Schools Move to Require Background Checks for Volunteers
In a move that follows many other schools, the Parsippany, NJ Board of Education has made the decision to consider performing background checks on volunteers who have the chance to work closely with children. New Jersey recently made it law to require all members of the Board of Education to undergo background checks and it seems as if the momentum is continuing down the line to include volunteers. The volunteers who would be covered under this requirement would be both those who work in the classroom as well as those who work in after school activities like sports coaches.
Though many are supportive of these changes, others have concerns like cost. The cost of these background checks would have to come out of the schools budget. Another consideration is parents not wanting to go through the hassle of getting a background check done. Some feel that it could deter parents from interacting with students in school which is needed for not only support of the school, but for building relationships.
Should the school decide to go through with this, companies like backgroundchecks.com are able to provide services for full background checks and can also offer products like US Offender OneSEARCH which can search offender databases all over the US.
backgroundchecks.com - a founding member of the National Association of Professional Background Screeners (NAPBS®) - serves thousands of customers nationwide, from small businesses to Fortune 100 companies by providing comprehensive screening services. Headquartered in Dallas, Texas, with an Eastern Operations Center in Chapin, S.C., backgroundchecks.com is home to one of the largest online criminal conviction databases in the industry. For more information about backgroundchecks’ offerings, please visit www.backgroundchecks.com.
Source: http://parsippany.patch.com/articles/boe-again-takes-on-issue-of-background-checks
FTC Says Screening of Volunteers is for Employment Purposes Under the FCRA
In its newly issued staff report that updates its guidance under the Fair Credit Reporting Act (FCRA), the Federal Trade Commission (FTC) says that the term employment purposes includes “a nonprofit organization staffed in whole or in part by volunteers.” (See page 32 of the report.)
The sources cited in the footnote for this assertion do not support it. The first source cited there is Hoke v. Retail Credit Corp. in that case, the court construed the words employment, promotion, and reassignment in the definition of “employment purposes” have “specific meanings in the area of activities for the production of income.” By definition, volunteering is not an activity for the production of income. The other two sources that the footnote cites, the Allison and Solomon information staff opinion letters, both deal with cases in which the activity in question was income-producing (independent truck drivers in Allison and title insurance agents in Solomon).
However, courts often defer to the FTC’s guidance on matters under the FCRA. Therefore, , including disclosure, authorization, and pre-adverse-action notices.
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