He does talk purdy, don't he?

 

From: [email protected]
[mailto:[email protected]] On Behalf Of Bob Morse
Sent: Friday, July 23, 2010 8:33 AM
To: 'Tech-Geeks Mailing List'
Subject: Re: [tech-geeks] e-rate and cell phone usage

 

Tom,

 

As always you provide great insight.  As I was sitting trying to remember
where I heard/read that I kind of remember at one of our trainings at our
local ISC that the "state" e-rate guy told us that we shouldn't list them
because they almost never adhere to the strict provisions you so eloquently
laid out.

 

Thanks again,

 

Bob

 

From: [email protected]
[mailto:[email protected]] On Behalf Of Steele, Thomas C
Sent: Friday, July 23, 2010 8:26 AM
To: Tech-Geeks Mailing List
Subject: Re: [tech-geeks] e-rate and cell phone usage

 

>From the 2010 USAC Eligible Services document:

 

----------

Eligible users and locations are those that are involved

with activities that are integral, immediate, and proximate

to the education of students or the provision of library

services to patrons. The presumption is that activities on

school or library property meet this standard.

The term "school or library property" includes a District

Office of similar facility, but does not include businesses or

organizations separate from a school or library

organization. For example, the facilities of a business that

has contracted with a school to provide bus service do not

constitute a location eligible for E-rate support.

Employees of a school or library with a normal duty

station at an eligible location are eligible users. Employees

of a non-school or non-library activity, even if located on

school or library property, such as a state government

office with responsibilities other than education or library

services (e.g., a division of motor vehicles), are not

eligible users.

For example, wireless telephone services outside of a

school or library location can be eligible for discount in

certain cases. Examples include:

. Use by a school bus driver while delivering children

to and from school.

. Use by a library staff person in a library mobile unit

van.

. Use by teachers or other school staff while

accompanying students on a field trip or sporting

event.

----------

 

Based on this,  if a reasonable case could be made that the board president
is "involved with activities that are integral, immediate, and proximate to
the education of students"  AND used the phone EXCLUSIVELY for school
business (with documentation to prove it in case of an audit) ,then there
would not seem to be anything that would prohibit it.  However, I think this
could be very difficult to prove and adhere to - this is something I
probably wouldn't go anywhere near!

 

The best advice would be to get a ruling from USAC on the issue.

 

-TS

 

Thomas C. Steele
Technology Director
Manteno CUSD #5

 

From: [email protected]
[mailto:[email protected]] On Behalf Of Bob Morse
Sent: Friday, July 23, 2010 8:05 AM
To: 'Tech-Geeks Mailing List'
Subject: [tech-geeks] e-rate and cell phone usage

 

I need a little help.

 

Somewhere I remember reading that School Board President's cell phones were
not eligible for e-rate.  Am I delusional or is this in fact true?  

 

Bob Morse

E-Rate Coordinator

Technology Specialist

Community Consolidated Schools District 168

708-758-1610 ext. 124

Skype: bmorse68

 

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