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Legislative Recap - Utah Fits All Scholarship Program Modifications

UEFA Team
UEFA Team

As we near the end of the legislative session, HB467 Utah Fits All Scholarship Program Modifications, experienced another iteration on the Senate Floor. Substitute 5 was introduced and passed by the body with a 19-10 vote in favor. The bill now goes back to the House for concurrence.

 ๐Ÿ†˜ To help parents and stakeholders understand exactly which provisions have been removed and which remain, below is a comprehensive breakdown of the most current bill changes.  
 

Removed Provisions in Substitute 5

โœ‚๏ธ Monthly Tuition Reimbursement for Non-Eligible Private Schools

  • Removal of all provisions related to monthly tuition reimbursement for tuition paid directly to a private school that meets the definition in Section 53F-6-401, but has not been approved as an eligible school under Section 53F-6-408

โœ‚๏ธ Annual Audit by the Office of the Legislative Auditor General

  • The Program already undergoes annual audits as required by current statute:
    • Independent CPA audit of scholarship accounts (annual + random)
    • Audit by the Utah State Auditor of the program manager

Provisions Remaining in HB467

๐Ÿ†• Private School Definition

  • The definition has been restored to the original version currently in statute, with the addition of provisions prohibiting any entity that distributes any portion of enrollment-based funding received by an LEA

๐Ÿ†• Age Requirement Clarification

  • Students must be under 19 years old as of September 1

๐Ÿ†• Enrollment Lottery Tier Changes

  • Reorders enrollment preference tiers:
    • Tier i: Returning students
    • Tier ii: Siblings of current/recent scholarship students
    • Tier iii: Low-income students (300% FPL)
    • Tier iv: Lottery for remaining scholarships

๐Ÿ†• Partial Scholarship Awards for Multi-Child Households

  • New subsection establishing procedures when insufficient funds exist for all children in household

๐Ÿ†• Program Manager Coordination and Oversight

  • Program manager must coordinate with Department of Operations on policy interpretations, compliance issues, and customer service standards

๐Ÿ†• Enhanced Customer Service Requirements

  • New subsection requiring program manager to maintain adequate call center capacity:
    • Sufficient staffing for standard and peak enrollment periods
    • Scalability plans as enrollment grows
    • Regular capacity assessments
  • New subsection requiring continuous customer service improvement based on parent feedback

๐Ÿ†• Pre-Approval Process for Scholarship Expenses

  • New subsection establishing pre-approval process:
    • Parents can submit expense requests for review before incurring expense
    • Response within 7 business days indicating approval, need for more info, or denial with explanation
    • Accessible through online portal, email, and telephone
    • Documentation of all requests and decisions maintained

๐Ÿ†• Marketplace Operation Standards

  • New subsection establishing marketplace standards if program manager operates one:
    • Prices must reflect fair market value
    • Parents may purchase similar items elsewhere and seek reimbursement
    • Cannot require exclusive marketplace purchases
    • Cannot resell used or returned goods through marketplace
    • Parents can purchase used/resale items from third parties and seek reimbursement

๐Ÿ†• Private School Consumer Protection & Transparency

For Schools with 150+ Students:

  • Written disclosures must include refund policies (refunds go to program manager, not parent) and statement that pricing/refund policies identical for scholarship vs. regular students
  • Functioning website with costs, fees, refund policies, contacts, address; report withdrawals within 5 business days; identical pricing/refund policies for all students

For Schools with <150 Students:

  • Same requirements as above

๐Ÿ†• Audit/Financial Verification Simplification for Eligible Schools

  • Replaces full audit submission requirement with simple verification that audit/agreed-upon procedures was obtained and found solvency
  • Limits program manager to only verifying completion; cannot conduct, commission, or review detailed financial records

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