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August 15, 2012

The Honorable Felipe Fuentes
California State Assembly
California State Capitol
Sacramento, CA 94814

RE: AB 5 (Teacher Evaluation) - Oppose Unless Amended

Dear Assemblymember Fuentes,

As a coalition of organizations committed to the goal of ensuring that all of
California’s students have equitable access to effective teachers, we are writing to
express our deep concerns with AB 5. Without amendments to address the
concerns detailed below, AB 5 will not result in the reforms to California’s
teacher evaluation system necessary to achieve this goal. Nor will it allow federal
officials to meaningfully consider California’s request for a waiver of No Child
Left Behind. Instead, in its current form, AB 5 will likely prevent California from
developing a robust waiver application that complies with federal requirements.
And, it may prevent California districts from receiving tens of millions of dollars
of potential federal funding flexibility that could be used to support district efforts
to build and implement high-quality teacher and principal evaluation systems.

Given the benefits of a federal ESEA waiver and your expressed interest in using
the bill as a vehicle for submitting a successful waiver application, we must
oppose the bill unless it is amended and, at the very least, aligned with federal
waiver requirements. Below, we will detail where the bill does not meet
Requirement 3.A of the ESEA Flexibility Request (Develop and Adopt
Guidelines for Local Teacher and Principal Evaluation and Support Systems) and
note the necessary changes.

1. A successful ESEA waiver requires that a statewide teacher evaluation
   system meaningfully differentiate performance using at least three
   performance levels: AB 5 makes no mention of differentiated performance
   levels. AB 5 should incorporate language requiring districts to rate teachers on
   at least three performance levels rather than maintaining the current model of
   satisfactory and unsatisfactory. States that have received ESEA waivers
   typically use at least four categories (e.g. highly effective, effective, needs
   improvement/developing, unsatisfactory/ineffective) to better respond to
   teachers’ varying professional development needs.

2. An ESEA waiver requires that an evaluation system use multiple valid
   measures in determining performance levels, including as a significant
   factor data on student growth for all students: “Student growth” is defined
   by the U.S. Department of Education as the change in student achievement for
   an individual student between two or more points of time. Student growth is

                                1 of 4
based on a student’s score on state standardized assessments, as well as other
   reliable measures of student achievement. According to the waiver guidelines,
   teacher evaluations must also include other valid measures of professional
   practice, which may be gathered through multiple formats and sources, such
   as observations based on rigorous teacher performance standards, teacher
   portfolios, and student and parent surveys.

   AB 5 does not define a set of measures to be used to evaluate teacher
   contribution to student growth over time, and instead allows districts to select
   from a long list of potential elements. Because AB 5 does not require the use
   of state academic assessments to measure student growth, does not set a
   threshold level for the use of student achievement data, and forces districts to
   collectively bargain all elements of an evaluation system, it is likely that this
   critical measure of a teacher’s impact on student outcomes may be minimized
   or eliminated. In order to qualify for an ESEA waiver, AB 5 should require
   that districts include certain essential components in their teacher evaluation
   system, including utilizing state assessment data on student growth as a
   significant factor, teacher observations, and student and parent surveys.

3. An ESEA waiver requires that districts evaluate teachers and principals
   on a regular basis: AB 5 does not require the annual evaluations necessary
   for professional development and instructional improvement. AB 5 should
   require annual evaluations of both probationary and permanent teachers.

4. An ESEA waiver requires that states allow districts to use teacher
   evaluations to inform personnel decisions: AB 5 does not contain any
   language allowing for the use of evaluation data in personnel decisions,
   retaining current prohibitions in state law against using teacher evaluation
   results to inform personnel decisions, such as teacher layoffs. AB 5 should
   remove these prohibitions and allow districts to use teacher evaluation results
   to inform staffing decisions.
The California legislature must pass legislation that will allow the state to meet
the ESEA waiver requirements for teacher and principal evaluations. Currently,
AB 5 includes language that runs counter to best practices in teacher evaluation
systems established in other states, innovative work being done locally in
California districts and charters, and the federal ESEA waiver requirements. Most
importantly, AB 5 will not benefit the California educators who deserve a
rigorous evaluation system that helps them to better serve their students. As a
result, we must register our opposition to AB 5 and strongly urge you to amend
the bill as detailed above to provide California with a real chance of receiving a
federal waiver from ESEA.




                               2 of 4
Sincerely,




Oscar E. Cruz                           Jonathan Klein
President & CEO                         Executive Director
Families In Schools                     Great Oakland Public Schools




Ted Lempert                             Bill Lucia
President                               President & CEO
Children Now                            EdVoice




Tim Melton                              Ama Nyamekye
Vice President, Legislative Affairs     Executive Director
StudentsFirst                           Educators 4 Excellence – L.A.




Arun Ramanathan                         Sen. Gloria Romero (Ret.)
Executive Director                      California State Director
The Education Trust—West                Democrats for Education Reform




Angelica Solis                          Luis Santana
Executive Director                      Executive Director
Alliance for a Better Community         Reading and Beyond

                               3 of 4
CC:   Senate Pro Tempore Darrell Steinberg
      Senator Christine Kehoe, Senate Appropriations Committee
      Senator Alan Lowenthal, Senate Education Committee
      Assembly Speaker John Perez
      President Michael Kirst, State Board of Education
      Ms. Sue Burr, Executive Director, State Board of Education
      Mr. Nick Schweizer, Deputy Director, Department of Finance




                           4 of 4

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AB 5: Oppose unless amended letter

  • 1. August 15, 2012 The Honorable Felipe Fuentes California State Assembly California State Capitol Sacramento, CA 94814 RE: AB 5 (Teacher Evaluation) - Oppose Unless Amended Dear Assemblymember Fuentes, As a coalition of organizations committed to the goal of ensuring that all of California’s students have equitable access to effective teachers, we are writing to express our deep concerns with AB 5. Without amendments to address the concerns detailed below, AB 5 will not result in the reforms to California’s teacher evaluation system necessary to achieve this goal. Nor will it allow federal officials to meaningfully consider California’s request for a waiver of No Child Left Behind. Instead, in its current form, AB 5 will likely prevent California from developing a robust waiver application that complies with federal requirements. And, it may prevent California districts from receiving tens of millions of dollars of potential federal funding flexibility that could be used to support district efforts to build and implement high-quality teacher and principal evaluation systems. Given the benefits of a federal ESEA waiver and your expressed interest in using the bill as a vehicle for submitting a successful waiver application, we must oppose the bill unless it is amended and, at the very least, aligned with federal waiver requirements. Below, we will detail where the bill does not meet Requirement 3.A of the ESEA Flexibility Request (Develop and Adopt Guidelines for Local Teacher and Principal Evaluation and Support Systems) and note the necessary changes. 1. A successful ESEA waiver requires that a statewide teacher evaluation system meaningfully differentiate performance using at least three performance levels: AB 5 makes no mention of differentiated performance levels. AB 5 should incorporate language requiring districts to rate teachers on at least three performance levels rather than maintaining the current model of satisfactory and unsatisfactory. States that have received ESEA waivers typically use at least four categories (e.g. highly effective, effective, needs improvement/developing, unsatisfactory/ineffective) to better respond to teachers’ varying professional development needs. 2. An ESEA waiver requires that an evaluation system use multiple valid measures in determining performance levels, including as a significant factor data on student growth for all students: “Student growth” is defined by the U.S. Department of Education as the change in student achievement for an individual student between two or more points of time. Student growth is 1 of 4
  • 2. based on a student’s score on state standardized assessments, as well as other reliable measures of student achievement. According to the waiver guidelines, teacher evaluations must also include other valid measures of professional practice, which may be gathered through multiple formats and sources, such as observations based on rigorous teacher performance standards, teacher portfolios, and student and parent surveys. AB 5 does not define a set of measures to be used to evaluate teacher contribution to student growth over time, and instead allows districts to select from a long list of potential elements. Because AB 5 does not require the use of state academic assessments to measure student growth, does not set a threshold level for the use of student achievement data, and forces districts to collectively bargain all elements of an evaluation system, it is likely that this critical measure of a teacher’s impact on student outcomes may be minimized or eliminated. In order to qualify for an ESEA waiver, AB 5 should require that districts include certain essential components in their teacher evaluation system, including utilizing state assessment data on student growth as a significant factor, teacher observations, and student and parent surveys. 3. An ESEA waiver requires that districts evaluate teachers and principals on a regular basis: AB 5 does not require the annual evaluations necessary for professional development and instructional improvement. AB 5 should require annual evaluations of both probationary and permanent teachers. 4. An ESEA waiver requires that states allow districts to use teacher evaluations to inform personnel decisions: AB 5 does not contain any language allowing for the use of evaluation data in personnel decisions, retaining current prohibitions in state law against using teacher evaluation results to inform personnel decisions, such as teacher layoffs. AB 5 should remove these prohibitions and allow districts to use teacher evaluation results to inform staffing decisions. The California legislature must pass legislation that will allow the state to meet the ESEA waiver requirements for teacher and principal evaluations. Currently, AB 5 includes language that runs counter to best practices in teacher evaluation systems established in other states, innovative work being done locally in California districts and charters, and the federal ESEA waiver requirements. Most importantly, AB 5 will not benefit the California educators who deserve a rigorous evaluation system that helps them to better serve their students. As a result, we must register our opposition to AB 5 and strongly urge you to amend the bill as detailed above to provide California with a real chance of receiving a federal waiver from ESEA. 2 of 4
  • 3. Sincerely, Oscar E. Cruz Jonathan Klein President & CEO Executive Director Families In Schools Great Oakland Public Schools Ted Lempert Bill Lucia President President & CEO Children Now EdVoice Tim Melton Ama Nyamekye Vice President, Legislative Affairs Executive Director StudentsFirst Educators 4 Excellence – L.A. Arun Ramanathan Sen. Gloria Romero (Ret.) Executive Director California State Director The Education Trust—West Democrats for Education Reform Angelica Solis Luis Santana Executive Director Executive Director Alliance for a Better Community Reading and Beyond 3 of 4
  • 4. CC: Senate Pro Tempore Darrell Steinberg Senator Christine Kehoe, Senate Appropriations Committee Senator Alan Lowenthal, Senate Education Committee Assembly Speaker John Perez President Michael Kirst, State Board of Education Ms. Sue Burr, Executive Director, State Board of Education Mr. Nick Schweizer, Deputy Director, Department of Finance 4 of 4