Transgender Student Model Policies
Transgender Student Model Policies
Transgender Student Model Policies
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Table of Contents
Acknowledgements 3
Introduction 5
Background 6
Terminology 6
Related Laws 7
Guiding Principle to Support Transgender Students 8
Bullying, Harassment, and Discrimination 9
Student Privacy/Confidentiality 11
Student Identification 12
School Records 13
Dress Code 15
Access to Activities and Facilities 16
Student Participation in School Activities and Events 16
Access to Facilities 17
Professional Development and Training 18
Other Considerations 19
Appendix A: Resources 21
Resources for School Divisions 21
Model and Existing Policies and Guidelines 21
Professional Development Resources 22
Resources for Students 22
Resources for Parents 23
Advocacy Organizations 23
References 25
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Acknowledgements
The Virginia Department of Education (VDOE) would like to extend appreciation to those who
provided input and offered expertise throughout the development of these model policies.
Rebecca Askew (she/her), Senior Policy Analyst, Office of Policy, Virginia Department of
Education
Amy Aussiker (she/her), Ph.D., School Psychologist, Carroll County Public Schools,
Jane Ball (she/her), School Social Worker, Hanover County Public Schools
L. Frances Brown (she/her), School Psychologist (retired), Henrico County Public Schools
Shannon Campbell (she/her), School Nurse, Montgomery County Public Schools, Virginia
Association of School Nurses
Daniel Dunham (he/him), Military Student and Family Specialist, Office of Student Services,
Virginia Department of Education
Quyen Duong (she/her), Student Services Specialist, Office of Student Services, Virginia Department of
Education
Tammy D. Gilligan (she/her), Ph.D., Professor and Director of School Psychology Program,
James Madison University, Board Member, Virginia Academy of School Psychologists
Herbertia Gilmore (she/her), Title IX Coordinator, Office of Equity & Employee Relations,
Fairfax County Public Schools
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Barbara Kanninen (she/her), School Board Member, Arlington County Public Schools, Virginia
School Boards Association
Scott Kizner (he/him), Ph.D., Superintendent, Stafford County Public Schools, Virginia
Association of School Superintendents
Shekila Melchior (she/her), Ph.D., Assistant Professor, George Mason University, Virginia
Alliance for School Counseling
Chuck Moss (he/him), Principal, Dinwiddie Middle School, Virginia Association of Elementary
School Principals
Cardell Patillo (he/him), School Board Member, Portsmouth City School Board, Virginia School
Boards Association
Patricia Popp (she/her), Ph. D., Project HOPE-VA State Coordinator, Clinical Associate
Professor, William & Mary School of Education
Leslie Sale (she/her), Ph.D., Director of Policy, Office of Policy, Virginia Department of
Education
Darrell Sampson (he/him), Director of K-12 School Counseling, Alexandria City Public Schools,
Virginia School Counseling Association
Andrea Tetreault (she/her), Chief of Staff for Delegate Marcus Simon, Virginia House of
Delegates
Emily Webb (she/her), Director, Office of Board Relations, Virginia Department of Education
Joseph Wharff (he/him), Associate Director, Office of Student Services, Virginia Department of
Education
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Introduction
The Model Policies for the Treatment of Transgender Students in Public Elementary and
Secondary Schools document was developed in response to House Bill 145 and Senate Bill 161,
enacted by the 2020 Virginia General Assembly:
“1. That the Code of Virginia is amended by adding a section numbered 22.1-23.3 as follows
§ 22.1-23.3. Treatment of transgender students; policies.
A. The Department of Education shall develop and make available to each school board
model policies concerning the treatment of transgender students in public elementary and
secondary schools that address common issues regarding transgender students in
accordance with evidence-based best practices and include information, guidance,
procedures, and standards relating to:
B. Each school board shall adopt policies that are consistent with but may be more
comprehensive than the model policies developed by the Virginia Department of
Education (VDOE) pursuant to subsection A:
1. That the Virginia Department of Education shall develop and make available to
each school board model policies pursuant to subsection A of § 22.1-23.3 of the
Code of Virginia, as created by this act, no later than December 31, 2020.
2. That each school board shall adopt policies pursuant to subsection B of § 22.1-
23.3 of the Code of Virginia, as created by this act, no later than the beginning of
the 2021–2022 school year.”
In June 2020, an advisory committee was formed to review model policies, local policies
throughout the nation, and resources pertaining to the treatment of transgender students in public
schools. The committee included school-based personnel representing diverse Superintendent’s
Regions and disciplines, representatives from state professional associations, parent
representatives, student representatives, representatives from advocacy organizations, and
specialists from the Virginia Department of Education (VDOE). The development of these
model policies is a result of consultation and collaboration with multiple stakeholders throughout
the Commonwealth with a variety of backgrounds and expertise.
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Background
Terminology
Transgender and nonbinary students may use different terms to describe their lives and gender
experiences. While terminology and language differ and evolve based on region, language, race
or ethnicity, age, culture, and other factors, for purposes of discussion in this document, the
following terms are used:
Cisgender: An adjective describing a person whose gender identity corresponds with the
gender society typically associates with the sex they were assigned at birth.
Gender: A set of social, psychological, and emotional traits that classify an individual as
typically masculine or feminine, although the social construct of gender may be more
diverse across a continuum rather than as a binary system.
Gender-expansive/gender-diverse/gender-fluid/gender-nonbinary/agender/gender
queer: Terms that convey a wider, more inclusive range of gender identity and/or
expression than typically associated with the social construct of a binary (two discrete
and opposite categories of male and female) gender system.
Gender Expression: The manner in which a person represents or expresses their gender
identity or role to others, often through appearance, clothing, hairstyles, behavior,
activities, voice, or mannerisms. Gender expression may change over time and from day-
to-day and is not necessarily related to the person’s gender identity.
Gender Nonconforming: A person who does not conform to gender stereotypes. Their
gender expression differs from society’s expectations associated with the sex assigned at
birth. Being gender nonconforming is distinct from being transgender, though some
transgender people may consider themselves to be gender nonconforming.
Gender Transition: The process of shifting toward living according to their gender
identity, rather than the sex assigned at birth. Transitions can be at different levels,
including social transition, such as new names, pronouns, appearance, and clothing. Some
people may undergo medical transitions, such as hormone therapy or surgery.
Nonbinary: a term used to refer to people whose gender identity is not exclusively male
or female, including those who identify with a different gender, a combination of
genders, or no gender. Nonbinary may be considered a subset of transgender or a distinct
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identity. Other similar terms may include genderqueer, gender fluid, agender, or Two-
Spirit (for Native American Indian, Alaska Native, First Nation, or Indigenous
communities).
Sex Assignment: A label, generally “male” or “female,” that is typically assigned at birth
on the basis of a cluster of physical and anatomical features. Intersex refers to someone
whose combination of chromosomes, gonads, hormones, internal sex organs, and genitals
differs from the two expected patterns of male or female.
Related Laws
A brief summary of federal and state laws is included for informational purposes and to aid in
the development of model policies for the treatment of transgender students. The summary
provided in this section does not constitute legal interpretation nor advice. Given the changing
legal landscape, including on-going litigation and different interpretations, school divisions
should consult with their school board attorney.
First Amendment: The First Amendment protects freedom of speech and expression. Schools
may not prevent students from expressing their identity.
Equal Protection Clause of the 14th Amendment: This clause guarantees every citizen equal
protection under the law. It protects LGBTQ+ youth in schools from unfair or discriminatory
school actions.
Title VII of the Civil Rights Act of 1964: The US Supreme Court ruled in June 2020 that this
federal law includes protection based on sexual orientation and gender identity in its prohibition
of employment discrimination.
Title IX of the Education Amendments of 1972: Title IX is a federal law that prohibits schools
that receive federal financial assistance from limiting or denying a student’s participation in any
school program on the basis of sex. This may be understood to prohibit discrimination, including
sexual harassment, based on sex stereotypes, sexual orientation, and gender identity or
transgender status.
Equal Access Act: This is a federal law that requires public secondary schools to provide equal
access to extracurricular clubs. Schools must treat all clubs the same and use school resources in
the same way, including for Gay-Straight Alliance or Gender-Sexuality Alliance (GSA) clubs.
Family Educational Rights and Privacy Act (FERPA): This is a federal law that protects the
privacy of student educational records. It prohibits the improper disclosure of personally
identifiable information from student records. Information relating to gender identity or sexual
orientation may constitute personally identifiable information.
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Health Insurance Portability and Accountability Act of 1996 (HIPAA): This is a federal law that
mandates the privacy protections for individually identifiable health information. Demographic
information such as gender may be considered protected health information under HIPAA.
Conversion Therapy Prohibited: § 54.1-2409.5. This Virginia state law prohibits licensed
professionals from engaging in conversion therapy with youth under 18 years of age. Note that
conversion therapy is opposed by most major professional organizations such as the American
Psychiatric Association (APA, 2018), the American Counseling Association (ACA, n.d.), and the
American Medical Association (AMA, 2019).
Virginia Values Act: This state law expands the Virginia Human Rights Act to prohibit
discrimination in employment, housing, and public accommodations on the basis of sexual
orientation and gender identity.
Virginia Anti-Bullying legislation: Virginia school boards are required to include bullying
prevention as a part of character education (§ 22.1-208.01 of the Code of Virginia). In addition,
school boards are expected to include bullying as a prohibited behavior in their student codes of
conduct (§ 22.1-279.6.D of the Code of Virginia) and to implement policies and procedures to
educate school board employees about bullying and the need to create a bully-free environment
(§ 22.1- 291.4 of the Code of Virginia). Finally, §§ 22.1-276.01 and 22.1-279.6 of the Code of
Virginia requires including standards for reducing bias and harassment in the enforcement of any
code of student conduct.
For many people, their gender identity matches their sex assigned at birth. For others, their
gender identity does not necessarily correspond to the sex assigned at birth, where the gender
identity may be one in a range such as transgender, nonbinary, or gender-expansive. Gender
identity is considered an innate characteristic that most children declare by age five to six (Lamb
& Lerner, 2015). In 2020, the American Psychological Association (APA) and National
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Association of School Psychologists (NASP) declared in a resolution that “all persons, including
children and adolescents who are diverse in their sexuality and gender identities, expression,
and/or presentation, have the inherent human right to equal opportunity and a physically and
psychologically safe environment within all institutions.” The American Academy of Pediatrics
(2018) also acknowledged that, “variations in gender identity and expression are normal aspects
of human diversity.”
School divisions are encouraged to develop comprehensive policies, regulations, guidance and
implementation plans to minimize social stigmatization for such students and maximize
opportunities for social integration so that all students have an equal opportunity to attend
school, be engaged, and achieve academic success. This process should be informed by the needs
of students, and the strongest policies are developed when they include student participation. A
recent study found that inclusive policies that focus on sexual orientation and gender identity
were associated with more supportive school environments for LGBTQ+ youth and had a direct
association with less truancy (Day, Ioverno, & Russell, 2019). While the terminology
transgender is used throughout this document, it should be interpreted to include gender-
expansive, nonbinary, and gender nonconforming individuals who do not identify on the
cisgender binary.
To comply with HB 145 (2020) and SB 161 (2020), local school boards shall adopt policies
consistent with model policies contained in this document no later than the 2021-2022 school
year. They may adopt more comprehensive policies than these model policies relating to the
treatment of transgender students. The goal is to develop policies that are informed by the law
and ensure that all students, including transgender students, have safe, supportive, and inclusive
school environments. Local school boards should consult with their school board attorney in the
development of policies and regulations relating to the treatment of transgender students.
The purpose of this document is to present model policies for use during the local school board’s
policy development process. Given the broad range of topics to be addressed by local school
boards relating to the treatment of transgender students, it is likely that multiple policies will be
needed in different categories rather than a single policy. Existing policies and regulations may
also need to be expanded or clarified to be more gender-inclusive or to emphasize specific
protections for transgender, nonbinary, and gender-expansive students. This document provides
information, best practices, guidance, procedures, and standards for each topic, and model
policies are highlighted and distinctive from the discussions. Local school boards may adopt
example language in the model policies or use it as a guide to draft policies that meet the unique
needs of their school division.
Because of societal prejudice and lack of awareness or understanding, transgender students may
experience rejection, criticism, or bullying, that affect their emotional health and academic
achievement. A 2019 national survey by GLSEN found that 84 percent of transgender youth feel
unsafe at school, and those who experience victimization have significantly lower GPAs, are
more likely to miss school out of concern for their safety, and are less likely to plan on
continuing their education (Kosciw, Clark, Truong, & Zongrone, 2020). Compared to their
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cisgender and heterosexual peers, LGBTQ+ youth report much higher rates of depression,
anxiety, alcohol and drug use, and lower self-esteem. LGBTQ+ youth of color may experience
additional stress and adverse effects as a result of their intersecting identities, facing both bias
against their gender identity or expression as well as racism. Research has shown that LGBTQ+
students experience higher levels of victimization because of their gender identity and/or gender
expression and have more adverse outcomes compared to their cisgender and heterosexual peers
(Human Rights Campaign Foundation, 2018):
● 73 percent of surveyed LGBTQ+ youth have experienced verbal threats because of their
actual or perceived LGBTQ+ identity.
● 77 percent of surveyed LGBTQ+ youth report feeling depressed or down over the past
week, and more than 70 percent report feelings of worthlessness and hopelessness in the
past week.
● 95 percent of surveyed LGBTQ+ youth report trouble sleeping at night.
Furthermore, a recent study found that socially transitioned transgender children who are
supported in their gender identity have no elevations in depression and only minimal elevations
in anxiety relative to population averages (Olson, Durwood, DeMeules, & McLaughlin, 2016).
According to the Office of Civil Rights (OCR), “in cases where a complaint alleges that a
school’s action or policy excludes a person from participation in, denies a person the benefits of,
or subjects a person to discrimination under an education program or activity, on the basis of sex,
the Bostock opinion guides OCRs understanding that discrimination against a person based on
their status as homosexual or transgender generally involves discrimination on the basis of their
biological sex. “(OCR, 2020). For transgender students, acts of verbal harassment may include
the intentional and persistent use of names and pronouns not consistent with their identity. Sex-
based harassment may also include the disclosure of the student’s gender identity without their
consent as this presents safety concerns for the student.
Each local school division should ensure its compliance with all state and federal laws regarding
harassment, intimidation, or bullying. Schools should have well-publicized policies prohibiting
harassment and procedures for reporting and resolving complaints consistent with Model Policy
to Address Bullying in Virginia’s Public Schools (VDOE, 2013) and compliant with the Code of
Virginia § 22.1-276.01, § 22.1-208.01, § 22.1-279.6.D, § 22.1-291.4.
The OCR indicated that discrimination against a person based on their status as transgender
generally involves discrimination on the basis of their biological sex (OCR, 2020). Thus, schools
have a responsibility to respond to discrimination on the basis of sex, including on the basis of
the student’s nonconformance to stereotyped notions of gender. Additionally, President Biden
issued an Executive Order that states “Children should be able to learn without worrying about
whether they will be denied access to the restroom, the locker room, or school sports…All
persons should receive equal treatment under the law, no matter their gender identity or sexual
orientation” (Exec. Order No. 13988, 2021).
Schools should provide a safe educational environment for all students and treat all students with
dignity and respect, regardless of a student’s sex, sexual orientation, gender identity/expression,
or transgender status. Local school boards should expand their policies prohibiting
discrimination, harassment, and bullying to emphasize that discrimination or harassment against
a student, by either school staff or by other students, on the basis of their gender identity is
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prohibited under federal and state laws. Nondiscrimination policy and related complaint
procedures should be readily accessible to students and parents/guardians. While there are
existing procedures for complaints related to discrimination, harassment, and bullying, school
divisions may consider emphasizing steps that a student or parent may take for complaints
specifically related to discrimination based on gender identity. For example, a division-level
ombudsman or team may be established to hear concerns brought by students, families, and staff
when their concerns are not resolved at the school level. This division-level ombudsman or team
may also be available to provide consultations to school staff with questions regarding the
implementation of the policies. To assist staff in understanding how to provide a safe educational
environment for transgender students, refer to considerations for training under the Professional
Development and Training section.
The [School Division] prohibits any and all discrimination, harassment, and bullying
based on an individual’s actual or perceived race, color, national original, religion, sex,
sexual orientation, gender identity, disability, or any other characteristic protected by law.
Student Privacy/Confidentiality
Many transgender students undergo the process of gender transition to confirm and live as the
gender consistent with their gender identity. School divisions are encouraged to communicate
openly, albeit confidentially, with students and families regarding the student’s gender identity to
ensure that appropriate steps are taken to determine a student’s needs and address any privacy
concerns and associated risks to the student’s well-being. Protecting transgender students’
privacy is critical to ensuring that they are treated consistent with their gender identity and
minimizing the risk of harm to the students.
Regarding student privacy within the school community, a student’s gender identity may be
public or private, and the degree to which others are aware of the student’s gender identity will
influence plans to support the student. Given the potential for discrimination, sharing this
information could expose a student to harassment and abuse from peers or adults within the
school community. School staff should discuss with the student about how they prefer
information about their gender identity to be shared. Some students may wish the information to
remain private while others may prefer that the gender identity is shared or even discussed in
class. If the student is in a setting where they have been known by their assigned sex at birth,
options for privacy may be limited. In some situations, the student’s move to a new school
setting (e.g., starting middle school, transferring to a different school) affords the opportunity to
confirm their gender identity with more privacy. Regardless of the circumstances, the school
should support the student’s need for privacy and safety and not disclose a student’s gender
identity to other students or other parents. Additionally, school staff should treat a student’s
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gender identity as being particularly sensitive information that should not be shared even
internally among school personnel except to those with a legitimate educational interest or need
to know. When a student publicly shares their gender identity, schools should work proactively
to set clear boundaries about being gender inclusive and respond to negative reactions from the
school community should they arise. Refer to additional discussions in the Other Considerations
section regarding the process for school personnel when a student or parent informs the school
about the student’s gender identity.
Regarding student privacy outside of the school community, a student’s gender identity, legal
name, or sex assigned at birth may be considered confidential medical information and protected
Personally Identifiable Information (PII). Disclosure of that information may violate the school’s
obligations under the Family Educational Rights and Privacy Act (FERPA) and the Health
Insurance Portability and Accountability Act of 1996 (HIPAA). Although school divisions may
disclose a student’s name and gender as directory information, parents and eligible students have
the right to refuse the designation of that information as directory information, pursuant to §
22.1-287.1 of the Code of Virginia. Absent an explicit legal obligation, permission, or
authorization from the appropriate party, such information should not be shared with anyone, and
the local policy should explicitly prevent such disclosures. In order to maintain confidentiality,
school divisions may need to consider additional policies related to record keeping. Refer to
additional discussions on the separation of confidential information under the Student Records
section. Any unauthorized disclosure of protected student information should be addressed
according to existing policies and regulations in accordance with FERPA and HIPAA.
Additionally, privacy and confidentiality are critical for transgender students who do not have
supportive families. Disclosing a student’s gender identity can pose imminent safety risks, such
as losing family support or housing. According to a recent study, LGBT youth have a 120
percent increased risk of experiencing homelessness compared to youth who identified as
heterosexual and cisgender (Morton, Dworsky, & Samuels, 2017). School divisions will need to
consider the health and safety of the student in situations where students may not want their
parents to know about their gender identity, and schools should address this on a case-by-case
basis. If a student is not ready or able to safely share with their family about their gender identity,
this should be respected. There are no regulations requiring school staff to notify a parent or
guardian of a student’s request to affirm their gender identity, and school staff should work with
students to help them share the information with their family when they are ready to do so. Refer
to additional discussions regarding when parents are aware of but are not affirming of the
student’s gender identity in the next section.
Student Identification
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For many transgender students, their daily emotional and psychosocial wellness are dependent
on receiving support and recognition for their gender identity. A transgender student may adopt a
name that is different from their legal name on their birth certificate and use pronouns reflective
of their gender identity. Many transgender students will adopt the gender pronouns typically
associated with their gender identity. For example, most transgender girls will use she/her/hers
pronouns, while most transgender boys will use he/him/his pronouns. There may be a less
common pattern of pronoun usage among nonbinary students. Nonbinary students, as well as
transgender students, may use gendered pronouns like she/her/hers or he/him/his, use gender-
neutral pronouns such as they/them/their or ze/hir/hirs, use multiple sets of pronouns
interchangeably, or use their name in place of any pronoun. School divisions should accept a
student’s assertion of their gender identity without requiring any particular substantiating
evidence, including diagnosis, treatment, or legal documents. A student is considered
transgender if, at school, the student consistently asserts a gender identity different from the sex
assigned at birth. This should involve more than a casual declaration of gender identity, but it
does not necessarily require any substantiating evidence nor any required minimum duration of
expressed gender identity. Establishing gender identity can present differently from student to
student, including, but not limited to: uniform assertion of such an identity, indication that the
identity is sincerely held as part of the student’s core identity, or that the student is not asserting
such an identity for an improper purpose. Schools should work with a student to address any
concern that an asserted gender identity may be for an improper purpose, such as permitting the
student to respond with information that supports the request to be treated consistent with their
gender identity.
When a student asserts that they have a name and/or pronoun affirming their gender identity,
school staff should abide by the student’s wishes as to how to address the student. All school
employees shall treat all students with respect and dignity. In accepting employment with a
school district, a school staff member agrees to abide by and uphold their school board’s policies
and procedures, as well as federal and state laws. A school administrator may need to direct
school staff to abide by the wishes of a student on their name and pronoun. A school employee’s
intentional and persistent refusal to respect a student’s name and pronoun is considered
discriminatory. Schools also should be prepared for genuinely innocent confusion or uncertainty
that may come up from school staff and students. Existing school board policies, including anti-
discrimination, harassment, and bullying policies, may need to be adjusted or clarified relating to
processes that address when a school staff member fails to comply with the student’s request or
an administrator’s directive to use the name and pronoun consistent with their gender identity.
Schools shall allow students to use a name and gender pronouns that reflect their
gender identity without any substantiating evidence. School staff shall, at the request of a
student or parent, when using a name or pronoun to address the student, use the name and
pronoun that correspond to their gender identity.
In the situation when parents or guardians of a minor student (under 18 years of age) do not
agree with the student’s request to adopt a new name and pronouns, school divisions will need to
determine whether to respect the student’s request, abide by the parent’s wishes to continue
using the student’s legal name and sex assigned at birth, or develop an alternative that respects
both the student and the parents. This process will require consideration of short-term solutions
to address the student’s emotional needs to be affirmed at school as well as the long-term goal of
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assisting the family in developing solutions in their child’s best interest. For example, a plan may
include addressing the student at school with their name and pronoun consistent with their
gender identity while using the legal name and pronoun associated with the sex assigned at birth
when communicating with parents or guardians. Research has shown that transgender youth with
supportive families experience a 52 percent decrease in recent suicidal thoughts and 46 percent
decrease in suicide attempts (Ryan, Russell, Huebner, Diaz, & Sanchez, 2010) and that “chosen
name used in more contexts was associated with lower depression, suicidal ideation, and suicidal
behavior” (Russell, Pollitt, Li, & Grossman, 2018). Thus, school staff should be prepared to
support the safety and welfare of transgender students when their families are not affirming.
School staff should provide information and referral to resources to support the student in coping
with the lack of support at home, provide information and resources to families about
transgender issues, seek opportunities to foster a better relationship between the student and their
family, and provide close follow-ups with the family and student. Refer to Appendix A for
resources to support families of transgender students. To comply with § 63.2-1509 of the Code
of Virginia, whenever school personnel suspects or becomes aware that a student is being
abused, neglected, or at risk of abuse or neglect (as defined by § 63.2-100 of the Code of
Virginia) by their parent due to their transgender identity, they must report those concerns to
Child Protective Services immediately. Before making a decision on policies relating to
situations when parents or guardians are not accepting of the student’s gender identity, school
divisions should consult their school board attorney.
School Records
Schools’ student information systems typically use the student’s legal name and sex assigned at
birth as reflected on their birth certificate, required at the time of school registration (§ 22.1-3.1
of the Code of Virginia), and some documents attached to student records may require the use of
the legal name and sex assigned at birth. Information in the student information systems is then
used for a variety of documents and processes such as a unique student identification number
needed for proper student accounting (i.e., for purposes of funding and accountability indicators),
communication with parents, class rosters, attendance records, student identification cards,
library cards, standardized tests, year books, and school photos. Not all transgender students
update legal documents to align with their new name and gender, but they may wish to use the
name and gender consistent with their gender identity in their school documents and processes.
Record keeping that does not include the legal name and sex assigned at birth as well as the
name and gender consistent with the gender identity may pose risks of inadvertently disclosing
the student’s gender identity as well as cause potential emotional trauma for a transgender
student.
School divisions should develop solutions to support a transgender student’s wishes for privacy.
For example, schools could consider maintaining the student’s legal name and sex assigned at
birth as sensitive information in their student information system that requires additional
privilege to access. The student information system can then separately include the name and
gender consistent with the gender identity as additional information that is used to the greatest
extent possible to populate school-related documents and are available to other users. The
protection of the student’s legal name and gender as sensitive information would prevent a
student’s gender identity from being disclosed, such as by a substitute teacher. In situations
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where school divisions are required to use or to report a transgender student’s legal name or sex
assigned at birth, such as for purposes of standardized testing or student data reporting to the
VDOE, school staff should adopt practices to avoid the inadvertent disclosure of such
information. Additionally, schools should eliminate gender markers from their forms,
documents, and records when feasible. While the topic of transgender students usually focuses
on transgender males or transgender females, there are students who identify as nonbinary or
gender-expansive. Since the concept of gender is increasingly being viewed as a gender
spectrum, it may be beneficial to remove gender from forms and documents or provide a
broader, more inclusive range of options. For purposes of data collection, the VDOE has
expanded gender choices to include nonbinary as a third option if the student or parent wishes to
use this option.
When a student or parent requests to change the student’s name or gender on school records, the
extent to which records are modified will depend on the type of record and the substantiation of
the change. Local school boards may need to revise or clarify current policies relating to the
process to change any element of a student’s record, including the appeals process for decisions
made regarding a change to the student’s record.
School divisions will also need to consider policies relating to records for former students. When
a student transitions after they are no longer enrolled in the school division, they may request
amendments to school records reflecting a new name and gender that are different from those
during their attendance. Former students may want to ensure that information on their records
such as transcripts and standardized test scores are consistent with information they are
submitting such as those on college or job applications. School divisions could consider
respecting a former student’s request to amend records retroactively and may consider
processing those requests in the same way other student record amendment requests are
processed. If a former student obtains a court order changing their name or amend other legal
documents such as their birth certificate, state-or federal-issued identifications, or passports,
school divisions, when requested, should amend the student’s record, including reissuing a high
school diploma or transcript, to reflect the student’s current name and gender. Before making a
decision on policies relating to changes to school records, transcripts, and diplomas, school
divisions should consult their school board attorney.
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[School Division] is required to maintain a record that includes a student’s legal name
and sex assigned at birth and may be required to use or report the legal name and sex
assigned at birth in some situations. In situations where school staff is required to use or to
report a transgender student’s legal name or sex assigned at birth, such as for purposes of
standardized testing, school staff and administrators should adopt practices to avoid the
inadvertent disclosure of such information.
Upon the request of a student or parent, schools shall use the name and gender
consistent with the student’s gender identity on other school records or documents.
Schools shall change a student’s name and gender designation upon verification or
submission of a legal document such as a birth certificate, state- or federal-issued
identifications, passport, or court order. Records of former students may also be re-issued with
the submission of legal documents substantiating the amended name and gender.
Dress Code
Local school board policies regarding dress code should serve to support equitable educational
access for all students. The goal of dress or grooming codes should be to ensure the health and
safety of students and not contribute to a hostile or intimidating atmosphere for any student.
Dress codes, including hairstyles, should encompass broad guidelines that are not gender-
specific and free of gender stereotypes. For example, gender-inclusive language such as
“clothing must be worn in a way such that genitals, buttocks, and nipples are covered with
opaque material” should be used rather than prohibiting certain types of clothing typically
associated with one gender (e.g., “a mini skirt” or “camisole”). Transgender students have the
right to dress in a manner consistent with their gender identity or gender expression, and any
student has the right to expression free from gender expectations, as long as the student’s attire
complies with the school’s dress code. Dress codes should be written, enforced, and applied
consistently and equally to all students regardless of gender. In addition, § 22.1-279.6 of the
Code of Virginia permits any school board to include in its code of student conduct a dress or
grooming code. For school divisions who do include dress and grooming standards for students,
the amendment explicitly states that any dress or grooming code shall “maintain gender
neutrality by subjecting any student to the same set of rules and standards regardless of
gender;...not have a disparate impact on students of a particular gender.”
School divisions should further examine and eliminate provisions for gender-specific attire
relating to school activities and events such as physical education uniforms, school ceremony
attires, gender-specific graduation gowns, band uniforms, or orchestra uniforms when these
provisions are not necessary for educational purposes. For example, schools may require formal
attire for all students at a choral concert but should not specify that girls must wear dresses and
boys must wear ties.
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Dress and grooming codes shall be written relating to the attire or articles of attire
without limits on gender expectations. Students have a right to dress in a manner consistent
with their gender identity or gender expression. Schools shall administer and enforce dress
and grooming codes consistently across the student body, regardless of actual or perceived
gender identity or gender expression.
Requirements for attire for school-related programs, activities, and events shall be gender-
neutral.
Whenever schools provide gender-specific activities such as physical education classes, students
should be allowed to participate in a manner consistent with their gender identity. Students have
the right to equitable access to programs, activities, and events that include but are not limited to
acknowledgements, dances, assemblies, after-school programs, extracurricular activities,
intramurals, non-competitive sports leagues, and field trips. For overnight field trips, the school
should not force the student into single-occupancy accommodations that are not required for
other students; however, such alternative accommodations should be made available to any
student requesting them. It is important that school divisions adopt policies and procedures that
are focused on the safety of all students and seek to address privacy interests in situations
involving individuals undressing or showering. School divisions should ensure that all students
who participate in extracurricular activities that involve overnight trips are aware of the school’s
policies and options available to them in advance.
HB 145 and SB 161 exclude athletics for purposes of developing local school board policies.
School divisions should follow rules and policies for interscholastic athletic participation as
outlined by those athletic organizations. The Virginia High School League (VHSL) has provided
policies regarding the participation in gender-specific sports team by transgender students
(VHSL, 2020).
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Schools shall eliminate the practice of segregating students by gender to the extent
possible.
For any school program, event, or activity, including extra-curricular activities that
are segregated by gender, [School Division] shall allow students to participate in a manner
consistent with their gender identity.
Access to Facilities
All students are entitled to have access to restrooms, locker rooms, and changing facilities that
are sanitary, safe, and adequate, so that they can comfortably and fully engage in their school
programs and activities. Schools frequently maintain separate restrooms, locker rooms or other
facilities for males and females. Students should be allowed to use the facility that corresponds to
their gender identity. While some transgender students will want that access, others may want
alternatives that afford more privacy. Taking into account existing school facilities,
administrators should take steps to designate gender-inclusive or single-user restrooms
commensurate with the size of the school. When schools have available gender-inclusive or
single-user restrooms or private changing areas, these restrooms or areas should be accessible to
all students without special codes or keys. This would allow for any students seeking privacy to
access single-user restrooms and private changing areas voluntarily. For locker room facilities
without private changing areas, school divisions should make reasonable accommodations for
requests for increased privacy. At the request of any student, schools should offer alternative
arrangements such as a separate changing schedule, use of a nearby private area, access to a staff
member’s office, not requiring students to dress in uniform for physical education, or offering
alternatives to in-person physical education. Any accommodations offered should be non-
stigmatizing and minimize lost instructional time. Also, note that any information related to
accommodations should be handled in such a way as to protect the student’s privacy relating to
their gender identity.
It can be emotionally harmful for a transgender student to be questioned regarding the use of
restrooms and facilities. School staff should not confront students about their gender identity
upon entry into the restroom. Furthermore, as school divisions plan for new school facilities or
renovations, they should consider generally accommodating students who want more privacy
such as designing additional single-user or gender-inclusive restrooms or changing areas.
Additionally, § 22.1-6.1 of the Code of Virginia requires each school board to make menstrual
supplies available at all times and at no cost to students in accessible locations in each
elementary school and in the bathrooms of each middle and high school. Accordingly, these
supplies should be made available in all bathrooms to be gender-inclusive.
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Access to facilities such as restrooms and locker rooms that correspond to a student’s
gender identity shall be available to all students.
In order to promote a positive school climate where all students feel safe and supported, school
divisions should incorporate regular education about transgender students into staff professional
development and training. Periodic professional development should be provided to school
mental health professionals (SMHPs), such as school-based counselors, psychologists, and social
workers. SMHPs play a critical role in addressing the mental well-being of students that may
have an impact on their academic performance. Thus, they are key personnel in addressing
challenges that transgender students may face in their schools. Yet, in a recent national survey
(GLSEN, 2019), 80 percent of SMHPs received little to no competency training in their graduate
programs related to working with transgender populations, and 37 percent had not received any
formal education or training on LGBTQ+-specific student issues during their professional
careers. When they receive competency training and continuing education and training activities
related to LGTBQ+ students, SMHPs feel more confident and engage in more efforts to support
LGBTQ+ students directly and to address overall school climate. In addition to SMHPs, school
divisions should provide training to all school staff, including but not limited to custodial staff,
administrative support staff, substitute teachers, school nurses, and bus drivers. Any staff with
opportunities to interact with students should have some familiarity with how to support
LGBTQ+ students and would benefit from training that fosters a safe and supportive school
climate.
The goal of professional development for all staff is to ensure that they understand the rights of
all students to a safe learning environment and the local school board’s expectations regarding
the treatment of transgender students. Additionally, professional development should include
culturally affirming, accessible LGBTQ+ competency training. It is recommended that training
provided to school staff cover the following components:
● Key LGBTQ+ terminology and the use of unbiased language to promote equality and
justice for LGBTQ+ students.
● Challenges and barriers frequently faced by LGBTQ+ students. This should heighten
awareness of the implicit bias and discrimination that transgender students may encounter
and identify the need for a gender-inclusive school.
● Federal and state laws and local school board policies and regulations relating to the
rights of all students to a safe learning environment. This should include expectations
relating to preventing, identifying, and responding to bullying and harassment of
transgender students. Another area to address is the student’s rights to privacy and how
unauthorized disclosures to peers, parents, school staff, and other third parties may
negatively impact the student’s safety and well-being.
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● Practices to create a safe, inclusive environment for all students. This should include
strategies to promote understanding and foster positive relationships between LGBTQ+
students and their peers and the school community and steps to affirm LGBTQ+ students.
● Knowledge of LGBTQ+ affirming resources for students and families.
● Strategies to engage parents and other stakeholders regarding an inclusive school
community that affirms LGBTQ+ students.
These components may overlap with or intersect other professional development topics such as
bullying prevention, mental health awareness and suicide prevention, equity, positive school
climate, or trauma-sensitive practices. Local school divisions should coordinate the various
professional development activities for consistency. Topics relating to LGBTQ+ students,
including safety and support for LGBTQ+ students, can be interwoven with other topics or as a
distinct topic in training opportunities. Additionally, to ensure effective training, school divisions
should use evidence-based curricula or consult with experts for the development and delivery of
LGBTQ+ cultural competency training. The inclusion of content experts, including those with
lived experiences, in the training may be vital in developing allies for LGBTQ+ students. Refer
to Appendix A for resources related to professional development and training.
All school mental health professionals shall be trained annually on topics relating to
LGBTQ+ students, including safety and support for LGBTQ+ students.
Other Considerations
Students and staff each have their own unique religious and personal experiences, views, and
opinions. Local school boards have an opportunity to lead discussions on issues of gender
identity. It will be important to engage communities regarding policies, regulations, and
procedures to ensure equal access to education. Involving appropriate community members
should help to reconcile sometimes deeply conflicting community views. For example, engaging
students and parents will be critical in developing policies and procedures relating to student
privacy and addressing situations where parents are not affirming their child’s gender identity.
Additionally, local school boards may need to review agreements and processes with community
partners for any activities taking place on school grounds to ensure consistency in practices. For
example, local school boards may consider the applicability of policies relating to dress code and
access to activities and events for programs such as Junior Reserve Officers Training Corps
(JROTC) or community youth athletic leagues who use school facilities. While the conversation
is not easy, local school boards and school staff will need to provide clear guidance on the
implementation of these policies and reduce their exposure to legal liability.
In order for the policies to be effective, local school boards should consider developing detailed
guidelines and processes for the implementation of these policies. For example, to ensure
consistency across the division, guidelines for the implementation of policies should include
processes to update student classroom records and other school records with the student’s name
and, if necessary, appropriate gender marker that are consistent with their gender identity. Such a
process will require clear procedures and coordination across the school division by all personnel
with responsibilities related to student information and records, including but not limited to
registrars, technology support personnel managing student information systems, administrative
support personnel, and test administrators. Additionally, processes, including forms or templates,
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should be developed to support students or parents requesting a name and gender change and
requesting an action plan to support the student’s transition. School divisions are recommended
to establish and designate a point-of-contact or team of knowledgeable and affirming staff
members to support transgender students. When a student informs the school about their
transition or requests a change to their name and gender, it is recommended that a point-of-
contact, or a multi-disciplinary school team if needed, meet with the student (and
parents/guardians if the parents/guardians are affirming of the student’s gender identity) to
develop a plan to accommodate the student’s needs and requests. A template may be helpful to
develop a plan that includes areas to be addressed such as names and pronouns, privacy
concerns, communication plans, student information and records, access to facilities and
activities, and other considerations.
In addition to policies that address the areas discussed above, local school boards should
consider developing additional policies, regulations, or guidelines that foster an inclusive school
climate. For example, school divisions may consider ensuring LGBTQ+-inclusive curricula.
According to GLSEN, schools with LGBTQ+-inclusive and affirming curricula have students
who have less-hostile school experiences, increased feelings of connectedness to the school
community, better academic and mental health outcomes, and are less likely to miss school
(GLSEN, 2019). School divisions may take an inclusive approach by incorporating educational
content that is transgender affirming into the general education curriculum, such as history,
literature, and science. For example, material may feature or include transgender people or
highlight the contributions of LGBTQ+ people in state and US history curricula. School
divisions should also initiate efforts to curate an inclusive library collection. As with many
curricular choices, school divisions should involve key stakeholders in making those decisions.
School divisions will need to consider additional actions if they wish to include material related
to gender identities in Family Life Education (FLE). Per the Code of Virginia § 22.1-207.2,
parents and guardians have the right to review the Family Life Education (FLE) curriculum.
Additionally, in the Code of Virginia § 22.1-207.1, parents and legal guardians have the right to
excuse their child from all or part of FLE instruction.
To further foster positive, inclusive school climates, school divisions should promote activities
and LGBTQ+-affirming resources for students and families. For example, schools should
support the formation of student clubs or programs regarding issues related to LGBTQ+ youth
such as Gay-Straight Alliances or Gender & Sexuality Alliances (GSAs), ensuring that these are
equally easy to establish in relation to other student clubs or programs. Besides professional
development for school staff, students may also benefit from training on an inclusive school
environment. This may be in the form of peer-led education groups, educational material on
student rights and training on self-advocacy skills, learning assemblies, or training of student
leaders. Other affirming activities include the promotion of visible supports for LGBTQ+ youth
such as the use of flags and stickers and the sharing of affirming community resources. Examples
of resources for students are provided in Appendix A.
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Appendix A: Resources
APA Promoting Resiliency for Gender Students Diverse and Sexual Minority in Schools
APA Supporting Transgender and Gender Diverse Students in Schools: Key Recommendations
for School Administrators
Gender Spectrum Schools in Transition: A Guide for Supporting Transgender Students in K-12
Schools
SAMHSA A Practitioner's Resource Guide: Helping Families to Support Their LGBT Children
US Department of HHS and National Center on Parent, Family and Community Engagement
Healthy Gender Development and Young Children: A Guide for Early Childhood Programs and
Professionals
Boulder Valley School District Guidelines Regarding the Support of Students and Staff Who Are
Transgender and/or Gender Nonconforming
California Safe Schools Coalition Model School District Policy Regarding Transgender and
Gender Nonconforming Students
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Connecticut State Department of Education Guidance on Civil Rights Protections and Supports
for Transgender Students Frequently Asked Questions
GLSEN Model Local Education Agency Policy on Transgender and Nonbinary Students
Madison Metropolitan School District Guidance & Policies to Support Transgender, Non-Binary,
and Gender-Expansive Students
State of New Jersey Department of Education Transgender Guidance for School Districts
Virginia High School League (VHSL) Virginia High School League Handbook and Policy
Manual 2020-2021
Side-by-Side Trainings
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Human Rights Campaign Transgender Resources
Virginia Department of Health (VDH) Virginia Transgender Resource and Referral List
Movement Advancement Project Family Support: Resources for Families of Transgender &
Gender Diverse Children
PFLAG
San Francisco State University Supportive Families, Healthy Children: Helping Families with
LGBT Children
Welcoming Schools Transgender and Non-Binary Children: Books to Help Adults Understand
Advocacy Organizations
Equality Virginia
Gender Spectrum
He She Ze and We
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National Center for Transgender Equality Youth & Student Issues
Shenandoah LGBTQ Center
Side by Side
Trans-Latinx DMV
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National Center for Transgender Equality. (n.d.). Issues: Youth & Student. Retrieved on July 16,
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Office for Civil Rights. (2020, September 24). Resources for LGBTQ Students.
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Olson, K. R., Durwood, L., DeMeules, M., & McLaughlin, K. A. (2016). Mental health of
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Russell, S. T., Pollitt, A. M., Li, G., & Grossman, A. H. (2018). Chosen name use is linked to
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Publication Information
Questions or inquiries about this document should be directed to:
Virginia Department of Education
Office of Student Services
Department of Special Education and Student Services
P.O. Box 2120
Richmond, Virginia 23218-2120
(804) 225-2071
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