mirror of
https://github.com/nhammer514/textfiles-politics.git
synced 2024-12-27 08:19:26 -05:00
192 lines
10 KiB
Plaintext
192 lines
10 KiB
Plaintext
|
TOWARD EQUAL ACCESS: PROVIDING INFORMATION
|
|||
|
ACCESS SERVICES TO BLIND
|
|||
|
AND VISUALLY IMPAIRED PERSONS
|
|||
|
UNDER THE AMERICANS WITH DISABILITIES ACT (ADA)
|
|||
|
|
|||
|
THE INFORMATION ACCESS PROJECT FOR BLIND INDIVIDUALS
|
|||
|
NATIONAL INFORMATION ACCESS CENTER
|
|||
|
NATIONAL FEDERATION OF THE BLIND
|
|||
|
1800 JOHNSON STREET
|
|||
|
BALTIMORE, MARYLAND 21230
|
|||
|
(410) 659-9314
|
|||
|
|
|||
|
A Project of the National Federation of the Blind
|
|||
|
with financial support from the U.S. Department of Justice
|
|||
|
|
|||
|
The Americans With Disabilities Act (ADA) provides new legal
|
|||
|
protection to millions of persons not previously covered by a civil
|
|||
|
rights law. The Act, which was signed by President Bush on July 26,
|
|||
|
1990, has established "a clear and comprehensive national mandate
|
|||
|
for the elimination of discrimination against individuals with
|
|||
|
disabilities." Specific provisions of the ADA apply to employment,
|
|||
|
activities conducted by units of state and local government,
|
|||
|
transportation services, public accommodations, and to
|
|||
|
telecommunications services. With financial support from the United
|
|||
|
States Department of Justice, the National Federation of the Blind
|
|||
|
has established The National Information Access Center to assist
|
|||
|
these entities and blind persons in meeting the ADA's information
|
|||
|
access requirements. The Center is part of a nationwide information
|
|||
|
access project primarily designed to assist units of state and
|
|||
|
local government and places of public accommodation in meeting
|
|||
|
their respective obligations under titles II and III of the ADA.
|
|||
|
Forms of prohibited discrimination include using disability as
|
|||
|
the grounds for failing to hire or promote persons in employment;
|
|||
|
excluding persons with disabilities from covered programs or
|
|||
|
services that are commonly available to others; failing to give
|
|||
|
persons with disabilities the benefits, privileges, and advantages
|
|||
|
provided to others by any covered program, service, or activity;
|
|||
|
and failing to provide persons with disabilities with auxiliary
|
|||
|
aids and services or other reasonable modifications needed by such
|
|||
|
persons to have equal access to covered opportunities, aids,
|
|||
|
benefits, services, and programs.
|
|||
|
As with other civil rights laws, the ADA seeks equal access
|
|||
|
for the persons covered. Equal access in the case of persons with
|
|||
|
disabilities will often mean providing opportunities for
|
|||
|
participation by anyone who is otherwise eligible without regard to
|
|||
|
disability. There are circumstances, however, when active planning
|
|||
|
and steps to remove barriers to access will have to be done.
|
|||
|
Barriers to access exist when full enjoyment of an opportunity,
|
|||
|
aid, benefit, or service is limited by any particular disabling
|
|||
|
condition.
|
|||
|
Most entities covered by the ADA produce information of
|
|||
|
various kinds to describe their services and programs. The
|
|||
|
information may include general descriptions, detailed
|
|||
|
instructions, reports, directories, regulatory documents, and so
|
|||
|
forth. These materials are produced in the normal course of
|
|||
|
business and are readily available in ink print form. For the most
|
|||
|
part they are not readily available in alternative non-visual
|
|||
|
media. Failure to consider the information access needs of blind
|
|||
|
and visually impaired persons in covered activities would violate
|
|||
|
the ADA.
|
|||
|
Reasonable means do exist to provide written information in
|
|||
|
ink print and in alternative non-visual forms as well, but most
|
|||
|
entities covered by the ADA are not well informed about both their
|
|||
|
obligations to provide accessible materials and the methods
|
|||
|
available for doing so. This brochure will explain the ADA's
|
|||
|
information access requirements and suggest existing alternatives
|
|||
|
for meeting them.
|
|||
|
|
|||
|
WHO MUST PROVIDE INFORMATION IN ALTERNATIVE NON-VISUAL MEDIA?
|
|||
|
|
|||
|
Requirements for providing accessible information in
|
|||
|
alternative non-visual media are an integral part of the ADA's
|
|||
|
nondiscrimination policy. The policy applies generally to all
|
|||
|
covered activities, including both the employment practices and
|
|||
|
non-employment-related services of ADA-covered entities. Covered
|
|||
|
activities include the services, programs, and activities of units
|
|||
|
of state and local governments, providers of public transportation
|
|||
|
services, and places of public accommodation, and the employment
|
|||
|
practices of most employers. The ADA's requirements with respect to
|
|||
|
employment practices generally become effective on July 26, 1992
|
|||
|
for employers with twenty-five or more employees and two years
|
|||
|
later for employers with fifteen or more employees. Services
|
|||
|
provided by places of public accommodation, and by public entities
|
|||
|
(units of state and local government) must comply with the
|
|||
|
nondiscrimination requirements on January 26, 1992.
|
|||
|
Places of public accommodation include entities in twelve
|
|||
|
specific categories, which include the following: lodging places,
|
|||
|
inns and hotels; restaurants, bars, or other establishments serving
|
|||
|
food and drink; motion picture houses, theaters, concert halls,
|
|||
|
stadiums, or other places of entertainment; auditoriums, convention
|
|||
|
centers, lecture halls, or other place of public gathering;
|
|||
|
bakeries, grocery stores, clothing stores, hardware stores,
|
|||
|
shopping centers, or other sales or rental establishments,
|
|||
|
laundromats, dry-cleaners, banks, barber shops, beauty shops,
|
|||
|
travel services, shoe repair services, funeral parlors, gas
|
|||
|
stations, offices used for professional services; transportation
|
|||
|
terminals or depots; museums and galleries; places of recreation
|
|||
|
and education; and social service agencies.
|
|||
|
|
|||
|
WHAT COMPLIANCE REQUIREMENTS APPLY
|
|||
|
|
|||
|
The general nondiscrimination policy of the ADA is restated in
|
|||
|
each of its major titles. The policy is designed to afford persons
|
|||
|
with disabilities an equal opportunity to obtain the same
|
|||
|
opportunities, aids, benefits, services, and programs (including
|
|||
|
employment opportunities) that any covered entity provides to
|
|||
|
persons without disabilities. Equal outcomes resulting from
|
|||
|
opportunities are not required, but equal access to opportunities
|
|||
|
must be assured.
|
|||
|
The existence of a disabling condition may not cause or result
|
|||
|
in the denial of aids, benefits, services, and programs. To further
|
|||
|
that goal the ADA requires employers to make reasonable
|
|||
|
accommodations necessary for persons with disabilities to perform
|
|||
|
the essential functions of a job. Covered entities are also
|
|||
|
expected to make reasonable modifications in the provision of their
|
|||
|
aids, benefits, or services so that persons with disabilities will
|
|||
|
be afforded equal access. Auxiliary aids and services are
|
|||
|
specifically required, as a part of this obligation.
|
|||
|
The provision of information in alternative non-visual media
|
|||
|
is both a form of reasonable accommodation and an auxiliary aid or
|
|||
|
service. Covered entities must analyze their methods of
|
|||
|
communicating with employees or patrons and take steps to provide
|
|||
|
information in alternative non-visual media. Information which is
|
|||
|
provided solely in ink print is not accessible to most blind
|
|||
|
people. The media chosen to be accessible must be appropriate to
|
|||
|
the needs of blind or visually impaired persons and must respond to
|
|||
|
individual needs for accessible communications. The law encourages
|
|||
|
flexible approaches to achieve the goal of equal access for each
|
|||
|
individual.
|
|||
|
The ADA's standard of "reasonableness" must be emphasized. The
|
|||
|
provision of information in media accessible to the blind should
|
|||
|
not pose unreasonable burdens in most instances. However, demands
|
|||
|
for accessible information that exceed the reasonable capabilities
|
|||
|
of a covered entity would not be required. Instead, a covered
|
|||
|
entity would be required to provide accessible information to the
|
|||
|
extent that reasonable alternatives for doing so are available.
|
|||
|
Reasonable accommodations or alternatives are those which would not
|
|||
|
pose an undue hardship or an undue burden for the covered entity.
|
|||
|
Budget, size, and programmatic factors are considered in balancing
|
|||
|
off the competing standards of reasonable accommodation and undue
|
|||
|
burden.
|
|||
|
|
|||
|
FORMS OF ALTERNATIVE NON-VISUAL MEDIA
|
|||
|
|
|||
|
Alternative forms of accessible media may include sound
|
|||
|
recordings, Braille, raised line drawings, enlarged print, and
|
|||
|
digital text in computer readable formats. Acquisition or
|
|||
|
modification of equipment may be necessary in some instances to
|
|||
|
provide blind and visually impaired persons with equal access to
|
|||
|
printed information. For example, a place of public accommodation,
|
|||
|
such as a hotel, that provides printed information to its sighted
|
|||
|
guests may provide the same information in sound recorded form for
|
|||
|
blind guests. In that event, the hotel should also have a device
|
|||
|
capable of playing the sound recording, which may be used by a
|
|||
|
blind guest upon request.
|
|||
|
Advancements in computer technology make reproduction of
|
|||
|
documents by computer in full-word speech and in Braille both
|
|||
|
affordable and feasible. Moreover, computers capable of running
|
|||
|
programs for synthetic speech as well as print-to-Braille
|
|||
|
translation programs are now widely available and used by most
|
|||
|
covered entities. Synthetic speech output devices can be purchased
|
|||
|
for as low as $600.00. High quality Braille translation programs
|
|||
|
are also available for as low as $250.00. Special devices to
|
|||
|
provide hard-copy Braille output can be purchased at prices
|
|||
|
approximately the same as a high quality laser printer.
|
|||
|
Selection of alternative non-visual media must be made to meet
|
|||
|
individual needs and in response to individual requests and
|
|||
|
circumstances. The provision of auxiliary aids and services on a
|
|||
|
case-by-case basis may mean that a sighted person will read aloud
|
|||
|
the printed text or material to a blind person. For instance, the
|
|||
|
ADA does not require that all restaurants have Brailled editions of
|
|||
|
their menus available. It does require that the server or another
|
|||
|
employee read the menu if that form of assistance is requested.
|
|||
|
Although Braille is highly useful in many circumstances, not all
|
|||
|
blind persons have been trained adequately to use it efficiently.
|
|||
|
Therefore, the provision of information in media accessible to the
|
|||
|
blind must necessarily be handled with flexibility. There are some
|
|||
|
circumstances in which the use of a sighted reader may be the most
|
|||
|
reasonable and efficient alternative available. In other
|
|||
|
situations, such as in the case of documents containing lengthy
|
|||
|
instructions or guidelines to be used as a reference, Brailled,
|
|||
|
recorded, large print, and computer readable versions may all be
|
|||
|
necessary.
|
|||
|
|
|||
|
FOR MORE INFORMATION, CONTACT:
|
|||
|
THE INFORMATION ACCESS PROJECT FOR BLIND INDIVIDUALS
|
|||
|
NATIONAL INFORMATION ACCESS CENTER
|
|||
|
NATIONAL FEDERATION OF THE BLIND
|
|||
|
1800 JOHNSON STREET
|
|||
|
BALTIMORE, MARYLAND 21230
|
|||
|
(410) 659-9314
|
|||
|
|