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The GAP Attorneys Blog

Meeting the needs of people with disabilities, their families, educators & service providers

School district’s recommended placement appropriate despite more than three year gap in student achievement levels

S.F. and Y.D. v. New York City Department of Education, 57 IDELR 287 (S.D.N.Y. 2011): The parents of a thirteen-year-old student with a learning disability were denied private school tuition reimbursement for their unilateral placement despite the fact that the school district’s recommended placement included students with academic achievement levels ranging from a third-grade level to a seventh-grade level.  The parents had argued that the gap in academic achievement levels violated New York State law.  The Court noted that although under New York state law there is a maximum three-year range that applies to the chronological age of students, there is no maximum range for levels of academic achievement.  The Court also determined that the inclusion of one student with an emotional disturbance and one student classified as other health impaired, did not make the proposed placement inappropriate.  The requirement to place students with students of similar needs does not necessarily prohibit placing students of varying disabilities in the same classroom.

In addition, the Court concluded that the school district did not procedurally violate the IDEA by not allowing the student’s parent to visit the recommended placement.  Nor did the school district commit a procedural violation when they included a regular education teacher at the student’s IEP team meeting who had not taught regular education for nearly twenty years.

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