COPAA has filed public comments in response to a U.S. Department of Energy (DOE) notice of proposed rulemaking that proposes to eliminate requirements for accessibility of buildings] under Section 504 of the Rehabilitation Act. While COPAA does not typically comment on policy matters at the DOE, the comments were warranted given the flagrant use of a policy tool known as a “direct final rule” -which bypasses requirements under the Administrative Procedures Act- as well as the intention of the rule to gut federal 504 accessibility requirements.
COPAA joins Public Funds Public Schools and Urges Montana Court to Strike Down Harmful Voucher Law
Montana Quality Education Coalition et al. (MQEC) v. State of Montana et al. is a case challenging Montana’s voucher program for students with disabilities. In 2023, the Montana Legislature established a statewide Education Savings Account (ESA) voucher program...
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