California Lutheran University is committed to the highest standards of professional
conduct. Cal Lutheran Employee conduct requirements are outlined in Human Resource policies.
The Cal Lutheran Financial Aid Office is a proud member of the California Association
of Student Financial Aid Administrators (CASFAA) as well as the National Association
of Student Financial Aid Administrators (NASFAA). As a Financial Aid Professional
and a member of these organizations, our staff uphold the highest standards and adhere
to the ethical principles and code of conduct as defined by NASFAA.
We invite you to contact the Financial Aid Office if you have any questions.
Cal Lutheran Financial Aid Office Code of Conduct
The Higher Education Opportunity Act conditions the eligibility of educational institutions
to participate in Title IV programs on the development of and compliance with a code
of conduct prohibiting conflicts of interest for its financial aid personnel [HEOA
§ 487(a)(25)]. California Lutheran University’s officers, employees, student workers,
and agents are required to comply with this code of conduct. The following specific
provisions bring California Lutheran University into compliance with the federal law
[HEOA § 487(e)].
Neither California Lutheran University as an institution nor any individual officer,
employee or agent shall enter into any revenue-sharing arrangements with any lender.
No officer or employee of California Lutheran University who is employed in the financial
aid office or who otherwise has responsibilities with respect to education loans,
or agent who has responsibilities with respect to education loans, or any of their
family members, shall solicit or accept any gift from a lender, guarantor, or servicer
of education loans. For purposes of this prohibition, the term "gift" means any gratuity,
favor, discount, entertainment, hospitality, loan, or other item having a monetary
value of more than a de minimis amount.
An officer or employee of California Lutheran University who is employed in the financial
aid office or who otherwise has responsibilities with respect to education loans,
or an agent who has responsibilities with respect to education loans, shall not accept
from any lender or affiliate of any lender any fee, payment, or other financial benefit
(including the opportunity to purchase stock) as compensation for any type of consulting
arrangement or other contract to provide services to a lender or on behalf of a lender
relating to education loans.
California Lutheran University shall not: a. for any first-time borrower, assign,
through award packaging or other methods, the borrower's loan to a particular lender;
or b. refuse to certify, or delay certification of, any loan based on the borrower's
selection of a particular lender or guaranty agency.
California Lutheran University shall not request or accept from any lender any offer
of funds to be used for private education loans, including funds for an opportunity
pool loan, to students in exchange for the institution providing concessions or promises
regarding providing the lender with: a. a specified number of loans made, insured,
or guaranteed under Title IV; b. a specified loan volume of such loans; or c. a preferred
lender arrangement for such loans.
California Lutheran University shall not request or accept from any lender any assistance
with call center staffing or financial aid office staffing.
Any employee who is employed in the financial aid office or who otherwise has responsibilities
with respect to education loans or other student financial aid, and who serves on
an advisory board, commission, or group established by a lender, guarantor, or group
of lenders or guarantors, shall be prohibited from receiving anything of value from
any financial aid applicant (or his/her family), or from the lender, guarantor, or group of lenders or guarantors, except that the employee
may be reimbursed for reasonable expenses incurred in serving on such advisory board,
commission, or group.
Employees within the financial aid office will not award aid to themselves, friends
or family members. Staff will reserve this task to an institutionally designated person,
to avoid the appearance of a conflict of interest.
NASFAA Ethical Principles and Standards
Through its Statement of Ethical Principles and Standards (the “Statement of Ethical Principles”) and its Code of Conduct, the National Association
of Student Financial Aid Administrators (NASFAA) promotes ethical behavior by its
member institutions engaged in the administration of student financial aid. The Statement
of Ethical Principles provides aspirational standards of ethics and represents the
ideals and behavior of how financial aid administrators should function. The Code
of Conduct provides mandatory enforced standards for the field and the profession.
The primary goal of the financial aid professional is to help students achieve their
educational goals through financial support and resources. NASFAA members are required
to exemplify the highest level of ethical behavior and demonstrate the highest level
of professionalism. The following guidelines were last updated by NASFAA's Board of
Directors in November 2017.
We, financial aid professionals, declare our commitment to the following Statement
of Ethical Principles.
Financial aid administrators shall:
Advocate for students
Remain aware of issues affecting students and continually advocate for their interests
at the institutional, state and federal levels.
Support federal, state and institutional efforts to encourage students, as early as
the elementary grades, to aspire to and plan for education beyond high school.
Manifest the highest level of integrity
Commit to the highest level of ethical behavior and refrain from conflict of interest
or the perception thereof.
Deal with others honestly and fairly, abiding by our commitments and always acting
in a manner that merits the trust and confidence others have placed in us.
Protect the privacy of individual student financial records.
Promote the free expression of ideas and opinions, and foster respect for diverse
viewpoints within the profession.
Support student access and success
Commit to removing financial barriers for those who want to pursue postsecondary learning
and support each student admitted to our institution.
Without charge, assist students in applying for financial aid funds.
Provide services and apply principles that do not discriminate on the basis of race,
gender, ethnicity, sexual orientation, religion, disability, age, or economic status.
Understand the need for financial education and commit to educate students and families
on how to responsibly manage expenses and debt.
Comply with federal and state laws
Adhere to all applicable laws and regulations governing federal, state, and institutional
financial aid programs.
Actively participate in ongoing professional development and continuing education
programs to ensure ample understanding of statutes, regulations, and best practices
governing the financial aid programs.
Encourage colleagues to participate in the financial aid professional associations
available to them at the state, regional, or national level and offer assistance to
other aid professionals as needed.
Strive for transparency and clarity
Provide our students and parents with the information they need to make good decisions
about attending and paying for college.
Educate students and families through quality information that is consumer-tested
when possible. This includes (but is not limited to) transparency and full disclosure
on award notices.
Ensure equity by applying all need-analysis formulas consistently across the institution's
full population of student financial aid applicants.
Inform institutions, students, and parents of any changes in financial aid programs
that could affect their student aid eligibility.
Strive to ensure that cost of attendance components are developed using resources
that represent realistic expenses.
Protect the privacy of financial aid applicants
Ensure that student and parent private information provided to the financial aid office
by financial aid applicants is protected in accordance with all state and federal
statutes and regulations, including FERPA and the Higher Education Act, Section 483(a)(3)(E)
(20 U.S.C. 1090).
Protect the information on the FAFSA from inappropriate use by ensuring that this
information is only used for the application, award, and administration of aid awarded
under Title IV of the Higher Education Act, state aid, or aid awarded by eligible
institutions.
NASFAA Code of Conduct for Financial Aid Professionals
The following NASFAA Code of Conduct was last updated by a vote from NASFAA's Board of Directors in November 2020, and
published in January 2021.
Subject to enforcement procedures that went into effect July 1, 2015, NASFAA institutional members of NASFAA will ensure
that:
No action will be taken by financial aid staff that is for their personal benefit
or could be perceived to be a conflict of interest.
Employees within the financial aid office will not award aid to themselves or their
immediate family members. Staff will reserve this task to an institutionally designated
person, to avoid the appearance of a conflict of interest.
If a preferred lender list is provided, it will be compiled without prejudice and
for the sole benefit of the students attending the institution. The information included
about lenders and loan terms will be transparent, complete, and accurate. The complete
process through which preferred lenders are selected will be fully and publicly disclosed.
Borrowers will not be auto-assigned to any particular lender.
A borrower's choice of a lender will not be denied, impeded, or unnecessarily delayed
by the institution, even if that lender is not included on the institution's preferred
lender list.
No amount of cash, gift, or benefit in excess of a de minimis amount shall be accepted
by a financial aid staff member from any financial aid applicant (or his/her family),
or from any entity doing business with or seeking to do business with the institution
(including service on advisory committees or boards beyond reimbursement for reasonable
expenses directly associated with such service).
Information provided by the financial aid office is accurate, unbiased, and does not
reflect preference arising from actual or potential personal gain.
Institutional financial aid offers and/or other institutionally provided materials
shall include the following:
Breakdown of estimated individualCost of Attendancecomponents, including which are direct(billed by the institution) costs vs.indirect(not billed by the institution) costs
Clear identification and proper grouping of each type of aid offered indicating whether
the aid is agrant/scholarship,loan, orwork program
Standard terminology and definitions, using NASFAA'sglossary of terms
Renewal requirements for each aid type being offered as well as next steps and financial
aid office contact information
All required consumer information is displayed in a prominent location on the institutional
web site(s) and in any printed materials, easily identified and found, and labeled
as "Consumer Information."
Financial aid professionals will disclose to their institution any involvement, interest
in, or potential conflict of interest with any entity with which the institution has
a business relationship.