>>Copyright >> Fair Use
National School Boards
Association
1680 Duke Street
Alexandria, Virginia 22314
Phone: 703-838-6722
Fax: 703-683-7590
E-Mail: info@nsba.org
January 13, 1997
The Honorable Orrin G. Hatch
Chairman, Committee on the Judiciary
United States Senate
224 Dirksen Senate Office Building
Washington, DC 20510-6275
Dear Mr. Chairman:
Last fall, the CCUMC and others submitted to the Judiciary
Committee, copyright fair use guidelines purporting that they
represented the consensus of all education.The CCUMC Multi-Media Fair
Use guidelines are not acceptable in their current form. The
copyright problems at the elementary and secondary level have not
been resolved by this 6-page legal document and they do not make
sense for elementary and secondary school children for the following
reasons:
- The guidelines set up a series of proportion limitations:
- 10% or 3 minutes, whichever is less, of a motion media
- 10% or 1000 words, whichever is less, of test material
- 10% or 30 seconds, whichever is less, of music
- 10% or 2,500, whicever is less, fields of a database.
These restrictions should not apply to elementary and secondary
school children.
The so-called exemption for elementary school children is not
an exemption, it merely acknowledges that some children in grades
kindergarten through six may not be able to adhere to the
limitations. This is obvious - many in early elementary grades are
not even able to comprehend what 10% means. Furthermore, if a
parent kept a child's project to show to family members and
friends, the limited acknowledgement for elementary school
children no longer applies.
The guidelines are too complicated for children. the basic goal
at the high school level is for children to complete projects and
not to have them count words, seconds or determine unusual terms
such as what is a database. Furthermore, the proposed
criteria set forth a have/have not mentality for students, schools
and parents, pitting the more affluent against the less well off.
A child from a wealthy home or school district is better able to
stay within the guidelines because of the media choices that child
is privy to, whereas a student with fewer means to engage in
technology and media manipulation has fewer choices in which to
participate in a multi-media project.
- The two-year limitation on student projects is also not
realistic. Teachers need to be able to show current classes what
previous classes were able to accomplish. It appears that teachers
cannot use a student's project except in that classroom in which
it was created. In elementary and secondary schools, we use the
cross-curriculum The guidelines seem to refer to the education
process in higher education where each course operates as a
separate entity.
- The guidelines appear to make teachers and administrators
legally responsible for the activities of students. No other
copyright guidelines hold teachers and administrators responsible
for the actions of students. Administrators and teachers are not
normally liable for student's actions. Students, legally are not
in the same category as employees.
In addition, these guidelines raise problems which were not
inherent in any of the guidelines that have been developed over the
years. In the past, education groups that objected to guidelines were
told not to be concerned because the guidelines were the minimal
extent of fair use and fair use existed beyond the guidelines. These
multi-media guidelines are not minimal--they are not safe harbors for
educators. Rather, the guidelines may be a consensus of where fair
use exists. The preamble specifically states:
the more one exceeds these guidelines,
the greater the risk that fair use does not apply.
Our concerns could have been addressed without any impact on the
existing or potential market of copyright owners. None of our
comments apply to the use of commercial multi-media proejcts. Indeed,
we support the prohibition that would place the same restrictions on
children who produce commercial products as would apply to adults.
Furthermore, multi-media projects developed by elementary and
secondary students will not be a substitute for the purchase of
commercial class materials. At our level, the projects are more basic
in nature and exhibits akin to science fair projects that we have all
seen.
Children need to be able to experiment with the new technology
without a copyright lawyer standing over them. These guidelines are
flawed. They are a good start but we need to go back and make them
workable for teachers and students.
Sincerely
August W. Steinhilber
General Counsel
National School Boards Association
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Dale Lestina
Manager, Federal Relations/Government Relations
National Education Association
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Sally N. McConnell
Director of Government Relations
National Association of Elementary School Principals
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Stephen E. Yurek
General Counsel/Director of Federal Relations
National Association of Secondary School Principals
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Keri M. Arfstrom
Legislative Specialist
American Association of School Administrators
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William F. Davis, O.S.F.S.
Department of Education
U.S. Catholic Conference
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Jefferson G. Burnett
Director of Government Relations
National Association of Independent Schools
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