Chapter 3: Workforce Innovation and Opportunity Act (WIOA ...
Chapter 3: Workforce Innovation and Opportunity Act (WIOA) YouthOverviewThe purpose of the WIOA Youth program is to assist young people, ages 14-24, who face significant barriers to success in the labor market by providing resources and support to overcome those barriers and successfully transition to self-sufficient adulthood.The WIOA outlines a broad youth vision that supports an integrated service delivery system and provides a framework through which states and local areas can leverage other federal, state, local, and philanthropic resources to support In-School Youth (ISY) and Out-of-School Youth (OSY). The WIOA affirms the U.S. Department of Labor’s (USDOL’s) commitment to provide high-quality services for all youth and young adults, beginning with career exploration and guidance, continued support for educational attainment, opportunities for skills training in in-demand industries and occupations, such as pre-apprenticeships or internships, and culminating with a good job along a career pathway, enrollment in post-secondary education, or a Registered Apprenticeship. All of the Department’s youth-serving programs continue to promote evidence-based strategies to assist in achieving high levels of performance, accountability, and quality in preparing young people for the workforce.The WIOA funding enables the delivery of a comprehensive array of youth services that prepare youth for post-secondary educational and employment opportunities, attainment of educational and/or skills training credentials, and obtainment of employment with career opportunities. This is accomplished by assessing the participant’s skills, interests, needs, and personal goals, creating customized service plans in collaboration with the participant, and expanding the participant’s connection to and understanding of the local economy, educational opportunities, and available community services. This process is organized and coordinated around the 14 WIOA Youth program elements, as discussed in detail in Section 3-4, which must be made available to every participant.10668016700500Make available means that each Workforce Development Board (WDB) must ensure that all 14 program elements are available in all areas served. While this does not mean that an individual service provider must deliver all 14 elements, they must identify partnerships to ensure availability by referral. Local areas have the discretion to determine which specific services a youth will receive based upon the youth’s informal interview, objective assessment, and Individual Service Strategy (ISS).Youth must be informed of the 14 elements via signage, program materials, or other similar means. The method by which youth are informed of the elements will be observed during comprehensive, programmatic reviews.As a reminder, youth must be enrolled to participate in the youth program. The Code of Federal Regulations (CFR) Section 681.320 defines enrollment requirements as the collection of information to support an eligibility determination, the provision of an objective assessment, development of an ISS, and participation in any one of the 14 program elements.Procurement and ProvidersThe Michigan Department of Labor and Economic Opportunity-Workforce Development (LEO-WD) adheres to the 20 CFR Section 681.400, which allows grant recipients/fiscal agents the option to directly provide some or all of the required youth workforce investment activities. This rule provides local WDBs with the flexibility to determine how to most efficiently provide youth services. The USDOL expects local WDBs to use youth service providers best positioned to provide program elements resulting in strong outcomes. The USDOL encourages local WDBs to award contracts to youth service providers using a competitive procurement process when local areas have access to experienced and effective providers. Should the grant recipient/fiscal agent choose to directly provide services, a periodic internal evaluation of the effectiveness and efficiency of this decision should be conducted. The WIOA Programmatic Reviews will include an examination of the internal evaluation process.If local WDBs decide to directly provide youth services, the USDOL recognizes that situations may arise where a single entity performs multiple roles, such as the fiscal agent, service provider, or One-Stop operator. In such situations, 20 CFR Section 679.430 requires “a written agreement with the local WDB and Chief Elected Official (CEO) to clarify how the organization will carry out its responsibilities while demonstrating compliance with the WIOA and corresponding regulations, relevant Office of Management and Budget circulars, and the state’s conflict of interest policy.” Furthermore, separation of roles for staff to the local WDB and the role of the fiscal agent described in 20 CFR Sections 679.400 and 679.420, respectively, provide more clarity on the distinct functions of these entities. When youth services are provided by an entity that fulfills another role in the local area, the agreement with the local WDB and CEO must provide clarity on the expectations for those roles and clear methods of tracking effective execution and accountability for the distinct roles.If not directly providing services, the local WDB will award grants or contracts on a competitive basis to providers of youth workforce activities identified based on criteria in the LEO-WD Procurement Policy (19-30), while taking into consideration the ability of providers to meet performance accountability measures based on the primary indicators of performance for the WIOA Youth program, as described in the WIOA Section 116(b)(2)(A)(ii). The local WDB must procure youth service providers in accordance with the Uniform Guidance at 2 CFR parts 200 and 2900, in addition to applicable state and local procurement lawsThe Local WDB must also conduct oversight with respect to such providers.EXCEPTION: Services available via referral at no cost do not require competitive bidding. However, providers of these services must have the capacity to provide services during the participant’s period of enrollment.The local WDB must procure youth service providers in accordance with the Uniform Guidance at 2 CFR parts 200 and 2900, in addition to applicable state and local procurement laws. Please refer to the WD procurement policy (Policy Issuance 19-30), which establishes state requirements and highlights federal requirements for procurement.If the local WDB establishes a standing youth committee under 20 CFR Section 681.100, it may assign the committee the function of selecting of grants or contracts.Where the local board elects to award contracts but determines there is an insufficient number of eligible providers of youth workforce investment activities in the local area, such as a rural area, the local board may award grants or contracts on a sole source basis.Program DesignLocal communities provide youth activities and services in partnership with the WIOA One-Stop system and under the direction of the local WDBs.Local Program Design Requirements, per 20 CFR 681.420(a) The design framework services of local youth programs must:(1) Provide for an objective assessment of each youth participant that meets therequirements of the WIOA Section 129(c)(1)(A) and includes a review of the academic and occupational skill levels, as well as the service needs and strengths of each youth for the purpose of identifying appropriate services and career pathways for participants and informing the ISS.(2) Develop and update, as needed, an ISS based on the needs of each youthparticipant that is directly linked to one or more indicators of performance described in the WIOA Section 116(b)(2)(A)(ii) that identifies career pathways that include education and employment goals that considers career planning and the results of the objective assessment, and that prescribes achievement objectives and services for the participant.(3) Provide case management of youth participants, including follow-up services.(b) The local plan must describe the design framework for youth programs in the local area, and how the 14 program elements required in 20 CFR Section 681.460 are to be made available within that framework.(c) Local WDBs must ensure appropriate links to entities that will foster the participation of eligible local area youth. Such links may include connections to:(1) Local area justice and law enforcement officials.(2) Local public housing authorities.(3) Local education agencies.(4) Local human service agencies.(5) The WIOA Title II Adult Education providers.(6) Local disability-serving agencies and providers, and health and mental health providers.(7) Job Corps representatives.(8) Representatives of other area youth initiatives, such as YouthBuild, and including those that serve homeless youth and other public and private youth initiatives.(d) Local WDBs must ensure that the WIOA youth service providers meet the referral requirements in the WIOA Section 129(c)(3)(A) for all youth participants, including:(1) Providing these participants with information about the full array of applicable or appropriate services available through the local WDBs or other eligible providers, or One-Stop partners.(2) Referring these participants to appropriate training and educational programs that have the capacity to serve them either on a sequential or concurrent basis.(e) If a youth applies for enrollment in a program of workforce investment activities and either does not meet the enrollment requirements for that program or cannot be served by that program, the eligible training provider of that program must ensure that the youth is referred for further assessment, if necessary, or referred to appropriate programs to meet the skills and training needs of the youth.(f) In order to meet the basic skills and training needs of applicants who do not meet theeligibility requirements of a particular program or who cannot be served by the program, each youth provider must ensure that these youth are referred:(1) For further assessment, as necessary.(2) To appropriate programs, in accordance with paragraph (d)(2) of this section.(g) Local WDBs must ensure that parents, youth participants, and other members of the community with experience relating to youth programs are involved in both the design and implementation of its youth programs.(h) The objective assessment required under paragraph (a)(1) of this section or the ISS required under paragraph (a)(2) of this section is not required if the program provider determines that it is appropriate to use a recent objective assessment or ISS that was developed under another education or training program.(i) Local WDBs may implement a WIOA Pay-for-Performance contract strategy for program elements described at 20 CFR Section 681.460, for which the local WDB may reserve and use not more than ten (10) percent of the total funds allocated to the local area under the WIOA Section 128(b). For additional regulations on the WIOA Pay-for-Performance contract strategies, see 20 CFR Section 683.500. ReferencesThe WIOA Sections 116(b)(2)(A)(ii), 123, and 129(c)(1)(A)/ (c)(2)/ (c)(3)(A)TEGL 23-14 WIOA Youth Program Transition2 CFR Uniform Administrative Requirements2 CFR 200 Cost principles, and audit requirements for federal awards2 CFR 290 Violations consequences, Subpart FThe WIOA Final Rules and Regulations 20 CFR:20 CFR 681.100 What is a standing youth committee?20 CFR 681.320 Must youth participants enroll to participate in the youth program?20 CFR 681.400 What is the process used to select eligible youth providers?20 CFR 681.420 How must Local Workforce Development Boards design WIOA youth programs?20 CFR 681.460 What services must local programs offer to youth participants?20 CFR 681.470 Does the Department require local programs to use WIOA funds for each of the 14 program elements?20 CFR 683.500 What is financial literacy education?PI 19-30 Procurement, and subsequent WD procurement policiesSection 3-1: Developing Partnerships, Outreach, and RecruitmentPartnershipsStrong partnerships help to leverage resources and increase opportunities for youth. They can enhance the ability of workforce investment areas to access information and data, improve services, and increase efficiencies with regard to recruitment processes, referrals, and case management. Creating strong partnerships is critical to providing the most effective, targeted, and appropriate services for youth to maintain progress along a successful career pathway.The intent of the WIOA is not necessarily to use the WIOA Youth funds for every youth element; rather, the WIOA Youth program is intended to act as an intermediary, partnering with various publicly and privately funded organizations to ensure that all 14 youth program elements are available to all youth participants. Local grant recipients can rely on partner programs to provide some of the elements if such services are available for all eligible youth in the local area. If an activity is not funded with the WIOA Title I funds, the local area must ensure that those activities are closely connected and coordinated with the WIOA system. Ongoing relationships should be established with providers of non-WIOA funded activities either through coordinated case management strategies, memorandums of understanding, or an alternate, similar method.Program Expenditures Prior to ParticipationThere are limited instances where WIOA Youth funds may be expended on costs related to individuals who are not yet participants in the WIOA Youth program. Youth funds can be expended on outreach and recruitment or assessment for eligibility determination (such as assessing basic skills level) prior to eligibility determination, but they cannot be spent on youth program services, such as the 14 program elements described in Section 3-4, prior to eligibility determination.Outreach and RecruitmentOutreach and recruitment are vital components of a successful WIOA Youth program. The objective is to connect youth most in need to the array of services that the WIOA has to offer.Recruitment factors to consider include:Where do you find youth in your local community? Where do they “hang out?”How do youth workers, counselors, and others identify potential youth participants?Where and to whom do referrals go?What marketing materials do you use to recruit youth? Are they current?Partners who may assist with recruitment efforts include:Faith-based organizationsSchoolsSocial service agenciesNon-profit organizationsJuvenile institutionsHomeless sheltersFood pantriesPublic housing authoritiesEducation agenciesJob Corps representativesMentoring organizationsOther community-based organizationsOutreach and recruitment ideas include:Use radio, TV, and print media to promote the value and positive outcomes of the WIOA services.Involve previous youth participants who can positively speak about programs as peer advocates and recruiters.Highlight incentives for youth program achievements.Hold youth-specific orientation events that promote the benefits of participation, such as:Summer and year-round employment opportunities.Free tutoring.Supportive services.Fun activities and other unique opportunities, such as Talent Tours.Involve local community leaders.Emphasize appeal, value, and uniqueness of the WIOA services.Use social media tools, such as Facebook, Instagram, and Twitter, to reach out to youth.OrientationThe WIOA orientation should provide a complete overview of the WIOA program, opportunities provided, overview of training programs, eligibility requirements, and application methods. Following orientation, interested youth are to be scheduled for an intake appointment to determine if they are eligible and suitable for services.03175While not required, it is a best practice to offer youth-specific orientations. This allows for in-depth coverage of youth specific programs and allows orientation content to be modified to better meet the physical, educational, and emotional developmental state of young adults.Orientation is the ideal time to inform youth of required documentation for eligibility determination.Best Practice: West Michigan Works! Youth Services Brochure (Next Page).ReferencesTEGL 21-16 Third WIOA Title I Youth Formula Program Guidance7917180-284480Back020000Back3741420-275590Front020000FrontSection 3-2: The WIOA Youth Eligibility and SuitabilityEligibilityThe WIOA Registration Form (Attachment 1c) is used to collect information required by federal regulations and to make a determination of eligibility and suitability for the WIOA Youth program. The registration and eligibility determination process must be completed for any youth who is to receive any WIOA services.As a reminder, local Michigan Works! Agencies (MWAs) may expand on the Registration Form template found in Attachment 1c on the condition that all information is collected as required.A sample youth eligibility checklist may be found in Attachment 13.Following verification of school status, age, and employment authorization, as identified in the WIOA Section 188(a)(5), eligibility determination includes all of the following, which may vary by school status:Determine income eligibility, where applicable.Ensure selective service registration, if applicable.Determine barriers.Identify basic skill deficiencies.The WIOA Youth Program Eligibility PageThe USDOL has developed a WIOA Youth eligibility webpage, which includes a fact sheet, an introductory webcast, and interactive tutorials on the eligibility requirements for the youth program.Non-discriminationTo determine program eligibility and/or meet federal reporting requirements, the WD, in compliance with applicable federal and state laws, does not discriminate in employment or in the provision of services based on race, color, religion, sex, national origin, age, disability, height, weight, genetic information, marital status, arrest without conviction, political affiliation or belief, and for beneficiaries only, citizenship, or participation in any federally assisted program or activity.As a reminder, when determining employment authorization, individuals meeting the requirements set forth in TEGL 02-14 are granted relief under the Deferred Action for Childhood Arrivals (DACA) Initiative with employment authorization documents.The WIOA Section 188 contains a specific non-discrimination provision that provides that participation in the WIOA is available to citizens and nationals of the United States; lawfully admitted permanent resident aliens, refugees, asylees, and parolees; and other immigrants authorized by the Attorney General to work in the United States. Individuals with employment authorization qualify under this provision as “immigrants authorized by the Attorney General to work in the United States.” Therefore, DACA participants with employment authorization may access any of the WIOA services for which they otherwise would qualify.The DACA information and resources are available in English and in Spanish.Non-discrimination provisions that apply to the public workforce system prohibit discrimination under the basis of sex, among other basis. Although gender identity is not an explicitly protected basis under the applicable federal laws, discrimination based upon gender identity, gender expression, and sex stereotyping has been interpreted to be a form of prohibited sex discrimination, including under laws that apply to federally assisted employment, training, and education programs and activities. One-Stop centers shall ensure that they are providing equal access to services.Determination of Out-of-School Youth (OSY) and In-School Youth (ISY)Once the determination of out-of-school or in-school status is made, the classification stays with the participant during the entire period of participation, and expenditures must be charged as such. For example, if an individual enrolls as a high school student, they are an ISY during their entire period of participation, even after graduating high school. All expenditures for ISY must be charged to the ISY cost category in the Management of Awards to Recipients System. Charging expenditures to the OSY cost category for ISY enrolled participants, and vice versa, will result in disallowed costs.Out-of-School Expenditure RequirementThe WIOA shifts the primary program focus of the Title I Youth program to support the educational and career success of OSY. WD acknowledges that the Act states that a minimum of 75 percent of the WIOA Youth funding is required to be spent on OSY. The USDOL understands the complexities that some states and local areas may have in expending a minimum of 75 percent of the Title I Youth formula funds on OSY.The State of Michigan sought a waiver of WIOA Section 129(a)(4)(A) and 20 CFR 681.410, which require not less than 75 percent of funds allotted to states under Section 127(b)(1)(C), reserved under Section 128(a), and available for statewide activities under subsection (b), and not less than 75 percent of funds available to local areas under subsection (c), shall be used to provide youth workforce investment activities for OSY. This waiver was approved by the USDOL on January 2, 2018. Specific impacts of this waiver include:A waiver of the requirement to expend 75 percent of State formula funding on the OSY population. Michigan has received approval to lower this amount to 50 percent.A waiver of the requirement that local funding must meet the 75 percent minimum expenditure requirement. Michigan has received approval to lower this amount to 50 percent.A waiver of the requirement to expend 75 percent of Statewide Activities funding on the OSY population. Michigan has received approval to lower this amount to 50 percent to allow flexibility of funding for special projects that meet the vision and mission of the State.Local areas do not need to individually request waivers to lower OSY expenditure targets to 50 percent. The locally identified target of a minimum of 50 percent or more must be identified in the mid-cycle modification of each MWA’s Local Strategic Plan. These waivers are in effect until the State Unified Plan expires on June 30, 2020. However, the 50 percent waiver applies to the entire life of the Appropriation Year 2019 WIOA Youth funds, even if they are carried into the next program year.Local area administrative expenditures are not included in the OSY minimum expenditure calculation.AgeThe following age ranges apply to youth participants:ISY: 14 years and 0 days through 21 years and 364 days.OSY: 16 years and 0 days through 24 years and 364 days.Income EligibilityUnder the WIOA, not all youth participants must be low income individuals. Only covered individuals must be low income.Covered IndividualsThe term “covered individual” includes:An ISY.An OSY who is low income -AND-Requires additional assistance to enter or complete an educational program or to secure or hold employment; -OR-Is a recipient of a secondary school diploma or its recognized equivalent –AND-Basic skills deficient, -OR-An English language learner.A covered individual is income-eligible for youth services if he/she is any of the following:Receiving, or is a member of a family that receives, or was determined eligible to receive income-based public support within the prior six months.A member of a family that lives at 100 percent or less of the poverty threshold or 70 percent or less of the Lower Living Standard Income Level (LLSIL).Receiving, or is a member of a family that receives, or was determined eligible to receive, food stamps within the prior six months.Homeless.Receiving, or is eligible to receive a free or reduced-price lunch.A foster child.An individual with a disability whose own income meets the income requirement of clause 2, but who is a member of a family whose income does not meet this requirement.Living in a high-poverty area.Five Percent Income ExceptionUp to five (5) percent of covered individuals served by the WIOA Youth program may be individuals who do not meet the income criteria for eligible youth, as long as all other eligibility criteria are met. Because not all OSY are required to be low-income, the five percent low-income exception under the WIOA is calculated based on the five percent of youth enrolled in a given program year who would ordinarily be required to meet the low-income criteria. For example, a local area enrolled 200 youth and 100 of those youth were OSY who were not required to meet the low-income criteria, 50 were OSY who were required to meet the low-income criteria, and 50 were ISY. In this example, the 50 OSY required to be low-income and the 50 ISY are the only youth factored into the five percent low-income exception calculation. Therefore, in this example, five of the 100 youth who ordinarily would be required to be low-income do not have to meet the low-income criteria based on the low-income exception.Local policy is to dictate whether career planners may seek approval for use of the five percent allowance. Local policy may not raise the exception beyond five percent.Free or Reduced LunchIf the youth qualifies as receiving free or reduced lunch, documentation from the school must be obtained. When a school does not use individual eligibility criteria to determine who is eligible for free or reduced-price lunch, whole school receipt of free or reduced-price lunch cannot be used to determine the WIOA low-income status for ISY. In schools where the whole school automatically receives free or reduced-price lunch, the WIOA programs must base low-income status on an individual student’s eligibility to receive free or reduced-price lunch or on meeting one of the other low-income categories under the WIOA. Local programs can check with their local school districts for determining whether individual students are eligible to receive free or reduced-price lunch. Individual determination must be found for all applicable youth (those using free or reduced lunch to verify low-income status) enrolled on or after January 29, 2018.Free or reduced lunch eligibility certification and verification guidelines, including individual income requirements, may be found on the Michigan Department of Education website.While the free/reduced lunch low-income category primarily applies to ISY, there is one exception where it could apply to an OSY. If an OSY is a parent living in the same household as a child who receives or is eligible to receive free or reduced-price lunch based on their income level, then such an OSY would meet the low-income criteria based on his/her child’s qualification. This does not apply to Adult or Dislocated Worker participants.High Poverty AreaIn order to maintain consistency across the country, the USDOL has defined a high-poverty area as a Census tract, a set of contiguous Census tracts, Indian Reservation, tribal land, or Native Alaskan Village, or a county that has a poverty rate of at least 25 percent as set every five years using American Community Survey five-year data. Please see Attachment 14 for additional information on determining if a youth is living in a high-poverty area.Conditions for Considering Only a Youth’s IncomeThere are circumstances where only the youth’s income is considered in determining whether the youth satisfies the WIOA income limits for the program. Per 20 CFR Section 681.280, an OSY with a disability is not required to be low-income and for ISY with a disability, the youth’s own income, rather than his or her family’s income, must meet the low-income definition and not exceed the higher of the poverty line or 70 percent of the LLSIL.Additionally, if an individual is not living in a single residence with other family members, that individual is not a member of a family for the purpose of the WIOA income calculations. Regulation 20 CFR Section 675.300 defines family as “two or more persons related by blood, marriage, or decree of court, who are living in a single residence, and are included in one or more of the following categories: (1) a married couple and dependent children; (2) a parent or guardian and dependent children; or (3) a married couple.”An individual who is currently in foster care is considered a family of one.See Chapter 4 for additional information on income eligibility.Selective Service Registration VerificationIndividuals who are born male age 18 or older must be registered with the Selective Service in order to be eligible for the WIOA Youth services. In order to maintain eligibility for the WIOA services, applicable participants who turns age 18 while participating in the program must be registered for Selective Service by the 30th day after their 18th birthday.For individuals who were excluded from registering for Selective Service, per Attachment 05, select “Not Applicable” for the data entry field in the One-Stop Management and Information System (OSMIS) and verify the reason in case notes. For example, if a participant is incarcerated for the entire duration of the required age span (18 to 25), they are exempt from registration.Per the Selective Service System website, individuals who are born female and change their gender to male are not required to register. However, U.S. citizens or immigrants who are born male and change their gender to female are still required to register.Please refer to the Adult/Dislocated Worker (DW) Eligibility Section in Chapter 2, which provides additional information regarding Selective Service requirements and verification.Barrier DeterminationBarriers differ slightly for OSY and ISY. Youth participants must have at least one of the following barriers:OSY must be facing one or more of the following barriers:A school dropout: Age 18+, or 16+ with parental consent.A youth who is within the age of compulsory school attendance but has not attended school for at least the most recent complete school year calendar quarter.A recipient of a secondary school diploma, or its recognized equivalent, who is a low-income individual and is—basic skills deficient, oran English language learner.An offender.A homeless individual aged 16 -24 who meets the criteria defined in Section 41403(6) of the Violence Against Women Act of 1994 (42 USC 14043e– 2(6)), a homeless child or youth who meets the criteria defined in Section 725(2) of the McKinney-Vento Homeless Assistance Act (42 USC 11434a(2)) or a runaway.An individual in foster care or who has aged out of the foster care system or who has attained 16 years of age and left foster care for kinship guardianship or adoption, a child eligible for assistance under Section 477 of the Social Security Act (42 USC 677), or in an out-of-home placement.An individual who is pregnant or parenting.An individual with a disability.A low-income individual who requires additional assistance to enter or complete an educational program or to secure or hold employment.Please Note: Recipients of a secondary school diploma, or its recognized equivalent, are not limited to OSY Barrier three (3) found above. For example, an OSY with a high school diploma who is also an offender meets the barrier criteria.ISY must be low income and facing one or more of the following barriers:Basic skills deficient.An English language learner.An offender.A homeless individual aged 14 -21 who meets the criteria defined in Section 41403(6) of the Violence Against Women Act of 1994 (42 USC 14043e– 2(6)), a homeless child or youth who meets the criteria defined in Section 725(2) of the McKinney-Vento Homeless Assistance Act (42 USC 11434a(20)), or a runaway.An individual in foster care or who has aged out of the foster care system or who has attained 16 years of age and left foster care for kinship guardianship or adoption, a child eligible for assistance under Section 477 of the Social Security Act (42 USC. 677), or in an out-of-home placement.Pregnant or parenting.An individual with a disability.An individual who requires additional assistance to complete an educational program or to secure or hold employment.Please Note: Youth who are homeschooled, in alternative education, or virtual learners are ISY.Credit-Bearing and Non-Credit-Bearing Post-Secondary ClassesIf the youth participant is enrolled in any credit-bearing post-secondary education classes, including credit-bearing community college classes and credit-bearing continuing education classes, then they are considered attending post-secondary education, and therefore, an ISY. If a youth is only enrolled in non-credit-bearing post-secondary classes, such as non-credit-bearing remediation courses or a non-credit-bearing program of study, they are not considered to be attending post-secondary school and therefore, are an OSY.High School Equivalency ProgramsYouth in High School Equivalency (HSE) program preparation are OSY. Pursuant to Michigan Public Act 249 of 2016, Section (4)(6), the three (3) HSE tests in Michigan shall include the GED?, HiSET?, and TASCTM assessments. Preparation for HSE assessment is to be recorded as Element 2 ‘Dropout Recovery Services’ in OSMIS.Exception: Youth attending HSE programs funded by the public K-12 school system who are classified by the school system as still enrolled in-school are an exception, they are considered ISY.Because the language on the registration screen has been updated to ‘Participated in Secondary Education (including HS equivalent) at or above 9th Grade Level at Program Entry’ indicator, this indicator is not to be changed after registration. For the purposes of performance reporting, entry into a HSE program following registration must be recorded on the Measurable Skill Gains screen. Step 1: Select Enter new Secondary EnrollmentStep 2: Enter the start date of the participation in secondary education at or above the 9th grade level. If the individual does not complete the HSE preparation program (for example: withdrawal), the career planner may remove them from future years’ reporting by entering an enrollment end date.School DropoutThe term “school dropout” refers to an individual who has dropped out of high school and not completed their high school diploma or equivalent. The term “school dropout” does not include individuals who have dropped out of post-secondary education. A youth’s dropout status must be determined at the time of enrollment. There is no minimum amount of time from the point of separation from school to declare dropout status. A dropout only includes an individual who is currently a secondary school dropout and does not include a youth who previously dropped out of secondary school, but subsequently returned.Age of Compulsory AttendancePer Michigan Compiled Law 380.1561, for a child who turned age 11 before December 1, 2009, (born on or before November 30, 1998) or who entered grade 6 before 2009, the child's parent, guardian, or other person in this state having control and charge of the child shall send that child to a public school during the entire school year from the age of 6 to the child's sixteenth birthday. Except as otherwise provided in this section, for a child who turns age 11 on or after December 1, 2009, (born on or after December 1, 1998) or a child who was age 11 before that date and enters grade 6 in 2009 or later, the child's parent, guardian, or other person in this state having control and charge of the child shall send the child to a public school during the entire school year from the age of 6 to the child's eighteenth birthday.Exception: For a child born on or after December 1, 1998, this does not apply to the child if the child is at least age 16 and the child's parent or legal guardian has provided to school officials of the school district in which the child resides a written notice that the child has the permission of the parent or legal guardian to stop attending school.Individual who is Pregnant or ParentingAn individual who is parenting can be a mother or father, custodial or non-custodial. As long as the youth is within the WIOA Youth age eligibility, the age when the youth became a parent does not factor into the definition of parenting. A pregnant individual can only be the expectant mother.Disability InformationDisability information, including information collected on the last page of the Registration Form, must be maintained apart from any other information regarding the individual. This must be accomplished by creating a separate file to store disability information, when applicable. It is mandatory that a different color file is used for disability information to make it easily identifiable. This file may be stored within the larger participant file and removed as necessary.Individual who Requires Additional AssistanceExamples of individuals who require additional assistance may include individuals who:Have repeated at least one secondary grade level or are one year over age for their grade.Have a core grade point average of less than 1.5.For each year of secondary education, are at least two semester credits behind the rate required to graduate from high school.Are emancipated youth.Have aged out of foster care.Are previous dropouts, have been suspended five or more times, or have been expelled.Have court/agency referrals mandating school attendance.Are deemed at risk of dropping out of school by a school official.Have been referred to or are being treated by an agency for a substance abuse related problem.Have experienced recent traumatic events, are victims of abuse, or reside in an abusive environment as documented by a school official or other qualified professional.Have serious emotional, medical, or psychological problems as documented by a qualified professional.Have never held a job.Have been fired from a job within the 12 months prior to application.Have never held a full-time job for more than 13 consecutive weeks.As a reminder, per Section 129 (a)(3)(B) of the WIOA, in each local area, not more than 5 percent of ISY may be individuals with a sole barrier of “An individual who requires additional assistance to complete an educational program or to secure or hold employment,” as described in Section 129 (a)(1)(C)(iv)(VII). This percentage is exact, and therefore may not be rounded down from any percentage higher than 5.0.This limitation applies to ISY enrolled in the WIOA on or after July 1, 2015. Local areas are to define “requires additional assistance” criterion in their local plan. This definition will apply to OSY as well.Please Note: This limitation is applied on a Program Year basis. Therefore, the limitation applies to all participants newly enrolled within each individual program year, not at one specific point in time.School StatusSchool status is based on participant status at the time of enrollment.? Because the enrollment process occurs over time, school status is based at time of eligibility determination. If the youth is between grades within high school and enrolled in the WIOA during the summer months (i.e., between 11th and 12th grade), they are an ISY as long as they are still enrolled in school and will be returning for the next school year.? As for youth who have graduated high school,?if the youth enrolls in the WIOA in the summer, is registered in post-secondary education, and will be attending in the fall, their school status is ISY.? If the graduated youth has not yet registered in post-secondary education, and is only planning to attend, their school status is OSY.? For example: If a participant has applied and been accepted but is not yet registered with the post-secondary institution, their school status is OSY.Rule of thumb: If a K-12 system counts a student on their roll, the student is ISY, even if it is a dropout recovery program.Additionally, many disconnected youth ages 16 to 24 meet eligibility requirements for both the WIOA Title I Youth and Title II Adult Education programs. Co-enrollment between these two programs can be very beneficial to disconnected youth, as they can receive work experience and occupational skills through Title I funding and literacy skills through Title II funding. The WIOA Youth programs may consider a youth to be an OSY for purposes of the WIOA Youth program eligibility if he or she attends adult education provided under Title II of the WIOA, except youth attending HSE programs funded by the public K-12 school system who are classified by the school system as still enrolled in school; they are considered ISY.Similarly, youth who are enrolled in a Section 107 funded adult education program are considered OSY.Determining Basic Skills DeficiencyLow educational functioning levels can be a significant barrier to educational and/or employment success, thus all participants must be assessed to determine any basic skills deficiencies. The WIOA defines “Basic Skills Deficient” as an individual—(A) Who is a youth, that has English reading, writing, or computing skills at or below the 8thgrade level on a generally accepted standardized test, or(B) Who is a youth or adult, that is unable to compute or solve problems, or read, write, or speakEnglish, at a level necessary to function on the job, in the individual’s family, or in society.Part A of the basic skills deficiency definition is identified by an assessment score at or below grade level 8.9.Part B of the definition, which reads “a youth who is unable to compute or solve problems, or read, write, or speak English at a level necessary to function on the job, in the individual's family, or in society,” must be locally defined and included in the local plan. The definition of Part B will be reviewed during WIOA Programmatic Reviews.The MWAs must use valid and reliable assessment instruments, such as those found in Section 3-6, and provide reasonable accommodations to youth with disabilities in the assessment process in making this determination.If appropriate, steps to improve educational functioning should be included in the participant’s ISS.Alternative Forms of DocumentationTelephone VerificationSome eligibility criteria may be verified by telephone contacts with appropriate governmental agencies or verified by document inspection. The information obtained must be documented by recording the information on a standardized form. For example, refer to the WIOA Adult, DW, and Youth Telephone Verification Form (Attachment 09). The information recorded must be adequate to enable a monitor or auditor to trace back to the cognizant agency or document used. Telephone verification must include the name and title of the agency representative providing the verification information, along with the date and representative contact information.Telephone verification forms may not be used to verify receipt of public assistance.Participant StatementFor certain elements, a participant statement, also referred to as an applicant statement, may be used only after all practicable attempts to secure other documentation have failed. It is recommended that a written log be maintained of attempts made and the results. While the WD has previously allowed various types of self-attestation documentation, the USDOL has communicated that their expectation is that the information obtained must be documented by recording the information on a standardized form. For example, refer to the WIOA Adult, DW, and Youth Participant Statement Form (Attachment 10).Please Note: The registration form will not be allowed as source documentation for self-attestation as of the date of this Manual release. Documents used to verify eligibility must be maintained in the participant file.WIOA Out-of-School Youth (OSY) Eligibility ChartWIOA In-School Youth (ISY) Eligibility ChartSuitability DeterminationSuitability determination is one of the most important factors in ensuring the overall success of the participant and program as a whole. The goal is to select youth who need assistance in overcoming employment and educational barriers, yet who are motivated and committed to putting forth the effort to improve their situation.Best Practice: The WIOA Youth Suitability Rubric, provided by Macomb/St. Clair Michigan Works!ReferencesThe WIOA Sections 129(a)(1)(B)(iii) and (a)(3)(B), 129(c)(5); 188(a)(5)WIOA Final Rules and Regulations:20 CFR 681.210 Who is an “OSY”?20 CFR 681.220 Who is an “ISY”?20 CFR 681.230 What does “school” refer to in the “not attending any school” in the out-of-school and in-school eligibility criteria?20 CFR 681.240 When do local youth programs verify dropout status?20 CFR 681.250 Who does the low-income eligibility requirement apply to?20 CFR 681.260 How does the Department define “high poverty area” for the purposes of the special regulation for low-income youth in the WIOA?20 CFR 681.270 May a local program use the eligibility for free or reduced-price lunches under the National School Lunch Program as a substitute for the income eligibility criteria under Title I of the WIOA?20 CFR 681.280 Is a youth with a disability eligible for youth services under the WIOA if his or her family income exceeds the income eligibility criteria?20 CFR 681.290 How does the Department define “basic skills deficient” criterion in this part?20 CFR 681.300 How does the Department define the “requires additional assistance to enter or complete an educational program, or to secure and hold employment” criterion in this part for ISY?20 CFR 681.310 Must youth participants enroll to participate in the youth program?20 CFR 681.410 Does the requirement that a State and local area expend at least 75 percent of youth funds to provide services to OSY youth apply to all youth funds?TEGL 11-11, Changes 1 and 2- Registration Requirements for ETA Funded Programs TEGL 02-14- Eligibility of Deferred Action for Childhood Arrivals Participants Workforce Investment Act (WIA) and Wagner-Peyser Act ProgramsTEGL 23-14- WIOA Youth Program TransitionTEGL 37-14- Update on Complying with Non-discrimination Requirements: Discrimination Based on Gender Identity, Gender Expression and Sex Stereotyping are Prohibited Forms of Sex Discrimination in the Workforce Development SystemTEGL 08-15- Second Title I WIOA Youth Program Transition GuidanceMichigan Codified Law 380.1561Michigan Public Act 249 of 2016, Section (4)(6)Section 3-3: IntakeThe WIOA participant registration process is used to collect information required by federal regulations and to make a determination of eligibility, as outlined in Section 3-2, for the WIOA Youth program. A WIOA registration and eligibility and suitability determination must be completed for any youth who is to receive any WIOA service.Pre-RegistrationThe WIOA registration process begins with pre-registration. The pre-registration process collects all information to meet Equal Opportunity (EO) requirements as stated in the WIOA, Section 188, and 29 CFR Part 37; and includes collection and data entry of other essential information, such as address and telephone numbers.With the exception of the WIOA registration, the MWA must collect EO data for every individual who is interested in being considered for the WIOA Title I financially-assisted aid, benefits, services, or training by a MWA, and who has signified that interest by submitting personal information in response to a request by the MWA.RegistrationAn informal interview with the participant should be conducted by the intake worker to collect information on income, living situation, education level, and reason for visiting the MWA. Intake worker assistance to guarantee accurate reporting is strongly encouraged while the participant fills out the registration form, since the participant will not be familiar with the definitions used for many of the reporting items. The intake worker will assist the participant to complete all applicable items on the form prior to the transfer of information to the web-based form.The youth participant must sign and date the WIOA Youth Registration, either as Attachment 1c, a locally developed registration form, or a printout of the OSMIS form. A parent/guardian or other responsible adult must also sign and date the registration form, if the youth is a minor. As a reminder, a signed and dated copy of the WIOA Registration Form is a required component of the participant’s file.Other Responsible AdultFor purposes of authorizing a minor to participate in the WIOA programs, the signature of a parent, guardian, or other responsible adult is required. Local areas may define in policy “other responsible adult” in order to enroll minors with the authorization of individuals other than a parent or legal guardian. The definition of "other responsible adult" may include: A relative with whom the individual resides,An adult who has been delegated custodial or administrative responsibilities in writing, either temporarily or permanently, by parents or by an appropriate agency,An agency or organization representative who is in a position to know the individual's circumstances (i.e., that they could not get a parent's or guardian's signature authorizing participation), for example, a clergy person, a school teacher or other school official, a probation or other officer of the court, a foster parent,A representative of an agency which provided support services to the individual and who is aware of the individual's circumstances (i.e., that they cannot get a parent's or guardian's signature authorizing participation), for example, a social worker, a homeless shelter official, a child protective worker, a health clinic official, orOther responsible adults determined by the local board as appropriate to authorize the individual's participation.Corrections or clarification to information completed by the registrant, when using the “hard copy” form, should show clearly that the intake worker made the notations by the addition of the intake worker’s signature and date on which the change was made. The intake worker may wish to use a different color pen, etc.285753746500In no instance should the intake worker cross out or erase information provided by the registrant. The intake worker is to note which additional/correct information is appropriate in the Comments Section of the registration form. For instances when self-attestation is applicable, the participant must make, sign, and date the correction.The Electronic Participant Management Information Guide is designed to assist One-Stop staff in filling out the web-based registration form. This guide is available only to those with OSMIS access.Co-EnrollmentA determination should be made as to whether or not the participant’s needs would be best met by simultaneous enrollment in both the WIOA Youth and WIOA Adult programs. To qualify for co-enrollment, the participant must be between the ages of 18-24 and meet all eligibility requirements of both programs. Local WDBs may create additional directives and policies regarding co-enrollment.Non-eligible YouthNon-eligible youth shall be referred to other services offered by either the local MWA or community-based organizations in accordance with the individual’s needs.ReferralsMap My CommunityIn addition to existing partnerships, this link to Map My Community provides an interactive mapping tool to locate federally supported youth programs in your community:Search by keyword and city or zip code to find programs. If programs are found, the location is marked on the map. Click on the marker to see the program title, CFDA number, department, funding agency, recipient name and full address. Results can be filtered by topic and sponsoring federal ics include: Afterschool; Bullying; Community Development; Disabilities; Education, Training and Employment; Health and Nutrition; Homelessness and Housing; Mental Health; Mentoring; Parenting; Positive Youth Development; Substance Abuse; Transition-Age Youth; and Violence and Victimization.Sponsoring departments include: Department of Agriculture; Department of Defense; Department of Education; Department of Health and Human Services; Department of Homeland Security; Department of Housing and Urban Development; Department of Justice; Department of Labor; Department of Interior; Department of Transportation; and the Social Security Administration.2-1-12-1-1 is a nationwide service connecting millions of people to help every year. Resources for food, health, crisis, housing and utilities, human trafficking, emergencies and disaster, jobs and employment, reentry, and veterans are available. To get help, you can search for local resource through your local 2-1-1 provider, or simply call 2-1-1.ReferencesThe WIOA Section 188Regulation 20 CFR Sections 681.430, 681.440, 681.470Section 3-4: Youth Program ElementsThe 14 WIOA Youth program elements under the WIOA Section 129(c)(2) are:Tutoring, study skills training, instruction and evidence-based dropout prevention and recovery strategies that lead to completion of the requirements for a secondary school diploma or its recognized equivalent (including a recognized certificate of attendance or similar document for individuals with disabilities) or for a recognized post-secondary credential.2.Alternative secondary school services, or dropout recovery services, as appropriate.3.Paid and unpaid work experiences that have academic and occupational education as a component of the work experience, which may include the following types of work experiences:Summer employment opportunities and other employment opportunities available throughout the school year.Pre-apprenticeship programs.Internships and job shadowing.On-the-job training opportunities.4.Occupational skill training, which includes priority consideration for training programs that lead to recognized post-secondary credentials that align with in-demand industry sectors or occupations in the local area involved, if the local board determines that the programs meet the quality criteria described in the WIOA Section 123.5.Education offered concurrently with and in the same context as workforce preparation activities and training for a specific occupation or occupational cluster.6.Leadership development opportunities, including community service and peer-centered activities encouraging responsibility and other positive social and civic behaviors.7.Supportive services.8.Adult mentoring for a duration of at least 12 months that may occur both during and after program participation.9.Follow-up services for not less than 12 months after the completion of participation.prehensive guidance and counseling, which may include drug and alcohol abuse counseling, as well as referrals to counseling, as appropriate to the needs of the individual. 11.Financial literacy education.12.Entrepreneurial skills training.13.Services that provide labor market and employment information about in-demand industry sectors or occupations available in the local area, such as career awareness, career counseling, and career exploration services.14.Activities that help youth prepare for, and transition to, post-secondary education and training.Program Element 1 Tutoring, study skills training, instruction, and dropout prevention services Further described in Final Rule: No Applicable Participant Individual Record Layout (PIRL) Data Element Number: 1402In 20 CFR Section 681.460 (a)(1) this is the first program element listed and includes “tutoring, study skills training, instruction and evidence-based dropout prevention and recovery strategies that lead to completion of the requirements for a secondary school diploma or its recognized equivalent (including a recognized certificate of attendance or similar document for individuals with disabilities) or for a recognized post-secondary credential.”Tutoring, study skills training, and instruction that lead to a high school diploma are reported under this program element. Such services focus on providing academic support, helping a youth identify areas of academic concern, assisting with overcoming learning obstacles, and providing tools and resources to develop learning strategies. Tutoring, study skills training, and instruction can be provided one-on-one, in a group setting, and through resources and workshops.Secondary school dropout prevention strategies intended to lead to a high school diploma are also reported under this program element. Secondary school dropout prevention strategies include services and activities that keep a young person in-school and engaged in a formal learning and/or training setting. Strategies include, but are not limited to tutoring, literacy development, active learning experiences, after-school opportunities, and individualized instruction.While dropout recovery strategies that lead to completion of a recognized HSE are included in both this first program element and in program element two in 20 CFR Section 681.460 (a)(2) described below, those services are not reported under this program element. For documentation purposes, those services aimed at getting a youth who has dropped out of secondary education back into a secondary school or alternative secondary school/HSE program and preparing them for HSE attainment, should be counted under program element two.Furthermore, while the statutory and regulatory language for both program elements one and four (discussed below) include language discussing services leading to recognized post-secondary credentials, training services that lead to recognized post-secondary credentials should be reported under program element four “occupational skills training” to avoid duplicated reporting of services.Program Element 2 Alternative secondary school services or dropout recovery services Further described in Final Rule: No Applicable PIRL Data Element Number: 1403Alternative secondary school services, such as basic education skills training, individualized academic instruction, and English as a Second Language training, are those that assist youth who have struggled in traditional secondary education. Dropout recovery services, such as credit recovery, counseling, and educational plan development, are those that assist youth who have dropped out of school. While the activities within both types of services may overlap, each are provided with the goal of helping youth to re-engage and persist in education that leads to the completion of a recognized high school equivalent.Please Note: GED?, HiSET?, and TASCTM preparation services shall be recorded here.Program Element 3 Paid and unpaid work experienceFurther described in Final Rule: Sections 681.600, 681.590, 681.480Applicable PIRL Data Element Numbers: 1205, 1405 Regulation 20 CFR Section 681.600 further defines work experience as “a planned, structured learning experience that takes place in a workplace for a limited period of time. Work experience may be paid or unpaid, as appropriate. A work experience may take place in the private for-profit sector, the non-profit sector, or the public sector. Labor standards apply in any work experience where an employee/employer relationship, as defined by the Fair Labor Standards Act (FLSA), or applicable state law exists. Consistent with 20 CFR Section 680.840, funds provided for work experiences may not be used to directly or indirectly aid in the filling of a job opening that is vacant because the former occupant is on strike, or is being locked out in the course of a labor dispute, or the filling of which is otherwise an issue in a labor dispute involving a work stoppage. Work experiences provide the youth participant with opportunities for career exploration and skill development.” Additional information on the employer/employee relationship may be found on USDOL’s Wage and Hour Division website.The WIOA and 20 CFR Section 681.590(a) require that a minimum of 20 percent of local area funds for the Title I Youth program be spent on work experience. As explained in 20 CFR Section 681.590(b), local area administrative costs are not subject to the 20 percent minimum work experience expenditure requirement. Leveraged resources cannot be used to fulfill any part of the 20 percent minimum.The TEGL 08-15 provides further discussion of allowable expenditures that may be counted toward the work experience expenditure requirement and articulates that program expenditures on the work experience program element can be more than just wages paid to youth in work experience. Allowable work experience expenditures include the following:Wages/stipends paid for participation in a work experience.Staff time working to identify and develop a work experience opportunity, including staff time spent working with employers to identify and develop the work experience.Staff time working with employers to ensure a successful work experience, including staff time spent managing the work experience.Staff time spent evaluating the work experience.Participant work experience orientation sessions.Employer work experience orientation sessions.Classroom training or the required academic education component directly related to the work experience.Incentive payments directly tied to the completion of work experience.Employability skills/job readiness training to prepare youth for a work experience.Supportive services are a separate program element and cannot be counted toward the work experience expenditure requirement even if supportive services assist the youth in participating in the work experience.Academic and occupational education component. As discussed in 20 CFR Section 681.600, work experiences must include academic and occupational education. The educational component may occur concurrently or sequentially with the work experience. However, the MWAs must recognize the risk of loss of interest to engage in the academic or occupational education component following participation in a work experience. It is the responsibility of the MWA to ensure that the youth completes the academic and occupational education component of the work experience to confirm compliance with the WIOA. Further, the MWA must document in the ISS and/or case notes, the academic and occupational component’s connection to the work experience.The academic and occupational education component may occur inside or outside the work site. The work experience employer can provide the academic and occupational component, or such components may be provided separately in the classroom or through other means. State and local areas have the flexibility to decide who provides the education component.The academic and occupational education component refers to contextual learning that accompanies a work experience. It includes the information necessary to understand and work in specific industries and/or occupations. For example, if a youth is in a work experience in a hospital, the occupational education could be learning about the duties of different types of hospital occupations such as a phlebotomist, radiology tech, or physical therapist. Whereas, the academic education could be learning some of the information individuals in those occupations need to know such as why blood type matters, the name of a specific bone in the body, or the function of a specific ligament. Local programs have the flexibility to determine the appropriate type of academic and occupational education necessary for a specific work experience. Categories of work experience. The WIOA identifies four categories of work experience: (1) summer employment opportunities and other employment opportunities available throughout the school year; (2) pre-apprenticeship programs; (3) internships and job shadowing; and (4) On-the-Job Training opportunities as defined in the WIOA Section 3(44) and in 20 CFR Section 680.700. Two of the categories, job shadowing and pre-apprenticeship, are discussed below. Pre-apprenticeshipAs discussed in 20 CFR Section 681.480, pre-apprenticeship is a program designed to prepare individuals to enter and succeed in a Registered Apprenticeship program, and includes the following elements: (a) training and curriculum that aligns with the skill needs of employers in the economy of the state or region involved; (b) access to educational and career counseling and other supportive services, directly or indirectly; (c) hands-on, meaningful learning activities that are connected to education and training activities, such as exploring career options, and understanding how the skills acquired through coursework can be applied toward a future career; (d) opportunities to attain at least one industry-recognized credential; and (e) a partnership with one or more registered apprenticeship programs that assists in placing individuals who complete the pre-apprenticeship program in a Registered Apprenticeship program.InternshipsInternships may take place in the private, for-profit sector; the non-profit sector; or the public sector. The appropriateness of an internship for a participant should be documented in the participant’s ISS or case notes and should show a clear linkage between the internship and potential improvement in the participant’s employability in a high-demand occupation and/or industry.The USDOL has released a Fact Sheet regarding internship programs under the FLSA.Job ShadowingJob shadowing is a work experience option where youth learn about a job by walking through the workday as a shadow to a competent worker. The job shadowing work experience is a temporary, unpaid exposure to the workplace in an occupational area of interest to the participant. Youth witness firsthand the work environment, employability and occupational skills in practice, the value of professional training, and potential career options. A job-shadowing experience can be anywhere from a few hours, to a day, to a week or more.Job shadowing is designed to increase career awareness, help model youth behavior through examples, and reinforce in the youth and young adult the link between academic classroom learning and occupational work requirements. It provides an opportunity for youth to conduct short interviews with people in their prospective professions to learn more about those fields. Job shadowing can be thought of as an expanded informational interview. By experiencing a workplace first-hand, youth can learn a great deal more about a career than through research in print publications and on the Internet.Minor Work PermitsIf the youth is a minor when they begin a work experience, a copy of the minor’s work permit must be placed in the participant file.Program Element 4 Occupational skills trainingFurther described in Final Rule: Section 681.540, 681.550Applicable PIRL Data Element Numbers: 1300, 1302, 1303, 1306 – 1319As stated in 20 CFR Section 681.540 of the Final Rule, occupational skills training is defined as an organized program of study that provides specific vocational skills that lead to proficiency in performing actual tasks and technical functions required by certain occupational fields at entry, intermediate, or advanced levels. Local areas must give priority consideration to training programs that lead to recognized post-secondary credentials that align with in-demand industry sectors or occupations in the local area. Such training must contain these components:Be outcome-oriented and focused on an occupational goal specified in the ISS.Be of sufficient duration to impart the skills needed to meet the occupational goal. Lead to the attainment of a recognized post-secondary credential.In addition, the chosen occupational skills training must meet the quality standards in the WIOA Section 123.Individual Training Accounts (ITAs)As discussed in 20 CFR Section 681.550, “in order to enhance individual participant choice in their education and training plans and provide flexibility to service providers, the Department allows the WIOA ITAs for OSY, ages 16 to 24 using the WIOA youth funds when appropriate.” ITAs allow participants the opportunity to choose the training provider that best meets their needs. To receive funds from an ITA, the training provider must be on the Eligible Training Provider List as outlined in 20 CFR Sections 680.400 and 680.410.Please Note: An ITA is not the only allowable way to fund training for youth. It is one allowable option to enhance individual participant choice in education and training plans and provide flexibility to service providers. Training may also be funded via direct payment to an education or training provider after documented consideration of cost, locality, and participant preference of a minimum of three options are evaluated. This documentation must be available for review.ISY cannot use youth program-funded ITAs. However, in addition to the above-mentioned direct payment, ISY between the ages of 18 and 21 may co-enroll in the WIOA Adult program if the young adult’s individual needs, knowledge, skills, and interests align with the WIOA Adult program and may receive training services through an ITA funded by the Adult program.OSMIS EntryPlease select the Youth Occupational Skills Training code when entering this activity in OSMIS. Per the PIRL, the Other Occupational Skills Training code should only be utilized in rare instances when other codes are clearly not appropriate.Program Element 5 Education offered concurrently with workforce preparation and training for a specific occupation Further described in Final Rule: Section 681.630 Applicable PIRL Data Element Number: 1407Regulation 20 CFR Section 681.630 states that this program element reflects an integrated education and training model and describes how workforce preparation activities, basic academic skills, and hands-on occupational skills training are to be taught within the same time frame and connected to training in a specific occupation, occupational cluster, or career pathway. While programs developing basic academic skills, which are included as part of alternative secondary school services and dropout recovery services (Element 2), workforce preparation activities that occur as part of a work experience (Element 3), and occupational skills training (Element 4) can all occur separately and at different times (and thus are counted under separate program elements), this program element refers to the concurrent delivery of these services which make up an integrated education and training model.Program Element 6 Leadership development opportunitiesFurther described in Final Rule: Section 681.520, 681.530Applicable PIRL Data Element Number: 1408The 20 CFR Section 681.520 defines this program element as opportunities that encourage responsibility, confidence, employability, self-determination, and other positive social behaviors such as: (a) exposure to post-secondary educational possibilities, (b) community and service-learning projects, (c) peer-centered activities, including peer mentoring and tutoring, (d) organizational and team work training, including team leadership training, (e) training in decision-making, including determining priorities and problem solving, (f) citizenship training, including life skills training such as parenting and work behavior training, (g) civic engagement activities which promote the quality of life in a community, and (h) other leadership activities that place youth in a leadership role such as serving on youth leadership committees, such as a Standing Youth Committee.Program Element 7 Supportive servicesFurther described in Final Rule: Section 681.570Applicable PIRL Data Element Number: 1409The 20 CFR Section 681.570 describes supportive services for youth, defined in the WIOA Section 3(59), as services that enable an individual to participate in the WIOA activities. These services include, but are not limited to, the following: (a) linkages to community services, (b) assistance with transportation, (c) assistance with child care and dependent care, (d) assistance with housing, (e) needs-related payments, (f) assistance with educational testing, (g) reasonable accommodations for youth with disabilities, (h) legal aid services, (i) referrals to health care, (j) assistance with uniforms or other appropriate work attire and work-related tools, including such items as eyeglasses and protective eye gear; (k) assistance with books, fees, school supplies, and other necessary items for students enrolled in post-secondary education classes, and (l) payments and fees for employment and training-related applications, tests, and certifications.Supportive services may be provided to address identified needs that may interfere with the participant’s ability to successfully participate in the WIOA program or interrupt their attachment to the workforce. These services may be addressed whenever the need is identified, whether at initial assessment or at any time during participation in the WIOA program. Supportive services may be delivered while a participant is enrolled in one or more of the 14 required program elements, including while an exited participant is eligible for follow-up services. Supportive services may be provided only after it has been determined that the services are necessary for participation in program activities.When considering the necessity of providing a supportive service, providers shall make a determination of which services are reasonably required for each individual participant based on his/her unique needs, as identified through the participant assessment process. The need for and provision of, or referral to these services should be documented in the ISS and case notes. Supportive services may be provided to participants as follow-up services, as documented in his or her ISS.The decision to provide supportive services, as well as the method to determine the level and duration of assistance, rests with the local WDBs.The MWAs that elect to provide supportive services to participants must:Establish a policy to provide supportive services. The policy must include the conditions, amounts, duration, and documentation requirements for the provision of supportive services, including utilization of Needs Related Payments (NRPs).Incorporate the policy into the WIOA Local Comprehensive Plan.Document services received in the participant’s ISS.Update the Supportive Services Section of OSMIS with WIOA supportive services.Ensure that acceptable accounting procedures are used in the provision of supportive services.Element 8 Adult mentoring Further described in Final Rule: Section 681.490Applicable PIRL Data Element Number: 1410The 20 CFR Section 681.490 states that adult mentoring must last at least 12 months and may take place both during the program and following exit from the program and be a formal relationship between a youth participant and an adult mentor that includes structured activities where the mentor offers guidance, support, and encouragement to develop the competence and character of the mentee. The final rule also states that while group mentoring activities and mentoring through electronic means are allowable as part of the mentoring activities, at a minimum, the local youth program must match the youth with an individual mentor with whom the youth interacts on a face-to-face basis. Mentoring may include workplace mentoring where the local program matches a youth participant with an employer or employee of a company. Local programs should ensure appropriate processes are in place to adequately screen and select mentors.The USDOL acknowledges that in a few areas of the country finding mentors may present a burden to a program. While USDOL strongly prefers that career planners not serve as mentors, the final rule allows career planners to serve as mentors in areas where adult mentors are sparse.Mentor MichiganThe Mentor Michigan Directory provides an online resource and comprehensive list of?mentoring programs in Michigan.? Potential mentors, businesses, youth, parents, guardians, teachers, faith leaders, and others can find information?on this website.Program Element 9 Follow-up services Further described in Final Rule: Section 681.580Applicable PIRL Data Element Number: 1412The 20 CFR Section 681.580 describes follow-up services as critical services provided following a youth’s exit from the program to help ensure the youth is successful in employment and/or post-secondary education and training. Follow-up services may include regular contact with a youth participant's employer, including assistance in addressing work-related problems that arise. Follow-up services may begin immediately following the last expected date of service in the Youth program (and any other USDOL program in which the participant is co-enrolled if the state is using a common exit policy as discussed in TEGL 10-16, Change 1, and subsequent TEGLs) when no future services are scheduled. Follow-up services do not cause the exit date to change and do not trigger re-enrollment in the program.The exit date is determined when the participant has not received services in the Youth program or any other USDOL-funded program in which the participant is co-enrolled for 90 days and no additional services are scheduled. At that point, the date of exit is applied retroactively to the last date of service. Once 90 days of no services, other than follow-up services, self-service, andinformation-only services and activities has elapsed, and the participant has an official exit date applied retroactively to the last date of service, the program continues to provide follow-up services for the remaining 275 days of the 12-month follow-up requirement. The 12-month follow-up requirement is completed upon one year from the date of exit. However, follow-up services may be provided beyond 12 months at the local board’s discretion.The final rule also states that follow-up services for youth may only include the following program elements: (1) supportive services, (2) adult mentoring, (3) financial literacy education, (4) services that provide labor market and employment information about in-demand industry sectors or occupations available in the local area, such as career awareness, career counseling, and career exploration services, and (5) activities that help youth prepare for and transition to post-secondary education and training. Provision of these program elements must occur after the exit date in order to count as follow-up services. The USDOL recommends that when these services are provided as follow-up services they are coded as follow-up services in state/local management information systems as opposed to program services provided prior to program exit so that management information systems clearly differentiate follow-up services from those services provided prior to exit. In addition, such follow-up services should be documented in the case file that they were provided as follow-up services post exit.Please Note: The above-mentioned program elements are the only elements allowable during follow-up. Work experience is not an allowable follow-up activity.The 20 CFR Section 681.580 states that all youth participants must be offered an opportunity to receive follow-up services that align with their ISS. Furthermore, follow-up services must be provided to all participants for a minimum of 12 months unless the participant declines to receive follow-up services, or the participant cannot be located or contacted. The types of services provided, and the duration of services must be determined based on the needs of the individual and therefore, the type and intensity of follow-up services may differ for each participant. Follow-up services must include more than only a contact attempted or made for securing documentation in order to report a performance outcome. As a reminder, contact attempts and/or contact made to secure documentation in order to report a performance outcome is to be recorded in case notes, not as an activity in OSMIS.The USDOL recognizes the concerns that some youth may not be responsive to attempted contacts for follow-up, and other youth may be difficult to locate making it impossible to provide follow-up services for such individuals. Local programs should have policies in place to establish how to document and record when a participant cannot be located or contacted. At the time of enrollment, youth must be informed that follow-up services will be provided for 12 months following exit. Unable to LocateThe state has determined that in the event a WIOA Youth participant cannot be located, attempts to locate and contact the participant must be made for a minimum of the first two quarters following exit. Local policy may extend this time period but may not shorten it.Opting OutAt the time of enrollment, youth must be informed that follow-up services will be provided for 12 months following exit. If at any point in time during the program or during the 12 months following exit, the youth requests to opt-out of follow-up services, they may do so. In this case, the request to opt-out or discontinue follow-up services made by the youth must be documented in the case file in detail. Youth may not be encouraged to opt-out. The decision to opt out must be the result of an unprompted request. Opting out of follow-up is not appropriate at the time of registration. Quarterly follow-up entries, as entered in the OSMIS, must be detailed.For Example Follow-up services will be reviewed during the WIOA Programmatic Reviews. Inadequate or insufficient follow-up services, providing follow-up services inconsistently, i.e., “only upon request,” providing follow-up services for less than a duration of 12 months, and inappropriate prompting of youth to opt out of follow-up services will be noted as findings unless thoroughly deemed justifiable via documentation.Program Element 10 Comprehensive guidance and counseling Further described in Final Rule: Section 681.510Applicable PIRL Data Element Number: 1411The 20 CFR Section 681.510 states that comprehensive guidance and counseling provides individualized counseling to participants. This includes drug and alcohol abuse counseling, mental health counseling, and referral to partner programs, as appropriate. When referring participants to necessary counseling that cannot be provided by the local youth program or its service providers, the local youth program must coordinate with the organization it refers to in order to ensure continuity of service. When resources exist within the local program or its service providers, it is allowable to provide counseling services directly to participants rather than refer youth to partner programs.Program Element 11 Financial literacy educationFurther described in Final Rule: Section 681.500 Applicable PIRL Data Element Number: 1206The 20 CFR Section 681.500 states that this program element may include the following activities: Support the ability of participants to create budgets, initiate checking and savings accounts at banks, and make informed financial decisions.Support participants in learning how to effectively manage spending, credit, and debt, including student loans, consumer credit, and credit cards. Teach participants about the significance of credit reports and credit scores, what their rights are regarding their credit and financial information, how to determine the accuracy of a credit report and how to correct inaccuracies, and how to improve or maintain good credit.Support a participant’s ability to understand, evaluate, and compare financial products, services, and opportunities and to make informed financial decisions.Educate participants about identity theft, ways to protect themselves from identify theft, and how to resolve cases of identity theft and in other ways understand their rights and protections related to personal identity and financial data.Support activities that address the particular financial literacy needs of non-English speakers, including providing the support through the development and distribution of multilingual financial literacy and education materials.Support activities that address the particular financial literacy needs of youth with disabilities, including connecting them to benefits planning and work incentives counseling.Provide financial education that is age appropriate, timely, and provides opportunities to put lessons into practice, such as by access to safe and affordable financial products that enable money management and savings.Implement other approaches to help participants gain the knowledge, skills, and confidence to make informed financial decisions that enable them to attain greater financial health and stability by using high quality, age-appropriate, and relevant strategies and channels, including, where possible, timely and customized information, guidance, tools, and instruction.In November of 2016, the Financial Literacy Education Commission released a guide, “Incorporating Financial Capability into Youth Employment Programs,” aimed at financial institutions interested in enhancing youth financial capability by partnering with youth employment programs. It maps how and why financial institutions engage in helping young people achieve greater financial well-being and employment success.The Federal Deposit Insurance Corporation has multiple free tools to assist with the understanding of financial literacy on their Youth Employment Resource Center website. These tools include Money Smart, which is a comprehensive financial education curriculum designed to help low- and moderate-income individuals outside the financial mainstream enhance their financial skills and create positive banking relationships. Program Element 12 Entrepreneurial skills training Further described in Final Rule: Section 681.560Applicable PIRL Data Element Number: 1413The 20 CFR Section 681.560 states this program element provides the basics of starting and operating a small business. Such training must develop the skills associated with entrepreneurship. Such skills may include, but are not limited to, the ability to:Take initiative.Creatively seek out and identify business opportunities.Develop budgets and forecast resource needs.Understand various options for acquiring capital and the trade-offs associated with each municate effectively and market oneself and one’s ideas.Approaches to teaching youth entrepreneurial skills may include, but are not limited to:Entrepreneurship education that provides an introduction to the values and basics of starting and running a business. Entrepreneurship education programs often guide youth through the development of a business plan and also may include simulations of business start-up and operation.Enterprise development which provides supports and services that incubate and help youth develop their own businesses. Enterprise development programs go beyond entrepreneurship education by helping youth access small loans or grants that are needed to begin business operation and by providing more individualized attention to the development of viable business ideas.Experiential programs that provide youth with experience in the day-to-day operation of abusiness. These programs may involve the development of a youth-run business that young people participating in the program work in and manage. Or, they may facilitate placement in apprentice or internship positions with adult entrepreneurs in the community.Program Element 13 Services that provide Labor Market Information (LMI)Further described in Final Rule: Section 651.10Applicable PIRL Data Element Number: 1414Under 20 CFR Section 681.460 (a)(13), this element includes “services that provide labor market and employment information about in-demand industry sectors or occupations available in the local area, such as career awareness, career counseling, and career exploration services.” This element is not further described in the Youth section of the final rule; however, the Wagner-Peyser regulation at 20 CFR Section 651.10 provides additional information about this element under the definition of workforce and Labor Market Information (LMI). That section defines workforce and LMI as “the body of knowledge that describes the relationship between labor demand and supply.” Numerous tools and applications that are user-friendly exist, which can be used to provide labor market and career information, as appropriate to each youth. These LMI tools can be used to help youth and young adults to make appropriate decisions about education and careers. LMI identifies in-demand industries and occupations and employment opportunities; and, provides knowledge of job market expectations including education and skills requirements and potential earnings. LMI tools also can aid in facilitating youth awareness of the career fields that are likely to provide long-term employment and earnings in local labor markets.The WIOA youth programs and providers should become familiar with state and federal LMI data and LMI tools, which are provided for free, in order to share relevant LMI with youth. Providing such readily available online services can be accomplished by connecting the youth with American Job Centers and other entities that have career exploration tools, ability and interest inventories, and provide related employment services. The USDOL electronic tools particularly relevant to youth include My Next Move and Get My Future. In addition to connecting youth to self-service LMI tools, it is important for youth providers to share and discuss state and local LMI with youth participants. In general, career awareness begins the process of developing knowledge of the variety of careers and occupations available, their skill requirements, working conditions, and training prerequisites, and job opportunities across a wide range of industry sectors. The process in which youth choose an educational path and training or a job which fits their interests, skills, and abilities can be described as career exploration. Career counseling or guidance provides advice and support in making decisions about what career paths to take. Career counseling servicesmay include providing information about resume preparation, interview skills, potential opportunities for job shadowing, and the long-term benefits of post-secondary education and training (e.g., increased earning power and career mobility).WD strongly encourages use of the newly developed, free Michigan Education and Career Pathfinder tool, which provides information to students, their parents, and guidance staff to make informed choices about educational and career options, as well as to help with creation of educational development plans. This free tool uses current labor market information, longitudinal wage data, and other institutional data and metrics, allowing improved skills-matching to career paths and jobs.Program Element 14 Post-secondary preparation and transition activities Further described in Final Rule: NoApplicable PIRL Data Element Number: 1415In 20 CFR Section 681.460 (a)(14), the final program element is activities that help youth prepare for and transition to post-secondary education and training. Post-secondary preparation and transition activities and services prepare ISY and OSY for advancement to post-secondary education after attaining a high-school diploma or its recognized equivalent. These services include exploring post-secondary education options including technical training schools, community colleges, 4-year colleges and universities, and Registered Apprenticeship. Additional services include, but are not limited to, assisting youth to prepare for SAT/ACT testing; assisting with college admission applications; searching and applying for scholarships and grants; filling out the proper Financial Aid applications and adhering to changing guidelines; connecting youth to post-secondary education programs; and skill development and practice, such as time management, mock interviews, independent living, or legal responsibilities after the age of 18.ReferencesTEGL 10-16, Change 1- Performance Accountability Guidance for WIOA Title I, Title II, Title III and Title IV Core ProgramsTEGL 21-16- Third WIOA Title I Youth Formula Program GuidanceWIOA Final Rules and Regulations 20 CFR:20 CFR 681.460 What services must local programs offer to youth participants?20 CFR 681.480 What is a pre-apprenticeship program?20 CFR 681.490 What is adult mentoring20 CFR 681.500 What is financial literacy education20 CFR 681. 510 What is comprehensive guidance and counseling?20 CFR 681. 520 What are leadership development opportunities?20 CFR 681.530 What are positive social and civic behaviors?20 CFR 681.540 What is occupational skills training?20 CFR 681.560 What is entrepreneurial skills training and how is it taught?20 CFR 681.570 What are supportive services for youth?20 CFR 681.580 What are follow-up services for youth?20 CFR 681.590 What is the work experience priority and how will local youth programs track the work experience priority?20 CFR 681.600 What are work experiences?20 CFR 681.630 What does education offered concurrently with and in the same context as workforce preparation activities and training for a specific occupation or occupational cluster mean?Section 3-5: Case ManagementCase management is the foundation of service delivery in the workforce development system. Effective case management practices include the development of ISSs (See Section 3-7), follow-up services (See Section 3-4), and case note and file maintenance. A successful case management approach includes assessing and interpreting needs, developing strategies to help reach educational, training, and employment goals, providing tools and resources to help overcome personal barriers, documenting youth participation, referral outcomes, service decisions, summaries of one-on-one meetings, and achievements, and providing follow-up services. Case management provides an opportunity for staff to build a working relationship with the participant and with key organizations in order to assist youth in meeting their objectives.Case File ManagementEach WIOA Youth participant shall have a case file with detailed information on basic and occupational skills, work experience, interests, supportive service needs, assessment results, eligibility documentation, and case notes documenting active case management and follow-up, including how service decisions are made, and other information that will help create a strategy for success. Thorough case file maintenance and documentation by case notes are essential to the effective provision of case management, as they assist with managing and supporting participants’ progress.left1079500Following the USDOL Employment and Training Administration’s (ETA) monitoring reviews, conducted in 2011, 2012, 2013, and 2015, the ETA reported several types of issues with case file documentation and practices. These issues included incomplete case notes, poor case file maintenance where required documentation was missing, case files not updated and/or not matching information entered into OSMIS, and extended gaps in time for documenting updates, including updating the ISS. WD programmatic monitoring has confirmed these findings.In accordance with TEGL 3-03, Change 1, grantees must collect and store specific source documentation to enable the validation of data elements related to eligibility, services received, and outcome information that is used to calculate and support the validity of performance outcomes reported to the ETA. Required documentation must be kept in case files, particularly for eligibility documentation, such as verification of date of birth, assessment of basic skills, scores for pre- and post-tests, income verification, signatures from the youth and/or parent, guardian, or other responsible adult of minor participants, and contact information.Proper case file maintenance includes:Organizing case files,Using a case file template to ensure consistency across files, andRegular and routine updating.Local areas should develop policies and procedures regarding case file maintenance. Regular in-house monitoring, regular random selection file review, and team/peer review to ensure high quality case files are encouraged. The MWAs are encouraged to adopt a common file format, whether the case notes are being generated electronically or hand-written, to ensure consistency across files.Berrien-Cass-Van Buren’s file organization checklists may be found as Attachment 15.Case NotesComprehensive case notes help plan, implement, and evaluate services. More importantly, case notes should tell the detailed story of the participant from intake through follow-up.Case notes refer to either paper or electronic statements by the career planner that identify, at a minimum, the following:A participant's status.The date on which the information was obtained.The career planner who obtained the information.All participants are required to meet with a career planner. The career planner should case note the outcome of the informal interview and objective assessment. The career planner and the participant shall collaboratively develop the ISS and determine both short and long-term goals as well as action steps the participant will take.Great Lakes Bay’s Case Noting Policy may be found as Attachment 11.Career PlannersThe career planner, formerly referred to as the case manager, is expected to: Develop on-going relationships with their participants and act as a resource.Be knowledgeable about available referral services and utilize them to best suit the participant’s needs.As appropriate, be in communication with a staff member trained in career counseling services.Develop a relationship with adult education instructors where appropriate and possible.Guide the participant in understanding and acting on their ISS.Document case management, as it is vital to quality service.Participants should see the same career planner for check-ins and return visits until the participant exits the system.The participant shall be notified in the event that the career planner changes and offered an opportunity for an introductory meeting with the new career planner as soon as mutually convenient.ReferencesTEGL 03-03, and Changes- Data Validation Policy for Employment and Training ProgramsTEGL 05-14- WIA Youth Program Guidance for Program Year (PY) 2014Section 3-6: AssessmentsObjective AssessmentsPer WIOA Section 129(c)(1)(A), all youth participants are to be provided an objective assessment of academic levels, skill levels, and service needs, including a review of basic skills, occupational skills, prior work experience, employability, interests, aptitudes (including interests and aptitudes for nontraditional jobs), supportive service needs, and developmental needs of such participant, for the purpose of identifying appropriate services and career pathways for each participant.A new assessment of a participant is not required if the provider carrying out such a program determines it is appropriate to use a recent assessment of the participant conducted pursuant to another education or training program.The objective assessment:Is an ongoing process and should not be viewed as a one-time event.Should include interviews, career guidance instruments, basic skills assessments, and observations.Should inform the development of the ISS.Academic Skill LevelsThe WIOA requires all eligible youth to be provided with an objective assessment which includes a review of academic skill levels. The State of Michigan previously aligned all allowable Title I assessment options with those approved by the U.S. Department of Education for Title II. The State will now accept additional testing sources for the purposes of academic skill assessment and determination of basic skills deficiency. However, assessments that are not National Reporting System (NRS) approved may not be recorded for Educational Functioning Level (EFL) gains under the Measurable Skills Gain (MSG) performance metric.Determining Basic Skills DeficiencyAllowable assessments for the determination of academic skill levels and basic skills deficiency during the objective assessment are no longer limited to NRS approved assessments. For example, if an MWA chooses, they may use TABE 9-10 to assess academic skill levels. Assessments used must have a scale score conversion to a grade level equivalent. There are no exceptions to this requirement. If the assessment is not found in Attachment 24, the scale score conversion chart must accompany the academic test scoring sheet in the participant file.If a youth has been assessed for basic skills deficiency in the previous six months, staff may use those results in lieu of re-testing; however, the results of the alternate test must be verifiable and documented. In addition, the same test format must be available and administered for post-testing at a later date. The EFL requirements apply to previous testing.Exception: Youth who have scored at a level identified as a tier higher than ‘Passing’ on a HSE exam, such as ‘College Level’ or ‘College Ready plus Credit’ on the GED; ‘College and Career Readiness’ on HiSET; or ‘Distinguished Achievement’ on TASC, are not required to be assessed for academic skill level and/or basic skills deficiency. All youth with a high school diploma or HSE with a score of ‘Passing’ must be assessed.Reasonable accommodations must be provided, as applicable, when assessing youth with disabilities.As a reminder, frontline staff must keep a copy of the academic test scoring sheet in the participant file. In addition to the participant’s name, per federal Data Validation guidance, the test score sheet must show the date of the test(s), total score(s), and grade level equivalent(s). Case notes should also detail the participant’s progress.Determining Educational Functioning Level (EFL) and Reporting EFL GainsWhen measuring EFL gains after program enrollment under the MSG indicator, local programs must use a National Reporting Standards approved assessment for both the EFL pre- and post-test to determine an individual’s educational functioning level. There are no exceptions to this requirement.Pre-TestingThe MWAs may only administer one of the following assessments for the EFL component of the MSG performance measure:Test for Adult Basic Education 11-12 (TABE).Comprehensive Adult Student Assessment System (CASAS) Reading GOALS.CASAS Math GOALS.The TABE 11-12 assessment is approved through September 7, 2024, per the Federal Register Notification. The CASAS Reading GOALS assessment is approved through February 5, 2025, per the Federal Register Notification. The CASAS Math GOALS series is approved through March 7, 2022, per the Federal Register Notification.If the participant computes or solves problems, reads, writes, or speaks English at or below the 8th grade level, the participant is determined to be basic skills deficient and will require post-testing, unless meeting the exception found in the Post-Testing segment of this section. Participants who are determined not to be basic skills deficient, based on pre-test results, are excluded from post-testing requirements. Please visit the National Reporting System website for the most recent edition of testing benchmarks. Attachment 24 corresponds to benchmarks posted in March of 2019.The Department of Education publishes regular updates on the allowable tests in the Federal Register, generally on an annual basis in late fall.? We encourage you to look for this information regularly through the Federal Register (), where you can sign up and manage subscriptions so that you are alerted of new notices on this topic via the “My FR” portal.Post-TestingBasic skills deficient participants who receive services for more than one-year must be post-tested prior to the participant’s anniversary date (the date of the first youth program service) of each year, through year three, of participation.Exception: If the individual attains a high school diploma, recognized equivalent, or college degree, the decision to post-test the individual is at local discretion.MonitoringPast ETA and WD monitoring review reports included findings demonstrating that many ISSs lacked documentation of objective assessment results and failed to incorporate assessment results into the ISS.Assessment Data EntrySelection of TABE or CASAS on the Registration Screen under the Education Tab indicates that the MWA is recording a form of these tests that is approved by the National Reporting System, specifically TABE 11-12 or CASA Reading or Math GOALS.? All other assessments, which are required to have a grade level equivalent AND be recorded only for the purposes of academic skill level identification or basic skills deficiency, require a selection of ‘Other’.? The test form used for the selection of ‘Other’ must be recorded in case notes and the test score sheet indicating the type of test, date of test, participant name, total score, and grade level equivalent must be found within the participant file.? Currently, TABE 11-12 and CASAS Math and Reading GOALS are the only NRS approved assessments for the purposes of recording an EFL gain for the MSG measure.?ReferencesThe WIOA Section 129(c)(1)(A)20 CFR Section 681.290 – How does the Department define the “basic skills deficient” criterion in this part?TEGLs 17-05, and Changes- Common Measures Policy for the Employment and Training Administration’s Performance Accountability System and Related Performance IssuesTEGL 22-15- PY 2015/Fiscal Year (FY) 2016 and PY 2014/FY 2015 Data Validation and Performance Reporting Requirements and Associated TimelinesTEGL 10-16, Change 1- Performance Accountability Guidance for WIOA Title I, Title II, Title III and Title IV Core ProgramsFederal RegisterSection 3-7: Individual Service Strategy (ISS) The WIOA calls for the youth population to be personally involved in the design and implementation of services so the youth voice is represented and their needs are being met. Having a well-developed ISS and related documentation is a vital part of case management and is required by the USDOL regulations. The ISS is a detailed, unique, individual strategy for each participant that is the basis for the overall case management strategy. An electronic copy of the ISS is only acceptable if it is a scanned copy of a document that meets all of the requirements listed below. A print-off of the OSMIS ISS is not acceptable at this time, as it does not capture all of required components listed below.As outlined in the WIOA Section 129 (c)(1)(B) and 20 CFR 681.420 (a)(2), the ISS represents an individual plan for each young person that must include, at a minimum: An employment goal; -AND- Appropriate achievement objectives, including educational goals; -AND- Appropriate services that take into account information learned from the objective assessment; -AND- A direct link to one or more indicators of performance described in WIOA Section 116(b)(2)(A)(ii); -AND-Identification of appropriate career pathways that include education and employment goals; –AND-Consideration of career planning and the results of the objective assessment; -AND-Prescribed achievement objectives and services for the participant.02540The ISS shall be a living document, to be reviewed and updated on an ongoing basis. The career planner should use the ISS to update strategies and activities as they occur and/or as life changes require, and to document referral and contact information for services obtained from partner organizations.When reviewing the ISS, career planners shall document a participant’s progress, activities completed, benchmarks reached, and any other accomplishments. Additionally, the ISS shall document achievements in measurable and attainable short-term and long-term goals that both reflect the young person’s interests and incorporate career pathway planning. The aforementioned goals are not to be vague or one-size fits all, such as “Long-term employment” or “Get a degree.” Whenever possible, career and education goals are to drive service delivery.The ETA and the WD monitoring reviews have found that Youth providers often lack a fully developed ISS for participants. Furthermore, in many cases, ISSs were found to be incomplete. In addition to not incorporating comprehensive assessment results, many did not reflect a career goal, were not developed for each participant, did not document remediated barriers, and/or did not match service provision.The ISSs are subject to review during Programmatic Reviews. Lack of the above-mentioned components and/or lack of proper revision will result in a finding.The participant must receive a copy of the ISS signed and dated by both the participant and career planner. When the ISS is significantly modified, such as the addition or modification of information that may be used as data validation source documentation, a new copy should be signed and dated by both parties and provided to the participant. New signatures and dates are not required for minor changes.The WIOA calls for customer-focused services based on the needs of the individual participant. This includes the creation of career pathways for youth in all Title I Youth programs, including a connection to career pathways as part of a youth’s ISS in the Youth formula-funded program. Though there is no mandated WIOA Youth Individual?Service Strategy?(ISS) template required, USDOL has created a sample?ISS template?that may be used for WIOA Youth program case management.CredentialsPrescribed achievement objectives, including appropriate credentials to be obtained, shall be included in the participant’s ISS. As stated above, the participant’s progress and achievements must be updated in the ISS and case notes, as appropriate.Additional information regarding credentials may be found in Chapter 7.ReferencesThe WIOA Sections 129(c)(1)(B) and (c)(2)(G) 20 CFR 681.420(a)(2)TEGL 21-16- Third WIOA Title I Youth Formula Program GuidanceSection 3-8: Goals, Activities, and IncentivesYouth GoalsAnnual goals are not required and are not “regulated” by WD but may prove beneficial to keep youth engaged and recognize smaller achievements in the program. Learning how to set goals may enable youth to make effective use of the WIOA program and services and, ultimately, to set goals for themselves as they pursue adult responsibilities, such as completing their education, finding employment, and becoming good citizens.Examples of goals include:Basic Skill GoalsBasic skill goals reflect a measurable increase in basic education skills including reading, math computation, writing, speaking, listening, problem-solving, reasoning, and capacity to use these skills.Occupational Skill GoalsOccupational skill goals include performing actual tasks and technical functions required by certain occupations at entry, immediate, or advanced levels.For example:Safety proceduresClean-up routinesWork-related terminologyUse of tools and equipmentWork Readiness Skill GoalsWork readiness skill goals include:World of work awarenessLabor market informationOccupational informationValues clarificationPersonal understandingDecision makingJob search awarenessDaily living skillsWIOA ActivitiesYouth can be enrolled in several different activities, as appropriate, following the determination of their needs as identified during intake and the development of the ISS. Each activity involves the collection of information unique to that activity. There are three categories of youth activities found in OSMIS, including:Career Services - Reportable2.Career Services - Participant3.Training - ParticipantActivities located under the Career Services-Reportable tab do not result in the individual being included in performance measures. Activities located in the Career Services-Participant and Training-Participant tabs result in the individual being included in applicable performance measures.Open ActivitiesThe MWAs should develop a schedule of review of participant activities to ensure that open activities are appropriate for the current needs of each participant. The MWAs may benefit from available queries, provided by the Data and Performance Reporting Section of the WD, to identify activities that have been open for excessive periods of time. Activities are reviewed during Programmatic Reviews. Open activities found to not be supported by participant engagement, as documented in case notes or elsewhere in OSMIS, for over 90 days will result in a finding.New ActivitiesNew activities are only to be opened when appropriate and applicable to the individual participant. New activities opened when a participant is out of contact will result in a programmatic review finding.IncentivesThe 20 CFR Section 681.640 states that “incentive payments to youth participants are permitted for recognition and achievement directly tied to training activities and work experiences. The local program must have written policies and procedures in place governing the award of incentives and must ensure that such incentive payments are tied to the goals of the specific program; outlined in writing before the commencement of the program that may provide incentive payments; align with the local program’s organizational policies; and are in accordance with the requirements contained in 2 CFR part 200.”The USDOL included the reference to the Uniform Guidance at 2 CFR part 200 to emphasize that while incentive payments are allowable under the WIOA, the incentives must be in compliance with the Cost Principles in 2 CFR part 200. For example, federal funds must not be spent on entertainment costs. Therefore, incentives must not include entertainment, such as movie or sporting event tickets or gift cards to movie theaters or other venues whose sole purpose is entertainment. Additionally, there are requirements related to internal controls to safeguard cash, which also apply to safeguarding of gift cards, which are essentially cash.While the USDOL recognizes that incentives could be used as motivators for various activities such as recruitment, submitting eligibility documentation, and participation in the program, incentives paid for with the WIOA funds must be connected to recognition of achievement of milestones in the program tied to work experience, education, or training. Such incentives for achievement could include improvements marked by acquisition of a credential or other successful outcomes. Local areas may leverage private funds for incentives that WIOA cannot fund. Incentive payments may be provided to both ISY and OSY as long as they comply with the requirements of 20 CFR Section 681.640.Please Note: Incentives awarded for reasons other than recognition and achievement of milestones tied directly to training, work experience, or education will result in a Programmatic Review finding and disallowed costs. For example, an incentive shall not be awarded for attendance of a workshop.ReferencesTEGL 08-15- Second Title I WIOA Youth Program Transition GuidanceTEGL 21-16- Third WIOA Title I Youth Formula Program Guidance2 CFR Part 200 Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal AwardsSection 3-9: Case Closures and ExitsCase ClosuresWhen a participant no longer requires services and case management because he/she has entered employment or education, is otherwise incapable of working, or the participant voluntarily opts out of service, the participant’s case should be formally closed. Case closure is a case management process and is not terminology used in the WIOA law. Case closure should not be confused with Exit, which is federally defined and structured. The decision to close the case should be documented accordingly in the case notes.While a participant’s case may be closed because the participant entered employment or education, the participant may not be ready for exit and follow-up services. Ideally, each youth should remain a program participant long enough to be stable in a job or post-secondary education.ExitsWhen to formally close a case - A good rule of thumb is that youth can be considered stable if they continue to be successful after 6-8 weeks on the job or in the second quarter or semester of post-secondary education or advanced training.Participants should be notified that their cases are being transitioned and for what reason, along with information on the type and frequency of follow-up contact to expect. The term “exit” is not mandatory and may be found abrasive. Instead, you may wish to explain to the youth that they are transitioning to another phase of service where they will become more and more independent, but that you are still there to help them if they need it and will be in contact.A case note should be made indicating the formal closure of the case and the reason, i.e., no longer in need of or able to benefit from services, lack of participation, or customer requested exit.A participant will automatically exit the program when they have not received the WIOA services for 90 consecutive days. The exit date is the last date of service with no other services planned. The only way to prevent a system exit is to provide a service before the 90th day after the last service. This service must be appropriate for the participant.Please Note: A very common error found during Data Validation reviews is a lack of documentation for the School Status at Exit element. A simple case note will suffice for acceptable documentation.Managing Exits for PerformanceTo ensure that performance will be credited, the career planner should consider a participant’s status at the time of exit, as well as the anticipated future status in related performance quarters. For Example:See Chapter 6 for additional information regarding performance.Mismanagement of ExitsOnce a participant has not received any services funded by the program, or a partner program, for 90 consecutive calendar days, has no gap in service, and is not scheduled for future services, the date of exit is applied retroactively to the last day on which the individual received a service funded by the program or a partner program.Examples of activities that do not extend the period of participation, or delay program exit, include follow-up services and any other required administrative case load management activities that involve regular contact with the participant or employer to obtain information regarding the participant’s employment status, educational progress, or need for additional services. Prolonging exit due to the inability to contact a participant is inappropriate and will result in a finding.Proper management of exits will be determined during Programmatic Reviews.Prematurely Exiting YouthThe USDOL’s monitoring of local areas commonly found that youth were exited before successfully completing the program due to artificial time constraints, such as the ending of youth service provider contracts. In order to ensure that youth are not prematurely exited from the WIOA Youth program, the USDOL has proposed that Youth programs serve participants for the amount of time necessary to ensure they are successfully prepared to enter post-secondary education and/or unsubsidized employment. While there is no minimum or maximum time a youth can participate in the WIOA youth program, programs must link program participation to a participant’s ISS, not the timing of youth service provider contracts or PYs.Local areas must carefully plan the services and referrals necessary to successfully serve ISY while the transition to the WIOA focuses on serving more OSY. As fewer resources under the WIOA are devoted to ISY, local boards and youth committees need to identify existing resources throughout their communities that can provide services to ISY. In addition, local boards and youth committees may consider strategies for serving ISY that cost less and reach more students, such as providing labor market and employment information as well as exposure to the world of work through career awareness, employer presentations, and employer visits.ReferencesTEGLs 17-05, and Changes - Common Measures Policy for the ETA’s Performance Accountability System and Related Performance Issues 23-14- WIOA Youth Program Transition20 CFR 681.450 For how long must a local WIOA youth program serve a participant?Section 3-10: Additional Youth ResourcesState of MI Youth Employment/Child Labor Law ResourcesThe Youth Employment Standards Act 90 of 1978 defines a minor who is less than 18 years of age, including but not limited to employees, volunteers, independent contractors and performing artists. Resources regarding youth employment and labor laws may be accessed here.The USDOL Technical Assistance ResourcesThe USDOL has developed multiple resources available for serving WIOA Title I Youth. These resources include:Youth Case Management Toolkit – This toolkit is designed to develop the knowledge, skills, and aptitudes youth need to succeed in their career pathways and gain self-sufficiency.Recipes for Success: A Youth Committee Guide under the WIOA – This guide is designed to aid with transforming the potential of Youth Committees into measurable results.The WIOA Youth Program Reference Tool – This reference tool is designed to inform readers of the statutory and regulatory guidelines for operational implementation of the WIOA youth program.The WIOA Youth Program Eligibility Page – This page includes a fact sheet, an introductory webcast, and interactive tutorials on the eligibility requirements for the youth program.The WIOA Youth Program Element Resources – This series of resource pages provides access to information and tools to help in developing and implementing the 14 program elements for the WIOA youth program.Employment and Training Administration at the United States Department of LaborGeneral information on the WIOA and other related resources from the USDOL is available, including a search feature for relevant materials. Additionally, the USDOL has released three WIOA Youth TEGLs.TEGL 21-16: Third WIOA Youth Program Transition Guidance (March 2017)TEGL 08-15: Second WIOA Youth Program Transition Guidance (November 2015)TEGL 23-14: WIOA Youth Program Transition Guidance (March 2015)Additionally, the USDOL has released TEGL 10-16, Change 1, including information on the WIOA Title I Youth Performance measures.Bringing Students Back to the CenterThe Department of Education released this guide in November 2014, to help school and community leaders address the challenges of dropout recovery and establish or strengthen their own re-engagement efforts. It was written to provide useful information to school and district level leaders, civic leaders, and state policy makers, as well as other potential drivers and partners in re-engagement initiatives. It includes information on: establishing the need for re-engagement support, understanding disconnected youth and their needs, defining a re-engagement center and its key functions and determining the range of existing models and their operation.Career PathwaysThe WIOA defines Career Pathways, in part, as a combination of rigorous and high-quality education, training, and other services that aligns with the skill needs of industries in the economy of the state or regional economy involved and prepares an individual to be successful in any of a full range of secondary or post-secondary education options, including Registered Apprenticeship. Additionally, The Literacy Information and Communication System: Community for Adult Educators developed this page to explore instructional and programmatic best practices, policies, and issues in providing career pathways services.Pre-Apprenticeship ProgramsThe USDOL defined a quality pre-apprenticeship program in the Training and Employment Notice 13-12. Pre-apprenticeship is defined as a program or set of strategies designed to prepare individuals to enter and succeed in a Registered Apprenticeship program and has a documented partnership with at least one, if not more, Registered Apprenticeship programs. Soft Skills to Pay the Bills: Mastering Soft Skills for Workplace SuccessThe USDOL Office of Disability Employment Policy published the curriculum in 2012. The curriculum focuses on teaching “soft” or workforce readiness skills in both in-school and out-of-school environments.The Casey Family Programs FoundationA number of online tools are available to assess interests, abilities, career maturity, or work readiness skills. Casey Life Skills is a free tool that assesses the behaviors and competencies youth need to achieve their long-term goals. It aims to set youth on their way toward developing healthy, productive lives.Michigan Education and Career PathfinderThe Michigan Education and Career Pathfinder tool provides information to students, their parents, and guidance staff to make informed choices about educational and career options, as well as to help with creation of educational development plans. This free tool uses current labor market information, longitudinal wage data, and other institutional data and metrics, allowing improved skills-matching to career paths and jobs.Federal Deposit Insurance Corporation Youth Employment Resource CenterExplore this site to learn about resources that support financial education and access to safe, affordable insured accounts for youth participating in employment programs. In particular, the Money Smart curricula can help meet the WIOA financial literacy element.USDOL WIOA Youth Monitoring SupplementThe USDOL WIOA Youth Monitoring Supplement, which complements the Core Monitoring Guide, is a tool for Federal staff to perform program-specific monitoring of the formula-funded WIOA youth program at the state and local levels. This supplemental guide identifies compliance requirements along with additional questions which may be used to assess state progress and provide information about a state’s implementation of the WIOA.? ................
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