We have been sending an email notification out to our students regarding
receipt of Title IV funds for about 6 or 7 years. I am not aware of any
regulation or documentation that prohibits us from using this method of
notification.
Barbara Heberling
Student Accounts Manager
The College of William and Mary
-----Original Message-----
From: bursar-l-bounces@list.mail.Virginia.EDU
[mailto:bursar-l-bounces@list.mail.Virginia.EDU] On Behalf Of Jay Harper
Sent: Thursday, February 24, 2005 2:23 PM
To: Bursar List
Subject: Refunds
I have tried unsuccessfully to find some sort of federal regulation
regarding email as a method of notification to students regarding Title IV
funds. Currently when we credit electronic Title IV funds to the student
account, we send the student a notice to their campus box to notify them. Is
there any documentation out there that would prohibit us from sending an
email message to their school email account? Our financial planning office
seems to think there may be. Thanks.
________________
Jay Harper
Bursar
Elon University
(336) 278-5277 Phone
(336) 278-5276 Fax
Received on Thu Feb 24 15:30:44 2005
This archive was generated by hypermail 2.1.8 : Thu Feb 24 2005 - 15:30:44 EST