.
Discussion: We agree that school climate and student engagement
play important roles in fostering student success and well-being, and
indeed can be taken into account by an applicant when designing a
comprehensive high school reform strategy. We note, however, that in
2013 (78 FR 18681), the i3 program established a priority that
addresses low-performing schools. That priority includes areas of focus
on improving school performance and culture, addressing non-academic
factors that affect student achievement, and enhancing student
engagement in learning. In addition, in 2014 (79 FR 73425) the
Department established a set of supplemental priorities and definitions
that may be used in any discretionary grant program, including the i3
program. These priorities include one that specifically focuses on
improving school climate. As such, we believe that mechanisms for
addressing the commenters' concerns already exist, and it is not
necessary to change the priority.
Changes: None.
Comment: One commenter requested that we more specifically promote
early college high schools and dual enrollment as strategies that would
be supported by the priority. A second commenter suggested that we
explicitly promote small schools of choice models, and noted that such
strategies are supported by evidence that meets the What Works
Clearinghouse Evidence Standards. Another commenter suggested that we
revise the priority to include a specific focus on competency-based
learning models. The commenter also requested that we encourage
applicants to embed strategies for collecting and sharing data
effectively into their proposed projects; specifically, the commenter
suggested that projects designed to address this priority make teacher
effectiveness and student postsecondary enrollment data publicly
available.
Discussion: While we agree that a proposed project that utilizes
such strategies could address the priority, assuming the project meets
all other necessary requirements, we decline to prescribe specific
strategies to applicants. We think that applicants are best-suited to
determine the most appropriate strategies for their communities, and
encourage applicants
[[Page 32212]]
to consider several factors, including the extent of available research
on possible strategies, when designing their proposed projects. We
generally encourage applicants to use data to make informed decisions,
and note that any data that are shared publicly must be done so in
accordance with applicable privacy laws.
Changes: None.
Comment: One commenter asked that we revise the priority to focus
more clearly on comprehensive academic support that could be achieved
through partnerships with postsecondary institutions or through
extracurricular programs. The commenter also noted that students can
improve their college- and career-readiness through study of the social
sciences, in addition to science, technology, engineering, and
mathematics (STEM).
Discussion: We agree with the commenter that efforts to improve
comprehensive academic support, through partnerships with postsecondary
institutions, extracurricular programs, or other means could be
important aspects of a project designed to meet this priority. We note
that such projects, assuming they are designed to be implemented in the
appropriate school settings, would address this priority. However, we
decline to prescribe specific strategies to applicants because we think
that applicants are best-suited to determine the most appropriate
strategies for their communities.
We also agree that students can improve their college- and career-
ready skills through the study of a wide variety of subjects that
encompass the social sciences as well as STEM-related fields. We note
that the second paragraph of the priority provides illustrative
examples for applicants to consider when preparing an application; we
will not disqualify an applicant that proposes a project designed to
improve social studies education so long as that project meets the
requirements outlined in the first paragraph of the priority and meets
all relevant eligibility requirements.
Changes: None.
Comment: One commenter expressed support for the priority and
encouraged us to use it, in FY 2015 and in future years, in conjunction
with a priority focused on improving principal effectiveness, which was
published in the Federal Register, along with 14 other supplemental
priorities for discretionary grant programs, on December 10, 2014 (79
FR 73425). Another commenter expanded on this suggestion, requesting
that we revise the priority to reflect the need for meaningful
professional development for teachers and principals in any
comprehensive high school reform strategy.
Discussion: We thank the commenter for the suggested use of the
priority in this and future competitions and recognize that such a
combination would be possible. We also note that on March 30, 2015, we
published in the Federal Register a notice inviting applications for i3
Development awards (80 FR 16648), and in that document we include the
above-referenced principal effectiveness priority as an absolute
priority.
We agree with the commenter that teachers and principals who are
supported to be effective are integral parts of any comprehensive high
school reform strategy. We encourage applicants to consider carefully
the needs of their schools, including their schools' staff, when
designing a project to address this priority. We do not think it is
necessary to revise the priority in order to specifically mention
meaningful professional development for teachers and principals. We
want toprovide an applicant that is responding to this priority with
the flexibility to decide whether to address this concern.
Changes: None.
Comment: One commenter suggested that we revise the priority to
include a focus on cultivating partnerships with external
organizations, noting that such strategic partnerships can help a
grantee to maximize the impact of school improvement efforts.
Discussion: We agree that building relationships with community and
other partners is a useful strategy to ensure maximum impact, and long-
term sustainability, of a project. We note that all LEA i3 grantees are
required to establish partnerships with private sector entities and all
i3 grantees are required to secure private sector matching funds before
receiving their i3 grant. We expect that a private sector entity with
which a grantee chooses to partner will be a key stakeholder in the
project with a vested interest in ensuring its ultimate success.
Because we already require grantees to secure private sector matching
funds to further support their i3 projects, we do not think think
further revisions to the priority are necessary.
Changes: None.
Comment: One commenter generally approved of the priority, but
suggested that we revise the priority to allow applicants to focus on
students of highest need as part of their proposed comprehensive high
school reform strategy. The commenter suggested this revision in order
to ensure that funded projects ensure equitable outcomes for all
students.
Discussion: All 13 grantees are required to implement practices
that are designed to improve student achievement or student growth,
close achievement gaps, decrease dropout rates, increase high school
graduation rates, or increase college enrollment and completion rates
for high-need students. We agree with the commenter that projects
designed to address this priority would need to propose strategies that
are comprehensive, but we note that applicants should consider
carefully the needs in their schools. We think the applicant is best-
suited to determine how best to improve outcomes for all students
through a comprehensive high school reform strategy, and do not think
that changes to the priority are necessary to address the commenter's
concern.
Changes: None.
Comment: One commenter urged the Department to revise the priority
to include a focus on increasing racial and socioeconomic diversity,
and decreasing racial and socioeconomic isolation, in schools.
Discussion: We agree with the commenter that maintaining racial and
socioeconomic diversity in schools is important to ensure that students
are fully prepared to be successful in their careers and in life. We
thank the commenter for noting that on December 10, 2014, the
Department published in the Federal Register a priority that focuses on
increasing diversity, and that the priority is designed so that the
Department has the option to use it in any discretionary grant program
(79 FR 73425). We note that in FY 2015 or in future years, the i3
program could use this priority as an absolute or competitive
preference priority in combination with the priority announced in this
document. We also note that other Department programs, such as the
Magnet Schools Assistance Program, have encouraged applicants to
propose strategies to increase diversity in schools. Because mechanisms
for including a focus on diversity already exist, we do not think a
change to the priority is necessary.
Changes: None.
Comment: One commenter urged the Department to ensure that the
priority supports projects that are designed to use comprehensive high
school reform strategies in a way that increases the number of low-
income students who matriculate into postsecondary programs.
Discussion: We agree that any priority used in a discretionary
grant program
[[Page 32213]]
should include a clear discussion of the outcomes we wish to see as a
result of funded projects. We note that the priority requires that
projects be designed to increase the number and percentage of students
who graduate high school college- and career-ready and enroll in
postsecondary programs. We also note that the priority requires that
projects designed to address it be implemented in schools with large
populations of low-income students. Finally, we note the i3 program's
overall requirement that funded projects be designed to improve student
achievement or student growth, close achievement gaps, decrease dropout
rates, increase high school graduation rates, or increase college
enrollment and completion rates for high-need students. While we agree
that the priority should help to increase the number of low-income
students who matriculate into postsecondary programs, we do not think
that changes to the priority are necessary to address this.
Changes: None.
Comment: Three commenters expressed general support for the
priority, but noted concerns that do not directly relate to it. One
commenter expressed interest in learning about the other mechanisms the
Department has to provide support to schools across the nation that are
in need of additional funding. Another commenter expressed concern that
our current portfolio of grantees does not employ external staff to
carry out project evaluations, thus introducing bias to any impact
findings that are ultimately reported. Finally, a commenter requested
that in future competitions we use a pre-application process in the
Validation and Scale-up competitions, similar to the process we have
used in the past several years for the Development competition.
Discussion: Although we generally do not respond to comments that
are not related to the proposed priority published in the Federal
Register on March 17, 2015 (80 FR 13803), we think it is important to
clarify several aspects of the i3 program as well as the Department's
mechanisms for providing assistance more broadly. First, we note that
the majority of the funding the Department provides to States and local
educational agencies (LEAs) is through State-administered formula
programs, such as Part A of Title I of the ESEA and Part B of the
Individuals with Disabilities Education Act. This means, generally,
that if an entity meets the eligibility requirements set out in a
formula program, that entity is entitled to funding and does not need
to compete. By contrast, the funding the Department has provided to
grantees under the i3 program and other discretionary grant programs
represents a relatively small portion of the total funding with which
we support students. For information on the Department's planned
funding for discretionary grant programs for FY 2015, please review the
Forecast of Funding Opportunities at www2.ed.gov/fund/grant/find/edlite-forecast.html.
Second, we note that per the notice of final priorities,
requirements, definitions, and selection criteria for this program,
published in the Federal Register on March 27, 2013 (78 FR 18681), all
i3 grantees are required to conduct an independent evaluation of their
projects, which means that the evaluation must be designed and carried
out independent of, but in coordination with, any employees of the
entities who develop a process, product, strategy, or practice and are
implementing it. We think the independent evaluation is a critical
element of the i3 program and note that we have required grantees to
conduct independent evaluations since the first year in which we
provided funding.
Finally, we appreciate the suggestion to use a pre-application
process in the Validation and Scale-up competitions and we are pleased
to learn that the pre-application process used in the Development
competition has worked well for applicants. Our primary reason for
implementing the process in FY 2012 and in subsequent years was to
reduce burden for Development applicants proposing to pilot brand new
ideas. We also wanted to find a way to better manage very high numbers
of applications submitted to the Development competition. By first
asking applicants to submit a seven-page pre-application, and providing
those applicants with initial feedback from expert reviewers, we
greatly reduced the volume of applicants submitting full applications,
reducing burden for applicants that needed to spend more time
developing their proposals in order to increase their likelihood of
ultimately submitting a successful application. We also found that the
process decreased burden for Department staff and expert reviewers.
Most importantly, we found that with this process, we were still able
to fund high-quality Development applications.
While this process has worked well in the Development competition,
we are not likely to use it in the Validation or Scale-up competitions
for two reasons. First, we receive far fewer applications for these
competitions, so the initial triage provided by a pre-application
process is not necessary. Second, an important aspect of the Validation
and Scale-up competitions is the level of evidence that an applicant
must use to support its proposed project. While in the Development
competition, we use the pre-application process to provide initial
feedback on novel approaches, initial feedback on Validation and Scale-
up applications would be quite different, because the proposed
approaches, to be eligible for funding, must be supported by strong or
moderate evidence of their effectiveness. Therefore, while we
appreciate the commenter's suggestion to use a pre-application process
for all three competitions, we do not think the approach is necessary
or practical.
Changes: None.
Comment: One commenter expressed general disapproval of the
priority and the i3 program. The commenter noted that our rationale for
proposing the priority was flawed and that applications funded under
this priority will not lead to projects that successfully improve
outcomes for students.
Discussion: We appreciate the commenter's concerns. Through the i3
program, we seek to fund innovative approaches to persistent challenges
in education, and require that all i3 grantees partner with an
independent evaluator in order to determine which approaches work.
While we strive to fund projects that are most likely to have
successful outcomes, we understand that it is equally important to
learn which approaches do not work, and why.
Changes: None.
Comment: One commenter expressed support for the priority and noted
the important role career and technical education programming can play
in comprehensive high school reform models.
Discussion: We thank the commenter for the support.
Changes: None.
FINAL PRIORITY:
Priority--Implementing Comprehensive High School Reform and
Redesign.
Under this priority, we provide funding to support comprehensive
high school reform and redesign strategies in high schools eligible to
operate Title I schoolwide programs under section 1114 of the
Elementary and Secondary Education Act of 1965, as amended, or in
schools that can demonstrate that not less than 40 percent of students
are from low-income families. These strategies must be designed to
increase the number and percentage of students who graduate from high
school college- and career-ready and enroll in college, other
[[Page 32214]]
postsecondary education, or other career and technical education.
These strategies could include elements such as implementing a
rigorous college- and career-ready curriculum; providing accelerated
learning opportunities; supporting personalized learning; developing
robust links between student work and real-world experiences to better
prepare students for their future; improving the readiness of students
for post-secondary education in STEM fields; or reducing the need for
remediation, among others.
Types of Priorities:
When inviting applications for a competition using one or more
priorities, we designate the type of each priority as absolute,
competitive preference, or invitational through a notice in the Federal
Register. The effect of each type of priority follows:
Absolute priority: Under an absolute priority, we consider only
applications that meet the priority (34 CFR 75.105(c)(3)).
Note: In the i3 competition, each application must choose to
address one of the absolute priorities, and projects are grouped by
that absolute priority for the purposes of peer review and funding
determinations. For the competition with FY 2015 funds, Congress
directed the Department to designate the priority announced in this
document as an absolute priority.
Competitive preference priority: Under a competitive preference
priority, we give competitive preference to an application by (1)
awarding additional points, depending on the extent to which the
application meets the priority (34 CFR 75.105(c)(2)(i)); or (2)
selecting an application that meets the priority over an application of
comparable merit that does not meet the priority (34 CFR
75.105(c)(2)(ii)).
Invitational priority: Under an invitational priority, we are
particularly interested in applications that meet the priority.
However, we do not give an application that meets the priority a
preference over other applications (34 CFR 75.105(c)(1)). This notice
does not preclude us from proposing additional priorities,
requirements, definitions, or selection criteria, subject to meeting
applicable rulemaking requirements.
Note: This notice does not solicit applications. In any year in
which we choose to use this priority, we invite applications through
a notice in the Federal Register.
Executive Orders 12866 and 13563
Regulatory Impact Analysis
Under Executive Order 12866, the Secretary must determine whether
this regulatory action is ``significant'' and, therefore, subject to
the requirements of the Executive order and subject to review by the
Office of Management and Budget (OMB). Section 3(f) of Executive Order
12866 defines a ``significant regulatory action'' as an action likely
to result in a rule that may--
(1) Have an annual effect on the economy of $100 million or more,
or adversely affect a sector of the economy, productivity, competition,
jobs, the environment, public health or safety, or State, local or
tribal governments or communities in a material way (also referred to
as an ``economically significant'' rule);
(2) Create serious inconsistency or otherwise interfere with an
action taken or planned by another agency;
(3) Materially alter the budgetary impacts of entitlement grants,
user fees, or loan programs or the rights and obligations of recipients
thereof; or
(4) Raise novel legal or policy issues arising out of legal
mandates, the President's priorities, or the principles stated in the
Executive order.
This final regulatory action is not a significant regulatory action
subject to review by OMB under section 3(f) of Executive Order 12866.
We have also reviewed this final regulatory action under Executive
Order 13563, which supplements and explicitly reaffirms the principles,
structures, and definitions governing regulatory review established in
Executive Order 12866. To the extent permitted by law, Executive Order
13563 requires that an agency--
(1) Propose or adopt regulations only upon a reasoned determination
that their benefits justify their costs (recognizing that some benefits
and costs are difficult to quantify);
(2) Tailor its regulations to impose the least burden on society,
consistent with obtaining regulatory objectives and taking into
account--among other things and to the extent practicable--the costs of
cumulative regulations;
(3) In choosing among alternative regulatory approaches, select
those approaches that maximize net benefits (including potential
economic, environmental, public health and safety, and other
advantages; distributive impacts; and equity);
(4) To the extent feasible, specify performance objectives, rather
than the behavior or manner of compliance a regulated entity must
adopt; and
(5) Identify and assess available alternatives to direct
regulation, including economic incentives--such as user fees or
marketable permits--to encourage the desired behavior, or provide
information that enables the public to make choices.
Executive Order 13563 also requires an agency ``to use the best
available techniques to quantify anticipated present and future
benefits and costs as accurately as possible.'' The Office of
Information and Regulatory Affairs of OMB has emphasized that these
techniques may include ``identifying changing future compliance costs
that might result from technological innovation or anticipated
behavioral changes.''
We are issuing this final priority only on a reasoned determination
that its benefits justify its costs. In choosing among alternative
regulatory approaches, we selected those approaches that maximize net
benefits. Based on the analysis that follows, the Department believes
that this regulatory action is consistent with principles in Executive
Order 13563.
We also have determined that this regulatory action does not unduly
interfere with State, local, and tribal governments in the exercise of
their governmental functions.
In accordance with both Executive orders, the Department has
assessed the potential costs and benefits, both quantitative and
qualitative, of this regulatory action. The potential costs are those
resulting from statutory requirements and those we have determined as
necessary for administering the Department's programs and activities.
Intergovernmental Review: This program is subject to Executive
Order 12372 and the regulations in 34 CFR part 79. One of the
objectives of the Executive order is to foster an intergovernmental
partnership and a strengthened federalism. The Executive order relies
on processes developed by State and local governments for coordination
and review of proposed Federal financial assistance.
This document provides early notification of our specific plans and
actions for this program.
Accessible Format: Individuals with disabilities can obtain this
document in an accessible format (e.g., braille, large print,
audiotape, or compact disc) on request to the program contact person
listed under FOR FURTHER INFORMATION CONTACT.
Electronic Access to This Document: The official version of this
document is the document published in the Federal Register. Free
Internet access to the official edition of the Federal Register and the
Code of Federal Regulations is available via the Federal Digital System
at: www.gpo.gov/fdsys. At this site you can view this document, as well
as all other documents of this Department published in the Federal
Register, in
[[Page 32215]]
text or Adobe Portable Document Format (PDF). To use PDF you must have
Adobe Acrobat Reader, which is available free at the site.
You may also access documents of the Department published in the
Federal Register by using the article search feature at:
www.federalregister.gov. Specifically, through the advanced search
feature at this site, you can limit your search to documents published
by the Department.
Dated: May 27, 2015.
Nadya Chinoy Dabby,
Assistant Deputy Secretary for Innovation and Improvement.
[FR Doc. 2015-13671 Filed 6-4-15; 8:45 am]
BILLING CODE 4000-01-P