Compliance with Title VI of the Civil Rights Act of 1964.

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Presentation transcript:

Compliance with Title VI of the Civil Rights Act of 1964

To ensure all AOC management, staff, subrecipients, contractors, and service beneficiaries are aware of the provisions of Title VI of the Civil Rights Act of 1964 and the minimum requirements to be in compliance with its rules, laws, and regulations. Title VI regulations require agencies to provide civil rights training for staff and assign sufficient personnel to ensure effective enforcement. Periodic training should be designed to develop awareness and sensitivity in carrying out federally funded programs. 2

Title VI of the Civil Rights Act of 1964 (42 U.S.C. 2000d) - the grounds of race, color, or national origin, be excluded from participation in, be denied the benefits of, or be subjected to discrimination under any program or activity receiving Federal financial assistance. No person in the United States shall, on the grounds of race, color, or national origin, be excluded from participation in, be denied the benefits of, or be subjected to discrimination under any program or activity receiving Federal financial assistance. 3

Purpose: To verify that all federal fund recipient state agency entities comply with Title VI of the Civil Rights Act of TCA § requires the Tennessee Human Rights Commission to review Title VI monitoring and enforcement procedures, and Periodically audit, review, evaluate and report on Title VI compliance efforts and outcomes for each executive branch department and agency. Recipients are required to audit, review, evaluate and report on Title VI compliance efforts and outcomes of all its subrecipients and beneficiaries of federal funds. 4

Federal Financial Assistance (FFA) – Award or grant money; loans below fair market value or subsidies; any federal agreement, arrangement, or other contract which has as one of its purposes the provision of assistance; others. Recipient – Primary recipients include state entities required or authorized to extend FFA to another recipient or subrecipient for the purpose of carrying out a progra m. 5

Subrecipient – any entity or individual that receives FFA from a primary recipient to carry out a program. Sometimes assistance is distributed to an ultimate beneficiary. Contractor – any entity or individual who provides any function or service that requires the performance or delivery of assistance to beneficiaries under the terms of a contract with a state entity. 6

Subrecipients/Contractors must: Appoint a Title VI Coordinator; Complete Title VI Training Provided by the AOC; Provide Title VI Training for all employees (May utilize the AOC Title VI Training); Develop a Title VI Policy Statement and post in visible areas;

Acquire signed Title VI assurances; Monitor ethnicity of subrecipients (subcontractors) and beneficiaries of FFA; and Include Title VI Assurances in all contracts.

Denying an individual any program services, financial aid, or benefits; Providing a different service, aid, or benefit, or providing them in a manner different than they are provided to others; or Segregating or treating individuals separately in any matter related to receiving any program service, aid, or benefit. 9

Disparate treatment means discrimination against an individual. Disparate impact means discrimination that occurs as a result of a neutral policy which appears harmless on the surface, but negatively affects a group of people. 10

Retaliation occurs when a recipient or another person intimidates, threatens, coerces, or discriminates against any individual for the purpose of interfering with any right or privilege secured by Title VI, or because a person made a complaint, testified, assisted, or participated in any manner in an investigation or proceeding under Title VI. THRC Rule (3)(c) & 28 CFR

Engage the Public with the opportunity to make them aware of projects or services and to provide input in the decision-making process through: Public Meetings/Hearings in centralized locations; Public Meetings/Hearings in centralized locations; Advertisement with Local Media Resources and Minority Newspapers; Advertisement with Local Media Resources and Minority Newspapers; Direct Mailings; Direct Mailings; Public Service Announcements; Public Service Announcements; Website, and Website, and Radio and Television. Radio and Television. 12

The inclusion of minorities on planning boards and commissions is critical in establishing an equal access planning system. Subrecipients cannot deny a person the opportunity to participate as a member of a planning, advisory, or similar body which is an integral part of the program. 13

To Include: How to file a complaint; How to file a complaint; Instructions that the complaint must be filed within 180 days of the alleged occurrence or when the alleged discrimination became known to the complainant; Instructions that the complaint must be filed within 180 days of the alleged occurrence or when the alleged discrimination became known to the complainant; Procedure stating that the complaint must be in writing and signed by the person making the complaint; Procedure stating that the complaint must be in writing and signed by the person making the complaint; Process for determining the jurisdiction, acceptability, and the need for additional information upon receipt in order to investigate the merit; Process for determining the jurisdiction, acceptability, and the need for additional information upon receipt in order to investigate the merit; Instructions that complaints filed against the subrecipient should be forwarded to the AOC Title VI Coordinator for investigation; Instructions that complaints filed against the subrecipient should be forwarded to the AOC Title VI Coordinator for investigation; Commitment to take final action within 90 days: and Commitment to take final action within 90 days: and Provide appeal instructions. Provide appeal instructions. 14

Limited English Proficiency (LEP) EO requires Federal agencies to examine the services they provide, identify any need for services to those with limited English proficiency (LEP), and develop and implement a system to provide those services so LEP persons can have meaningful access to them. EO requires Federal agencies to examine the services they provide, identify any need for services to those with limited English proficiency (LEP), and develop and implement a system to provide those services so LEP persons can have meaningful access to them. 15

Who are LEP Persons? Persons who do not speak English as their primary language, and who have a limited ability to read, speak, write or understand English. 16

1 1. Number or proportion of LEP persons; 2. Frequency of contact with the program or activity; 3. Nature and importance of the program; and 4. Resources available. 17

Identify actions already being taken and existing tools that can be used to provide meaningful access; Identify actions already being taken and existing tools that can be used to provide meaningful access; Inventory existing materials that have been translated into other languages; Inventory existing materials that have been translated into other languages; Develop staff awareness, and Develop staff awareness, and Prepare a response Plan. Prepare a response Plan. 18

Limited English Proficiency (LEP) – Limited English Proficiency (LEP) – EO requires Federal agencies to examine the services they provide, identify any need for services to those with limited English proficiency (LEP), and develop and implement a system to provide those services so LEP persons can have meaningful access to them. 19

Failure or refusal to comply with Title VI of the Civil Rights Act of 1964, other applicable Civil Rights Laws, and implementing departmental regulations. 20

Withholding of payments to the recipient under the contract until the recipient complies, and/or Cancellation, termination or suspension of the contract, in whole or in part 21

Included is the U.S. Department of Justice video for optional learning as follows: To view copy and paste the following link into your web browser: 22

If you have questions or need additional information regarding Title VI compliance, please contact: Cindy Saladin AOC Title VI Coordinator 23