Registrar's Office
The Registrar's Office maintains the accuracy, privacy, and security of all student academic records. It is the only office authorized to issue transcripts, enrollment verifications, and degree certifications, and it serves as the primary information resource for students and faculty regarding academic policies and procedures.
The Registrar's Office also maintains the College Division course schedule, assigns teaching studios, schedules placement exams and juries, records grades, performs degree audits, and establishes the School's academic calendar. Along with the Office of Academic Affairs, the Registrar's office staff provides academic advisement to undergraduate and graduate students in the music, drama, and dance divisions.
About
Registration Information
Juilliard's online student information system, Cadence, allows you to search for, enroll in, and add or drop classes, as well as manage your waitlist status. Cadence can be found via Okta. Please click on the Cadence Students tile. http://campus.ozone-1.com
Current students can manage course materials via Canvas.
Staff
Kathy Gertson, Registrar
Jude K. Weiss, Associate Registrar
Siyi Fang, Assistant Registar
Christopher Hotchkiss, Schedule and Administrative Coordinator
Contact
Room 224
(212) 799-5000, ext. 220
[email protected]
FERPA Information for Juilliard Students
What is FERPA?
The Family Educational Rights and Privacy Act (FERPA) of 1974, also referred to as the Buckley Amendment, is a federal law that protects the privacy of student educational records. The rights provided by this act transfer from the parent to the student when the student reaches the age of 18 OR attends a postsecondary school — whichever comes first. Under this law, students have the following rights with regards to their educational records:
- The right to inspect and review their education records;
- The right to request an amendment to their education records when they believe the records are inaccurate or misleading;
- The right to consent to disclosures of personally identifiable information contained in their education records, except to the extent that FERPA authorizes disclosure without consent;
- The right to file a complaint with the United States Department of Education concerning alleged failures by the College to comply with FERPA;
Additional information concerning these rights is contained in the Student Handbook.
What is an education record?
An education record is any record that is directly related to a student that is maintained by the College or by a party acting on behalf of the College. This includes information recorded in any medium such as handwriting, computer media, video or audio tape, film, microfilm and microfiche.
What is not considered an education record?
FERPA outlines many records not considered as an education record, and therefore not afforded protection under FERPA. Some of these are outlined below.
- Sole possession records or private notes held by a school official that are not accessible or released to other personnel, except individuals serving as a temporary substitute for the school official;
- Campus security or law enforcement records that are held by a school official that are not accessible by or released to other personnel except in emergency situations;
- Records relating to individuals who are employed by the institution, unless the employment is contingent on their status as a student (e.g., work-study students).
- Records of an institution that contain information about an individual obtained only after that person is no longer a student at that institution (e.g., alumni records).
What disclosures does FERPA allow for without the provision of student consent?
FERPA outlines some exceptions for the disclosure of a student’s education record without the student's consent. Some of the exceptions that may be utilized by Juilliard without student consent and/or notification are provided below.
- The disclosure is to school officials who have been determined to have legitimate educational interests in order to fulfill his or her professional responsibility. A school official is a person employed by the college in an administrative, supervisory, academic or research, or support staff position (including law enforcement unit personnel and health staff); a person or company with whom the college has retained as its agent to provide a service instead of using college employees/officials (such as an attorney, auditor, contractor, consultant, volunteer, or collection agent); a person serving on the Board of Trustees; or a student serving on an official committee, such as a disciplinary or grievance committee, or assisting another school official in performing his or her tasks.
- The disclosure is to officials of another institution in which a student seeks or intends to enroll.
- The disclosure is to state or local educational authorities auditing or evaluating Federal or State supported education programs or enforcing Federal laws which relate to those programs.
- The disclosure is pursuant to a lawfully issued court order or subpoena.
- The disclosure is made for compliance with the Solomon Amendment.
- The disclosure is to a parent who legally declares the student as a dependent, as defined by 20 U.S.C. § 1232g. (NOTE: Regardless of the student's age, a parent seeking access to their son or daughter's educational record must present proof upon each request of their child's dependency to the Registrar’s Office by way of the most recent year's federal tax return.)
- The disclosure is to parents and legal guardians of students under the age of 21, regardless of their dependency status, of information regarding a student's violation of laws or policies governing the use or possession of alcohol or a controlled substance.
- The disclosure is made in situations deemed by the college as a health/safety emergency.
- The disclosure is provided to organizations conducting studies to improve instruction, or to accrediting organizations.
- The disclosure is made in connection with the receipt of financial aid (validating eligibility).
- The disclosure is made in connection with information received from the New York Police Department and in accordance with the Wetterling Act regarding a registered sexual offender.
- The information disclosed has been designated as directory information by the college.
What is directory information and what does Juilliard define as student directory information?
At its discretion, Juilliard may disclose "directory information" in accordance with the provisions of the Family Educational Rights and Privacy Act of 1974 (FERPA). Directory information is defined as that information which would not generally be considered harmful or an invasion of privacy if disclosed.
Designated directory information at Juilliard includes the following:
- Student's name
- Mailing address of record*
- College email address
- Number of credit hours enrolled
- Major field of study
- Dates of attendance
- Degrees, honors, and awards received
* Disclosure is limited to colleges and universities only
Students may prohibit the release of directory information by contacting the Registrar’s Office within one week after the initial day of class during any regular semester/term.
Who should I contact if I have questions regarding FERPA?
Individuals having questions regarding FERPA may contact Kathy Gertson, the College Division registrar. She can be reached by email at [email protected]. Information may also be obtained from the dean of student development.
College Division Student Body Profile for 2022-2023 Academic Year
Fall 2022 Degree/certificate seeking students |
Full-time FTC cohort |
Full-time Transfer-in cohort |
Full-time continuing undergrads |
Full-time Graduate students |
Part-time Graduate students |
Total Student body |
---|---|---|---|---|---|---|
Gender |
||||||
Male |
48% |
33% |
54% |
51% |
52% |
52% |
Female |
52% |
67% |
46% |
49% |
48% |
48% |
Race/Ethnicity |
||||||
Nonresident Alien |
31% |
50% |
31% |
37% |
38% |
33% |
Hispanic/Latino |
9% |
0% |
9% |
7% |
5% |
8% |
American Indian or Alaska Native |
0% |
0% |
0% |
0% |
0% |
0% |
Asian |
19% |
0% |
11% |
13% |
19% |
13% |
Black or African American |
5% |
17% |
7% |
6% |
0% |
7% |
Native Hawaiian or other Pacific Islander |
0% |
0% |
0% |
0% |
0% |
0% |
White |
31% |
33% |
34% |
30% |
33% |
32% |
Two or more races |
5% |
0% |
8% |
6% |
5% |
7% |
Race and ethnicity unknown |
0% |
0% |
0% |
1% |
0% |
1 |
Total number of students |
107 |
6 |
364 |
378 |
21 |
876 |
Sources of Financial Support |
||||||
Federal Pell Grant Recipient |
13 |
1 |
65 |
0 |
0 |
79 |
Updated March 21, 2023
Graduation and Retention Rates
First-time Full-time Students 2016 Cohort |
||||||
---|---|---|---|---|---|---|
Demographic Characteristics |
Number of students in 2016 Cohort |
4-year Graduation rate |
6-year Graduation rate % |
Transfer-out rate % |
||
Gender |
||||||
Male |
58 |
84% |
88% |
1% |
||
Female |
55 |
78% |
91% |
2% |
||
Race/Ethnicity |
||||||
Nonresident Alien |
24 |
92% |
92% |
0% |
||
Hispanic/Latino |
12 |
91% |
100% |
0% |
||
American Indian or Alaska Native |
0 |
0% |
0% |
0% |
||
Asian |
14 |
86% |
93% |
1% |
||
Black or African American |
10 |
80% |
80% |
0% |
||
Native Hawaiian or other Pacific Islander |
0 |
0% |
0% |
0% |
||
White |
43 |
79% |
86% |
2% |
||
Two or more races |
7 |
71% |
86% |
2% |
||
Race and ethnicity unknown |
3 |
0% |
100% |
0% |
||
Total number of students |
113 |
81% |
89% |
2.5% |
||
Sources of Financial Support |
||||||
Federal Pell Grant Recipient |
19 |
79% |
89% |
0% |
||
Subsidized Stafford Loan without Pell Grant Recipient |
27 |
81% |
89% |
4% |
||
Neither Pell Grant or Stafford Loan |
67 |
85% |
88% |
0% |
2021 FTC Cohort: One-year Retention Rate (Fall 2021 to Fall 2022) |
||||||
---|---|---|---|---|---|---|
Student number of Full-time, first-time 2021 Bachelor's cohort |
110 |
|||||
Exclusions from the Fall 2020 cohort |
0 |
|||||
Students from Fall 2020 cohort still enrolled as of Fall 2021 |
109 |
|||||
Full-time, first-time Fall 2020 bachelor's cohort retention percentage rate |
99% |
Updated March 21, 2023