Michigan Office of Administrative Hearings and Rules  
Administrative Rules Division (ARD)  
REGULATORY IMPACT STATEMENT  
and COST-BENEFIT ANALYSIS (RIS)  
Agency Information:  
Department name:  
Education  
Bureau name:  
Superintendent of Public Instruction  
Name of person filling out RIS:  
Mary Fielding  
Phone number of person filling out RIS:  
517-241-6986  
E-mail of person filling out RIS:  
Rule Set Information:  
ARD assigned rule set number:  
2023-79 ED  
Title of proposed rule set:  
Teacher Certification Code  
Comparison of Rule(s) to Federal/State/Association Standard  
1. Compare the proposed rules to parallel federal rules or standards set by a state or national licensing agency or  
accreditation association, if any exist.  
There are no parallel federal rules or standards set by a state or national licensing agency or accreditation association.  
A. Are these rules required by state law or federal mandate?  
The rules are mandated by sections 1157 and 1531 of the revised school code, 1976 PA 451, MCL 380.1157 and  
380.1531, and Executive Reorganization Order No. 1996-7, MCL 388.994. Sections 1531i. 1535a, and 1539b of the  
revised school code, 1976 PA 451, MCL 380.1531i, 380.1535a, and 380.1539b, require rules as deemed necessary.  
B. If these rules exceed a federal standard, please identify the federal standard or citation, describe why it is  
necessary that the proposed rules exceed the federal standard or law, and specify the costs and benefits arising out  
of the deviation.  
There is no applicable federal standard.  
2. Compare the proposed rules to standards in similarly situated states, based on geographic location, topography,  
natural resources, commonalities, or economic similarities.  
The proposed rules are unique to Michigan, but they include some standards that are similar to those in similarly  
situated states. For example, while all neighboring states have teaching certificates, Wisconsin has a lifetime license  
that does not require renewal. Both Ohio and Illinois have tiered licensure for teacher certification and a system of  
permits for credentialing substitute teachers. Minnesota does not utilize permits but has an elaborate tiered licensure  
system that has varied requirements to allow for the same concept as permits.  
A. If the rules exceed standards in those states, please explain why and specify the costs and benefits arising out of  
the deviation.  
The proposed rules are unique to Michigan and similar to standards in similarly situated midwestern states.  
3. Identify any laws, rules, and other legal requirements that may duplicate, overlap, or conflict with the proposed  
rules.  
The proposed rules do not duplicate, overlap, or conflict with laws, other rules, or other legal requirements. The  
proposed rules seek to eliminate the restatement of statutory requirements.  
MCL 24.245(3)  
RIS-Page 2  
A. Explain how the rules have been coordinated, to the extent practicable, with other federal, state, and local laws  
applicable to the same activity or subject matter. This section should include a discussion of the efforts undertaken  
by the agency to avoid or minimize duplication.  
No federal or local laws apply to the certification of Michigan teachers. The proposed rules, many of which are  
required by the revised school code, 1976 PA 451, MCL 380.1 to 380.1852, seek to eliminate the restatement of  
statutory requirements. The proposed rules seek to coordinate as necessary with the state school aid act of 1979, 1979  
PA 94, MCL 388.1601 to 388.1896.  
4. If MCL 24.232(8) applies and the proposed rules are more stringent than the applicable federally mandated  
standard, provide a statement of specific facts that establish the clear and convincing need to adopt the more  
stringent rules.  
MCL 24.232(8) does not apply.  
5. If MCL 24.232(9) applies and the proposed rules are more stringent than the applicable federal standard,  
provide either the Michigan statute that specifically authorizes the more stringent rules OR a statement of the  
specific facts that establish the clear and convincing need to adopt the more stringent rules.  
MCL 24.232(9) does not apply. There is no applicable federal standard.  
Purpose and Objectives of the Rule(s)  
6. Identify the behavior and frequency of behavior that the proposed rules are designed to alter.  
One of the purposes of the proposed rules is to align with the revised certification structure that is designed to prepare  
teachers to meet the unique learning needs of students at every grade level, particularly in early literacy. Another  
purpose of the proposed rules is to add flexibility to educator certification requirements, including requirements for  
individuals holding out-of-state credentials or trained in out-of-state programs and members of the military, veterans,  
and their dependents. The proposed rules provide a definition of “out-of-state” that includes federally recognized  
Native American tribes and all political subdivisions of foreign countries. The proposed rules increase opportunities to  
add endorsements to teaching certificates and expand eligibility for advanced professional teaching certification. The  
proposed rules align with the merger of standard, professional, and advanced professional teaching certificates with  
standard career and technical education (CTE) and professional CTE certificates so that the former will include CTE  
classification of instructional programs (CIP) codes as endorsements. The proposed rules clarify and expand the  
validity period of substitute permits, making all permits valid until August 31 of the year of issuance. Another purpose  
of the proposed rules is to remove the right to a hearing when the superintendent of public instruction denies an  
application for an initial teaching certificate because there is no statutory or constitutional right to a hearing under  
those circumstances. The proposed rules establish procedures for the reinstatement of teaching certificates following  
suspension or revocation and for the removal of suspensions following the expungement of convictions upon which  
the suspensions were based. In general, the proposed rules provide clarity about teacher certification.  
Recently, the Department of Education processed an annual average of 75,432 educator applications. The Department  
of Education issues approximately 35,000 teaching certificates and 40,000 substitute credentials annually. Other data  
relevant to the proposed rules include the following from 2020-2021:  
1. There were 86,587 teachers employed in Michigan public schools.  
2. The Department of Education issued 4,302 initial teaching certificates (including 1,326 to out-of-state individuals).  
3. There were 146,019 individuals who held valid Michigan teaching certificates.  
4. There were 449,433 endorsements on Michigan teaching certificates, including CTE endorsements.  
5. The Department of Education issued 974 additional endorsements on teaching certificates.  
6. Over 1,600 individuals reported to the Department of Education that they had military backgrounds and were  
employed in Michigan K-12 schools.  
7. The Department of Education’s Office of Educator Excellence received 64,188 inquiries from customers about  
certification and related matters.  
8. There were 62 holders of valid Michigan advanced professional certificates.  
9. The Department of Education suspended 43 educator certificates and withdrew 9 permits based on criminal  
convictions or related reasons.  
A. Estimate the change in the frequency of the targeted behavior expected from the proposed rules.  
MCL 24.245(3)  
RIS-Page 3  
The Department of Education issues approximately 35,000 teaching certificates annually. In 2020-2021, the  
Department of Education issued 4,302 initial teaching certificates. Under the proposed rules, teachers receiving initial  
teaching certificates will be more prepared to meet the unique learning needs of students at all grade levels. In 2020-  
2021, the Department of Education issued 974 additional endorsements on teaching certificates. It is estimated that the  
number of endorsements issued by the Department of Education will increase under the proposed rules. Also, in 2020-  
2021, the Department of Education received approximately 64,188 inquiries about educator certification. It is  
estimated that the proposed rules will clarify the certification requirements and that the Department of Education will  
therefore receive fewer inquiries about those requirements.  
B. Describe the difference between current behavior/practice and desired behavior/practice.  
In contrast to current practice, members of the military and veterans will be able to request that periods of active duty  
satisfy certificate renewal requirements and those individuals and their dependents will be able to request refunds of  
evaluation fees and waivers of examination fees. In addition, in contrast to current rules, individuals applying for  
initial teaching certification will not be entitled to a hearing if their applications are denied, and there will for the first  
time be prescribed processes for hearings in the event of requests for reinstatement of suspended teaching certificates  
and for removal of suspensions in the event of expungement of criminal convictions. Eligibility for advanced  
professional teaching certification will be expanded to include individuals who have completed specialist preparation  
programs approved by the superintendent of public instruction.  
C. What is the desired outcome?  
Desired outcomes include decreased financial burdens on members of the military, veterans, and their dependents; the  
elimination of hearings in the event of denial of initial teaching certificates; the elimination of confusion about  
procedures surrounding requests for reinstatement of suspended teaching certificates and for removal of suspensions of  
certificates based on conviction expungements; and an increase of the number of educators eligible for advanced  
professional teaching certification. In general, the desired outcomes include clarification of certification requirements  
for the benefit of stakeholders and for customers of the Department of Education Office of Educator Excellence.  
7. Identify the harm resulting from the behavior that the proposed rules are designed to alter and the likelihood  
that the harm will occur in the absence of the rule.  
The Teacher Certification Code was last amended in substantive ways in 2017. Since that time, the Department of  
Education has revised the teaching certification structure to align with developments in PK-12 education. The  
proposed rules align with the new certification structure and add and revise definitions to add clarity to the concepts of  
credential validity and appropriate placement of teachers. Currently, there is a right to a hearing when an application  
for initial teaching certification is denied notwithstanding that there is no statutory or constitutional right to a hearing  
in that circumstance. This has led to the needless expenditure of Department of Education and Michigan Office of  
Administrative Hearings and Rules time and resources.  
A. What is the rationale for changing the rules instead of leaving them as currently written?  
Leaving the rules as currently written would preserve the unnecessary right to a hearing in the event of denial of an  
application for initial teaching certification and would prolong confusion about the processes for addressing requests  
for reinstatement of suspended teaching certificates and requests for removal of suspensions based on the  
expungement of criminal convictions. Leaving the rules as currently written would provide no specific benefit to  
military families and would deny eligibility for advanced professional teaching certification to individuals who  
complete specialist preparation programs. Leaving the rules as currently written would prolong the confusing and  
unnecessary separate system for the certification of CTE teachers and result in a lack of alignment between the rules  
and developments in PK-12 education.  
8. Describe how the proposed rules protect the health, safety, and welfare of Michigan citizens while promoting a  
regulatory environment in Michigan that is the least burdensome alternative for those required to comply.  
In general, the proposed rules protect the health, safety, and welfare of Michigan citizens by prescribing requirements  
for teacher certification, helping to ensure a quality educator work force that is well-prepared and appropriately placed  
in Michigan schools. The proposed rules protect the public welfare by providing a process for addressing requests for  
reinstatement of teaching certificates that have been suspended based on the holders’ convictions of crimes  
enumerated in the revised school code. There is no alternative that is less burdensome to Michigan citizens.  
9. Describe any rules in the affected rule set that are obsolete or unnecessary and can be rescinded.  
MCL 24.245(3)  
RIS-Page 4  
The proposed rules include the rescission of R 390.1163 and R 390.1164a, which address standard CTE and  
professional CTE certification. Those rules are unnecessary because the revised certification structure no longer  
includes separate CTE teaching certificates. Rather, CTE classification of instructional programs (CIP) codes will be  
endorsements on standard, professional, and advanced professional teaching certificates.  
Fiscal Impact on the Agency  
Fiscal impact is an increase or decrease in expenditures from the current level of expenditures, i.e. hiring additional staff,  
higher contract costs, programming costs, changes in reimbursements rates, etc. over and above what is currently  
expended for that function. It does not include more intangible costs for benefits, such as opportunity costs, the value of  
time saved or lost, etc., unless those issues result in a measurable impact on expenditures.  
10. Please provide the fiscal impact on the agency (an estimate of the cost of rule imposition or potential savings  
for the agency promulgating the rule).  
Promulgation of the proposed rules will require changes to the Michigan Online Educator Certification System  
(MOECS). It is estimated that the cost to the Department of Education for implementation of the proposed rules will  
be approximately $100,000.00. The Department of Education will save costs in an undetermined amount that are  
associated with providing hearings to individuals whose applications for initial teaching certification are denied.  
11. Describe whether or not an agency appropriation has been made or a funding source provided for any  
expenditures associated with the proposed rules.  
No appropriation has been made and no funding source has been provided for costs associated with the proposed  
rules. The Office of Educator Excellence of the Department of Education is funded by revenues from statutory fees.  
12. Describe how the proposed rules are necessary and suitable to accomplish their purpose, in relationship to the  
burden(s) the rules place on individuals. Burdens may include fiscal or administrative burdens, or duplicative  
acts.  
The proposed rules do not place additional burdens on individuals but expand opportunities for individuals related to  
teacher certification.  
A. Despite the identified burden(s), identify how the requirements in the rules are still needed and reasonable  
compared to the burdens.  
No additional burdens on individuals are identified.  
Impact on Other State or Local Governmental Units  
13. Estimate any increase or decrease in revenues to other state or local governmental units (i.e. cities, counties,  
school districts) as a result of the rule. Estimate the cost increases or reductions for other state or local  
governmental units (i.e. cities, counties, school districts) as a result of the rule. Include the cost of equipment,  
supplies, labor, and increased administrative costs in both the initial imposition of the rule and any ongoing  
monitoring.  
No increase or decrease in revenues to other state or local governmental units as a result of the proposed rules is  
anticipated. No cost increases or reductions for other state or local governmental units as a result of the proposed  
rules is anticipated.  
14. Discuss any program, service, duty, or responsibility imposed upon any city, county, town, village, or school  
district by the rules.  
The proposed rules do not impose programs, services, duties, or responsibilities on cities, counties, towns, or villages.  
The proposed rules do not impose new programs, services, duties, or responsibilities on school districts.  
A. Describe any actions that governmental units must take to be in compliance with the rules. This section should  
include items such as record keeping and reporting requirements or changing operational practices.  
The proposed rules do not impose additional responsibilities on school districts.  
15. Describe whether or not an appropriation to state or local governmental units has been made or a funding  
source provided for any additional expenditures associated with the proposed rules.  
No appropriation to state or local governmental units has been made and no funding source has been provided for  
additional expenditures associated with the proposed rules. No additional expenditures are anticipated.  
MCL 24.245(3)  
RIS-Page 5  
Rural Impact  
16. In general, what impact will the rules have on rural areas?  
The proposed rule will have no disproportionate impact on rural areas. The same requirements related to teacher  
certification apply throughout Michigan.  
A. Describe the types of public or private interests in rural areas that will be affected by the rules.  
Rural areas will be affected by the proposed rules to the same extent that other areas will be affected.  
Environmental Impact  
17. Do the proposed rules have any impact on the environment? If yes, please explain.  
It is not anticipated that the proposed rules will have any impact on the environment.  
Small Business Impact Statement  
18. Describe whether and how the agency considered exempting small businesses from the proposed rules.  
The proposed rules do not apply to small businesses.  
19. If small businesses are not exempt, describe (a) the manner in which the agency reduced the economic impact  
of the proposed rules on small businesses, including a detailed recitation of the efforts of the agency to comply  
with the mandate to reduce the disproportionate impact of the rules upon small businesses as described below (in  
accordance with MCL 24.240(1)(a-d)), or (b) the reasons such a reduction was not lawful or feasible.  
The proposed rules do not apply to small businesses.  
A. Identify and estimate the number of small businesses affected by the proposed rules and the probable effect on  
small businesses.  
The proposed rules do not apply to small businesses.  
B. Describe how the agency established differing compliance or reporting requirements or timetables for small  
businesses under the rules after projecting the required reporting, record-keeping, and other administrative costs.  
The proposed rules do not apply to small businesses.  
C. Describe how the agency consolidated or simplified the compliance and reporting requirements for small  
businesses and identify the skills necessary to comply with the reporting requirements.  
The proposed rules do not apply to small businesses.  
D. Describe how the agency established performance standards to replace design or operation standards required  
by the proposed rules.  
The proposed rules do not apply to small businesses.  
20. Identify any disproportionate impact the proposed rules may have on small businesses because of their size or  
geographic location.  
The proposed rules do not apply to small businesses.  
21. Identify the nature of any report and the estimated cost of its preparation by small businesses required to  
comply with the proposed rules.  
The proposed rules do not apply to small businesses.  
22. Analyze the costs of compliance for all small businesses affected by the proposed rules, including costs of  
equipment, supplies, labor, and increased administrative costs.  
The proposed rules do not apply to small businesses.  
23. Identify the nature and estimated cost of any legal, consulting, or accounting services that small businesses  
would incur in complying with the proposed rules.  
The proposed rules do not apply to small businesses.  
24. Estimate the ability of small businesses to absorb the costs without suffering economic harm and without  
adversely affecting competition in the marketplace.  
The proposed rules do not apply to small businesses.  
MCL 24.245(3)  
RIS-Page 6  
25. Estimate the cost, if any, to the agency of administering or enforcing a rule that exempts or sets lesser  
standards for compliance by small businesses.  
The proposed rules do not apply to small businesses.  
26. Identify the impact on the public interest of exempting or setting lesser standards of compliance for small  
businesses.  
The proposed rules do not apply to small businesses.  
27. Describe whether and how the agency has involved small businesses in the development of the proposed rules.  
The Department of Education did not involve small businesses in the development of the proposed rules. The  
proposed rules do not apply to small businesses.  
A. If small businesses were involved in the development of the rules, please identify the business(es).  
No small businesses were involved in the development of the proposed rules, which do not apply to small businesses.  
Cost-Benefit Analysis of Rules (independent of statutory impact)  
28. Estimate the actual statewide compliance costs of the rule amendments on businesses or groups.  
The proposed rules do not impose actual statewide compliance costs on businesses or groups. Application evaluation  
fees for teaching certificates and substitute permits are established by the legislature in MCL 380.1538. Fees for  
statutorily required examinations are limited by MCL 380.1531(15).  
A. Identify the businesses or groups who will be directly affected by, bear the cost of, or directly benefit from the  
proposed rules.  
School districts and educator preparation institutions will be directly affected by the proposed rules.  
B. What additional costs will be imposed on businesses and other groups as a result of these proposed rules (i.e.  
new equipment, supplies, labor, accounting, or recordkeeping)? Please identify the types and number of businesses  
and groups. Be sure to quantify how each entity will be affected.  
No additional costs for equipment, supplies, labor, accounting, or recordkeeping are anticipated as a result of the  
proposed rules.  
29. Estimate the actual statewide compliance costs of the proposed rules on individuals (regulated individuals or  
the public). Include the costs of education, training, application fees, examination fees, license fees, new  
equipment, supplies, labor, accounting, or recordkeeping.  
No actual statewide compliance costs are imposed by the proposed rules on individuals. Application evaluation fees  
for teaching certificates and substitute permits are established by the legislature in MCL 380.1538. Fees for  
statutorily required examinations are limited by MCL 380.1531(12).  
A. How many and what category of individuals will be affected by the rules?  
In general, the proposed rules will affect teachers. The Department of Education issues approximately 35,000  
teaching certificates and about 40,000 substitute credentials annually. As of October 2021, there were 146,019  
individuals who held valid Michigan teaching certificates. In 2020-2021, there were 86,587 teachers employed in  
Michigan public schools. There are currently approximately 1.4 million Michigan public schoolchildren.  
B. What qualitative and quantitative impact do the proposed changes in rules have on these individuals?  
MCL 24.245(3)  
RIS-Page 7  
The proposed rules do not impose costs on individuals. In general, the proposed rules expand opportunities for and  
provide clarity about teacher certification. The proposed rules align with the revised certification structure that is  
designed to prepare teachers to meet the unique learning needs of students at every grade level, particularly in early  
literacy. The proposed rules add flexibility to educator certification requirements, including requirements for  
individuals holding out-of-state credentials or trained in out-of-state programs and members of the military, veterans,  
and their dependents. The proposed rules increase opportunities for individuals to add endorsements to teaching  
certificates and expand the eligibility of individuals for advanced professional teaching certification. The proposed  
rules align with the merger of standard, professional, and advanced professional teaching certificates with standard  
career and technical education (CTE) and professional CTE certificates. The proposed rules clarify and expand the  
validity period of substitute permits, making all permits valid until August 31 of the year of issuance. The proposed  
rules remove the right to a hearing when the superintendent of public instruction denies an application for an initial  
teaching certificate and establish procedures for the reinstatement of teaching certificates following suspension or  
revocation and for the removal of suspensions following the expungement of convictions upon which the suspensions  
were based.  
30. Quantify any cost reductions to businesses, individuals, groups of individuals, or governmental units as a result  
of the proposed rules.  
The proposed rules do not result in cost reductions to businesses or governmental units. The proposed rules allow  
members of the military, veterans, and their dependents to request refunds of application evaluation fees, which are  
currently $160.00 for initial certification applications under MCL 380.1538, and vouchers for examination fees, the  
amounts of which are limited by MCL 380.1531(12).  
31. Estimate the primary and direct benefits and any secondary or indirect benefits of the proposed rules. Please  
provide both quantitative and qualitative information, as well as your assumptions.  
The primary beneficiaries of the proposed rules will be Michigan public school teachers, who will have expanded  
opportunities for advanced professional certification and additional endorsements, more flexible options related to  
out-of-state certification, and preparation designed to meet the unique needs of students at all grade levels. The  
proposed rules provide financial benefits to members of the military and their dependents. The Department of  
Education issues approximately 35,000 teaching certificates and about 40,000 substitute credentials annually. In 2020  
-2021, there were 86,587 teachers employed in Michigan public schools. Because of the benefits to Michigan  
educators, the approximately 900 Michigan public school districts and approximately 1.4 million Michigan public  
schoolchildren will also benefit from the proposed rules.  
32. Explain how the proposed rules will impact business growth and job creation (or elimination) in Michigan.  
The proposed rules may impact job creation in Michigan by easing teacher certification requirements and creating  
greater flexibility for the employment of qualified candidates for teaching positions.  
33. Identify any individuals or businesses who will be disproportionately affected by the rules as a result of their  
industrial sector, segment of the public, business size, or geographic location.  
It is not expected that individuals or businesses will be disproportionately affected by the proposed rules as a result of  
their industrial sector, business size, or geographic location. To the extent that Michigan K-12 teachers are considered  
a segment of the public, they will be disproportionately affected by the proposed rules, which set forth credential  
requirements for teachers. If Michigan K-12 teachers who are members of the military, veterans, and their  
dependents are considered a segment of the public, they will be disproportionately affected by the rules, which make  
financial benefits available to those individuals. Individuals who hold out-of-state educator credentials will be  
disproportionately affected by the rules, which include expanded opportunities for those individuals for Michigan  
educator certification.  
34. Identify the sources the agency relied upon in compiling the regulatory impact statement, including the  
methodology utilized in determining the existence and extent of the impact of the proposed rules and a cost-  
benefit analysis of the proposed rules.  
The regulatory impact statement was compiled in reliance on the Department of Education’s Office of Educator  
Excellence Educator 2022 Workforce Data Report.  
A. How were estimates made, and what were your assumptions? Include internal and external sources, published  
reports, information provided by associations or organizations, etc., that demonstrate a need for the proposed  
rules.  
MCL 24.245(3)  
RIS-Page 8  
The estimation of the cost of implementation of changes required by the proposed rules to the Michigan Online  
Educator Certification System (MOECS) was based on past changes to the MOECS, with the assumption that  
implementation costs will be related to past costs.  
Alternative to Regulation  
35. Identify any reasonable alternatives to the proposed rules that would achieve the same or similar goals.  
There are no reasonable alternatives to the proposed rules that would achieve the same or similar goals. The proposed  
rules comply with and, in some instances, are required by the revised school code.  
A. Please include any statutory amendments that may be necessary to achieve such alternatives.  
There are no reasonable alternatives to the proposed rules.  
36. Discuss the feasibility of establishing a regulatory program similar to that proposed in the rules that would  
operate through private market-based mechanisms. Please include a discussion of private market-based systems  
utilized by other states.  
Teacher certification is a state function. It would not be feasible to establish a uniform and effective system for  
regulation of teacher certification through private market-based mechanisms.  
37. Discuss all significant alternatives the agency considered during rule development and why they were not  
incorporated into the rules. This section should include ideas considered both during internal discussions and  
discussions with stakeholders, affected parties, or advisory groups.  
No significant alternatives were considered during development of the proposed rules, which are the result of several  
years of internal discussion and feedback from stakeholders.  
Additional Information  
38. As required by MCL 24.245b(1)(c), please describe any instructions regarding the method of complying with  
the rules, if applicable.  
Compliance with the Teacher Certification Code is generally managed by the Michigan Online Educator Certification  
System (MOECS).  
MCL 24.245(3)  
;