More to the Myths and Facts: Addressing Accessible Educational Materials in the 2024 Assistive Technology Guidance
Publication Date: October 2024
PDF Version of the AEM-AT-GuidancePublication Date: October 2024
PDF Version of the AEM-AT-GuidanceIn January 2024, the Office of Educational Technology and the Office of Special Education Programs (OSEP) at the U.S. Department of Education (the Department) published a guidance document, Myths and Facts Surrounding Assistive Technology Devices and Services (U.S. Department of Education, 2024). Commonly referred to as “the AT guidance document,” the publication provides support on a range of issues related to the procurement, implementation, and evaluation of assistive technology (AT) devices and services for children with disabilities. The Department presents these issues in a series of 28 Myths, each accompanied by a clarifying Fact and a detailed explanation grounded in the requirements of the Individuals with Disabilities Education Act (IDEA).
The AT guidance document is a highly useful resource for both families and professionals who rely on the IDEA to ensure children with disabilities receive equitable access to education and are prepared for postsecondary opportunities. The Department’s “Myths and Facts” approach effectively clarifies the most common misconceptions about local educational agency (LEA) responsibilities related to the provision of AT devices and services under IDEA.
At the same time LEAs and families are benefiting from the AT guidance document, there’s an opportunity to provide information about a child’s need for accessible educational materials (AEM) under IDEA. Like AT devices and services, the provision of AEM is a requirement under IDEA. The purpose of this document is to supplement the AT guidance document by adding the relevance of AEM to each issue raised by the 28 Myths and Facts.
Users of this document are advised to read the AT guidance document fully. The information provided in the AT guidance builds on the foundation of the relevance of AEM to each Myth and Fact presented in this document. Therefore, the reader will gain the most clarity by reading a specific Myth/Fact in the AT guidance document and then referring to this document to learn how AEM relates to that same Myth/Fact.
The term “accessible educational materials” or AEM was defined by OSEP in the 2014 priority for a National Center on Accessible Educational Materials for Learning (U.S. Department of Education, 2014):
As used in this priority, “accessible educational materials” means print- and technology-based educational materials, including printed and electronic textbooks and related core materials that are required by State Educational Agencies (SEAs) and LEAs for use by all students, produced or rendered in accessible media, written and published primarily for use in early learning programs, elementary, or secondary schools to support teaching and learning.
As stated in its definition, AEM includes digital materials that are produced to be accessible for all children, as well as materials that are rendered in accessible formats for a child with a disability (e.g., print textbooks converted to accessible digital text and videos that are closed captioned). Critical differences exist between these two categories of AEM, including distinct legal foundations.
SEAs and LEAs minimize delays in the provision of AEM for children with disabilities by procuring digital educational materials that are produced to be accessible from the beginning. For example, digital accessibility requirements and procedures can be embedded in the edtech procurement process. This, in addition to related digital accessibility guidelines, informs publishers and vendors of the educational agency’s commitment to its legal obligations aligned to Title II of the Americans with Disabilities Act (ADA) for web and mobile app accessibility (89 FR 31320). The Web Content Accessibility Guidelines (WCAG) Version 2.1, Level AA is the technical standard required under a new ADA Title II update, which goes into effect for large LEAs on April 24, 2026, and for small LEAs on April 26, 2027 (U.S. Department of Justice, 2024). Although the new Title II rule includes limited exceptions, LEAs will be required to provide an accessible format of an inaccessible material should it be needed by a child with a disability. This is consistent with LEAs’ existing obligations under Title II of the ADA.
Like title II of the ADA, IDEA also requires SEAs and LEAs to provide accessible formats when needed by a child with a disability. Furthermore, the IDEA includes provisions to improve the timely delivery of accessible formats. The purpose of this document is to inform individualized education program (IEP) Teams of the right of children with disabilities to receive accessible formats in a timely manner under IDEA, and to provide support in the context of the AT guidance document.
The 2004 reauthorization of IDEA requires SEAs and LEAs to provide accessible formats of educational materials to children who need them in a timely manner (Part B, Section 612 (a)(23) and Section 613 (a)(6)). The law requires that each State establish its own definition of “timely manner.” Definitions adopted by States commonly include the phrase “at the same time,” meaning a child with a disability who requires accessibility receives educational materials in the format(s) needed at the same time children without disabilities receive the same materials.
IDEA references Section 121 of the U.S. Copyright Act for guidance and procedures related to the provision of accessible formats for eligible children. Section 121 provides a copyright exemption that permits agencies and organizations that have a primary mission to serve the needs of persons with disabilities to create accessible formats without requesting permission of the copyright holder. Under Section 121, an “accessible format” is defined as:
[A]n alternative manner or form that gives an eligible person access to the work when the copy or phonorecord in the accessible format is used exclusively by the eligible person to permit him or her to have access as feasibly and comfortably as a person without such disability.
-20 U.S.C. § 121(d)(1)
In practice, accessible formats are technically produced from materials that are primarily static text and images, whether print or digital. An example of an inaccessible digital material for which an accessible format may be produced is an untagged PDF file, which cannot be accessed by assistive technology. Braille, large print, audio recordings, tactile graphics, and accessible digital text are common examples of accessible formats.
The term “eligible person” in the definition of accessible format is defined as:
(A)n individual who, regardless of any other disability—
(A) is blind;
(B) has a visual impairment or perceptual or reading disability that cannot be improved to give visual function substantially equivalent to that of a person who has no such impairment or disability and so is unable to read printed works to substantially the same degree as a person without an impairment or disability; or
(C) is otherwise unable, through physical disability, to hold or manipulate a book or to focus or move the eyes to the extent that would be normally acceptable for reading.
Professionals who can certify that a child is an eligible person include:
Doctor of medicine, doctor of osteopathy, ophthalmologist, optometrist, psychologist, registered nurse, therapist, and professional staff of hospitals, institutions, and public or welfare agencies (such as an educator, social worker, case worker, counselor, rehabilitation teacher, certified reading specialist, school psychologist, superintendent, or librarian).
To help SEAs and LEAs provide accessible formats to eligible children in a timely manner, IDEA established the National Instructional Materials Accessibility Standard (NIMAS) and the National Instructional Materials Access Center (NIMAC) in 2004. Publishers submit digital files in the NIMAS specification to the NIMAC online repository, and authorized users in the States download these files to expedite the production of accessible formats in a timely manner.
States are required to adopt NIMAS as the specification used to produce accessible formats of instructional materials covered under IDEA. At the time of the 2004 reauthorization of IDEA, educational materials were predominantly provided in standard print. In fact, the term “print instructional materials” is the term used in IDEA with the definition, “Printed textbooks and related printed core materials that are written and published primarily for use in elementary school and secondary school instruction and are required by a State educational agency or local educational agency for use by students in the classroom.” In 2020, the Department issued a Notice of Interpretation clarifying that the definition of “print instructional materials” includes inaccessible digital materials when those materials can be converted into the valid NIMAS file format. In general, this requires the digital material to be static text and images with a linear reading order.
All 50 states and the eligible territories have chosen to coordinate with the NIMAC to acquire NIMAS source files for expediting the production of accessible formats. Under IDEA, all SEAs and LEAs that coordinate with the NIMAC are required to include language in their instructional materials adoption contracts and purchase agreements, directing publishers to submit files in the NIMAS specification to the NIMAC. Visit the website of the NIMAC for more information or contact the NIMAC at nimac@aph.org.
The responsibility of the IEP Team is to navigate the process of ensuring that a child with a disability who needs accessible formats receives them in a timely manner. When the educational materials for which accessible formats are needed are included under IDEA (i.e., meet the definition of printed or inaccessible digital text instructional materials), SEAs and LEAs can utilize the NIMAC. Section III includes guidance for IEP Teams to acquire accessible formats of materials not available in the NIMAC, as well as resources for accessible videos.
This section directly aligns with the AT guidance document. For each AT Myth & Fact, the relationship to AEM is presented as an “AEM Tie-In,” followed by a detailed explanation.
Timely access to accessible materials is an obligation of public agencies under IDEA to ensure that children with disabilities receive a free appropriate public education (FAPE) and participate in the general education curriculum as specified in the IEP (71 FR 46618). While IDEA does not specify a requirement that the IEP Team consider a child’s need for accessible formats of educational materials, the IEP development process is the most appropriate mechanism for ensuring that children with disabilities who need accessible formats receive them in a timely manner. As with AT devices and services, the IEP Team determines the type of accessible format or formats that the child needs. IEP Teams are advised to consult with their SEA for guidance on where in the IEP a child’s need for accessible format(s) should be specified.
When the IEP Team determines that a child needs an accessible format to access the materials used in the general education curriculum, the SEA or LEA is responsible for providing those educational materials in the format(s) required by the child in a timely manner (§ 300.172 (b) (3) and § 300.210 (b) (3)). As with AT devices and services, the IEP Team must consult with knowledgeable individuals if there is no one on the team with sufficient knowledge of how to select and acquire accessible formats. In addition to their State or territory AT Act Program, IEP Team members can request technical assistance from their State AEM Contact.
Unlike AT, the definition of “accessible format” does not include a service component. That does not mean, however, that a child with a disability does not need assistance with the use of an accessible format. Services related to accessible formats of educational materials are important to the effective provision and use by children with disabilities. These services include selecting the format(s) needed by the child; acquiring the format(s) from appropriate sources; and supporting the child, family, teachers, and related service providers with the effective use of the accessible format(s) in teaching and learning. For example, a child who is visually impaired must be provided instruction in braille and the use of braille as accompanying services, unless the IEP Team determines this would not be appropriate (see Myth & Fact 4 and the “braille provision” in IDEA).
Like AT devices and services, the appropriate type of accessible format needed by a child with a disability is determined by the IEP Team. In the case of a child who is blind or visually impaired, there is an important “braille provision” in IDEA. Under Consideration of Special Factors, a child who is blind or visually impaired must be provided instruction in braille and the use of braille unless the results of an evaluation lead the IEP Team to determine that braille is not appropriate for the child (Section 614 (d)(3)(B)(iii)). In the case of children with other disabilities who meet the criteria of “eligible person,” IDEA does not specify requirements for an accessible format evaluation. In deciding whether or not to conduct an evaluation, it is important for the IEP Team to refer to the broad definition of the term “accessible format.” In addition to braille and tactile graphics, common examples include large print, recorded audio, and accessible digital text. For example, an accessible format evaluation for a child with a reading disability may include trials of human-narrated audio recordings, digital text, and a combination of the two. The IEP Team should take into consideration that the format or combination of formats a child needs may depend on the subject matter. Therefore, a range of curricular material should be included in the evaluation process.
Unlike AT, the definition of “accessible format” does not include services for a child with a disability, family, teachers, or related service providers. Services may be required, however, for the child to use the accessible format(s) for effectively participating in the general education curriculum as specified in the IEP. Examples of services that the IEP Team can consider and potentially provide to ensure the child can successfully use the accessible format(s) include but are not limited to:
As stated under Myth/Fact 1, IDEA does not include a specific requirement that the IEP Team consider a child’s need for accessible formats of educational materials. However, the IEP process is the most appropriate mechanism for ensuring that children with disabilities who need accessible formats receive them in a timely manner. As with AT devices and services, the IEP Team can document accessible format decisions. IEP Teams are advised to consult with their SEA for guidance on where in the IEP decisions related to a child’s need for and use of accessible formats should be specified.
For all of the reasons presented by the Department in relation to the requirements and benefits of including AT devices and services in a child’s transition plan, accessible formats should also be included. Free and low-cost services that provide accessible formats are available to eligible persons across the lifespan in all settings. Consistent with training on how to use an AT device, transition plans should include training for individuals with disabilities on how to independently acquire and use accessible formats in post-secondary life. For example, individuals transitioning to a college or university should be trained in the process of requesting accessible formats of academic course materials from a Disability Services Office. Individuals transitioning to employment should be prepared for various scenarios within for-profit and non-profit businesses for requesting accessible formats of materials needed to fulfill their job responsibilities.
A child with a disability who requires the use of an AT device to participate in State and districtwide assessments may also require those same assessments provided in an accessible format. Therefore, the Department’s explanation under Myth/Fact 8 as related to AT devices also applies to accessible formats.
Like AT devices, accessible formats of educational materials are not necessarily electronic. Examples of paper-based or hard copy formats include embossed braille, tactile graphics, and large print. Examples of electronic formats include digital braille, digitally recorded audio, and digital text. A child who is blind or low vision or a child who is deaf or hard of hearing may need features of accessible video, such as closed captions, audio description, and embedded ASL. Furthermore, a child may need a text transcript of a material provided in an audio format, such as a podcast.
Similar to AT, there are common misconceptions about the types of disabilities for which accessible formats can be considered. For example, it is a common misconception that accessible formats of educational materials are only for children who are blind or have low vision. While IDEA requires IEP Teams to consider the needs of a child who is blind or visually impaired for instruction in braille and the use of braille (Myth/Fact 4), children with other types of disabilities are eligible to receive accessible formats. For example, if the IEP Team determines that a child who is dyslexic needs text-to-speech software, the accessible formats of audio and digital text should be considered for inclusion in the child’s IEP. If the IEP Team determines a child with a physical disability needs an AT device to access educational materials, such as switch-scanning technology, the accessible format of digital text should be considered for inclusion in the IEP. Consistent with the decision-making process for AT devices and services, IEP Teams should consider the individual needs of the child and make accessible format decisions accordingly.
The explanation presented by the Department as it relates to AT devices applies to the use of accessible formats. An example presented by the Department of a child who requires text-to-speech software also applies to accessible formats. That is, a child who requires text-to-speech software needs materials in an accessible digital text format in order for that AT to be implemented; therefore, wherever the child uses text-to-speech software, the child will also need material in accessible digital text. Another example: A child who requires a refreshable braille display should have access to that device in all environments, along with the digital braille files of the necessary materials.
Children with disabilities may use a range of accessible formats depending on the learning context. For example, a child who uses braille for one class may primarily rely on audio in another. In addition, children with the same disability may utilize different accessible formats. For example, one child who has low vision may be learning to read braille, while another may use text magnification. The determination of the primary reading media and the accessible formats which should be available to the child in a given class or setting should be made by the IEP Team. Decisions about what format(s) to provide should be made based on individualized assessment, not on factors such as teacher preference, expediency, or cost. Often, advanced planning and coordination are required to ensure that all educational materials – including teacher-created materials – are ready for a child to use in the format(s) indicated in the IEP. One or more members of the IEP Team should be knowledgeable about the selection, acquisition, and use of accessible formats that meet the unique needs of the child with a disability. Guidance and technical assistance are available from State AEM Contacts.
For a deeper analysis of the definition of AEM and accessible formats, a type of AEM, see Overview of AEM & Accessible Formats in Relation to IDEA. The definition of AEM presented in AT Myth/Fact 14 was adopted for the purpose of technical assistance after the 2014 award of the National AEM Center.
Reading digital text in conjunction with listening to the text in audio format has been documented to be an effective intervention for children with reading disabilities (Jackson et al., 2022; Keelor et al., 2020; Wood et al., 2018). It has also been shown that the combination of refreshable braille or screen magnification and text-to-speech technology can augment the reading rate of children who are blind or have low vision (Jackson, 2021). Additionally, studies of sample participants have shown a correlation between braille reading skills and education, employment, and financial outcomes for adults who are blind or have low vision (Ryles, 1996; Silverman & Bell, 2018).
The research cited by the Department under AT Myth/Fact 16 includes a study in which “children with disabilities reported that being able to listen to text through their AT devices while also reading assisted in comprehension and completion of assignments” (p. 10). Examples of accessible formats that enable a child to listen to text through AT devices and, therefore, complete assignments include digital text and human-recorded audio.
Consistent with the reasons the Department presents for AT, a child may not want to use an accessible format. Therefore, the recommendations provided under Myth/Fact 17 apply to cases where a child refuses an accessible format.
When digital accessible formats are provided to a child, whether on a device supplied by the LEA or the child’s own device, digital rights policies need to be followed. IDEA requires SEAs and LEAs to establish and disseminate policies and procedures to prevent the illegal copying or distribution of copyrighted digital content. An accessible format use policy can be included in the IEP or in another document available to the parents and relevant staff in the school and LEA. Digital rights managers in SEAs and LEAs are helpful with overseeing the legal delivery, distribution, and use of digital accessible formats.
In addition to those listed in the AT guidance document, the following responsibilities should be considered by the IEP Team in direct relation to the provision and use of digital accessible formats on devices owned by either the child or the LEA:
As with AT devices, the amount of time it can take to acquire an accessible format varies widely, depending on the format required and whether the material has already been produced in the needed format by one or more agencies. Federally funded programs are available to help SEAs and LEAs meet the IDEA’s requirement to provide accessible formats to a child with a disability in a timely manner (Section 674(e)):
The searchable Louis Database of Accessible Materials includes information on materials available from over 50 organizations, including Bookshare and APH.
The IEP Team should be aware that when the needed accessible format is not already available from a provider, the turnaround time for production may be lengthy. The search for accessible formats of educational materials needed by the child must begin as soon as possible following the development of the IEP.
To ensure that the child receives the accessible format in a timely manner and is able to use it effectively in the general education curriculum and other appropriate settings, the IEP Team collaborates with information technology (IT) and other relevant personnel.
General education teachers, special education teachers, AT Specialists, teachers of students with visual impairments, teachers of students who are deaf or hard of hearing, and related service providers are examples of professionals who may be considered to help determine the unique needs of the child and the most effective process(es) for providing accessible formats. Technical assistance is available from State or Territory AT Act programs and State AEM Contacts.
The OSEP-funded National AEM Center supports LEAs in the process of determining a child’s need for accessible formats, selecting the format(s) needed, acquiring the materials in the format(s) needed, and supporting the child, family, and staff with using the accessible format in all environments. Additionally, OSEP-funded providers of accessible formats, including Bookshare and DCMP offer technical assistance with using their services and materials. LEAs can also reach out to their State AEM Contact for technical assistance.
As part of the development of the individualized family service plan (IFSP), families and service providers can consider the types of materials the child will use once enrolled in early childhood education. For example, print-based books in a preschool program may not be accessible to children with a range of disabilities, including a child who is blind or has low vision, a child with a physical disability that impacts fine motor movement, or a child who has not yet been identified as having a reading disability. A Part C to Part B transition plan in the IFSP can include training and services to prepare the child to be as independent as possible while using a variety of early childhood education materials. The earlier accessible formats are introduced to children with disabilities, the more opportunities they will have to independently learn and develop alongside children without disabilities. For example, beginning readers who are learning braille need practice with contractions in addition to learning letters, grammar rules, and spelling skills to which all early readers are introduced (Emerson et al., 2009).
IEP Teams should be aware of the federally funded sources of accessible materials listed under Myth/Fact 19. Additionally, the Federal Quota Program distributes funds to States for the purpose of purchasing accessible materials and educational products from APH for use by children who are blind or have low vision.
The Federal funding sources for AT devices and services that are presented by the Department under Myth/Fact 28 also apply to the provision and use of accessible formats.
Support for the development of this document was provided by the Center for Technical Assistance for Excellence in Special Education (TAESE) and WebAIM at Utah State University. The content of this document significantly benefited from the contributions of Nicole Gaines, Director of the NIMAC, and Gayl Bowser, facilitator of the State Leaders in Assistive Technology in Education (SLATE).
Emerson, R.W., Holbrook, M.C., & D’Andrea, F.M. (2009). Acquisition of literacy skills by young children who are blind: Results from the ABC Braille Study. Journal of Visual Impairment & Blindness, 103, 610–624.
Jackson, R., Karger, J., Stahl, W.M., & Curry, C. (2022). Audio-Supported Reading & Students with Learning Disabilities: Giving Voice to All Learners. Lynnfield, MA: National Center on Accessible Educational Materials at CAST. Retrieved April 18, 2024, from https://aem.cast.org/get-started/resources/2022/audio-supported-reading--students-with-learning-disabilities-giving-voice-to-all-learners
Jackson, R. (2021). Audio-Supported Reading for Students Who Are Blind or Visually Impaired. Wakefield, MA: National Center on Accessible Educational Materials. Retrieved April 18, 2024, from https://aem.cast.org/binaries/content/assets/common/publications/aem/asr-blind-visuallyimpaired.pdf
Keelor, J.L., Creaghead, N., Silbert, N., & Horowitz-Kraus, T. (2020). Text-to-speech technology: Enhancing reading. Assistive Technology Outcomes & Benefits, 14(1), 19-35.
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Ryles, R. (1996). The Impact of Braille Reading Skills on Employment, Income, Education, and Reading Habits. Journal of Visual Impairment and Blindness, 90(3), 219-226.
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Wood, S.G., Moxley, J.H., Tighe, E.L., & Wagner, R.K. (2018). Does Use of Text-to-Speech and Related Read-Aloud Tools Improve Reading Comprehension for Students with Reading Disabilities? A Meta-Analysis. Journal of Learning Disabilities, 51(1), 73-84.
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