You should be concerned about records and information management because it:
If you are unsure of whether or not something is a record, first look at the Is It A Record? flowchart. Then, consult with your Unit Plan and your unit's Record Liaison. If you are still unsure (or do not currently have a Unit Plan or Records Liaison), contact the RIMS team.
The organization of University Records depends heavily on the records' format, use, and nature of the activity or function they support. Arrangement and organization of University Records should be established through guidelines and procedures created by your unit.
Ownership of records can be difficult to determine. If we understand that the University of Illinois owns all University records, then it follows that we are all stewards or managers of these records. As stewards or managers of these records, we should clarify some of the questions that arise when multiple copies or duplicates of the same record are held in various offices.
The issue of “what unit is the Office of Record” or “which copy is the authoritative version” is an important one to address. You may need to communicate with other staff in your unit, subject matter experts, or even University Counsel to answer this question. Subject matter experts should be comfortable expressing the business need for retaining records and must be included in discussions aimed at determining which unit is the Office of Record. Based on business need of the records, University Counsel and others can provide guidance on authoritative versions based on risk factors associated with retaining or disposing of records. The Records and Information Management Services (RIMS) team is available to facilitate these discussions.
Keeping records safe means storing records securely such that the likelihood of accidental (or intentional) destruction, corruption, misplacement, or inappropriate access is minimized and meets University risk management expectations. The RIMS team does not recommend storing records in basements or attics where they are out of sight and may be at a higher risk of damage or tampering.
Secure the area and keep everyone out until the fire department or other safety professionals allow entry. Then email RIMS at RIMSgroup@uillinois.edu or call 217-333-6834 (UIUC, UIS) or 312-413-2549 (UIC) for advice on how to handle damaged records. RIMS, along with the University Archives, can assist you in appraising the records that have been damaged so that your resources (and especially time) are not spent on records with little or no value.
To access inactive records in the University Archives, please view the access guide for your campus:
If you do not know who your unit's Records Liaison is, or if your unit does not have one, contact the RIMS team.
The RIMS program has created self-paced tutorials about the basics of records management at the University. RM101, RM102 and RM201 can be found on the Training page. The RIMS staff is available for individual or group training on a variety of topics. Please check our website for the latest information regarding classes.
Contact the RIMS team or visit the RIMS website to obtain more information on records management issues and training.
A glossary of common terms associated with records and information management and the RIMS program of the University is available on the Glossary page of this Web site.
The answer depends on the content of the records and the business function(s) the records support. There is no set period or 'seven year rule' for all records: the required retention period varies widely depending on the type of record. It is important to keep in mind that date-based events can vary the retention length of a record. For example, “five years from date of graduation” may be a different date than “five years from the completion of a grant.” If it has a legal or business requirement to be kept for a specific time frame or if it has been listed on an approved retention schedule, then it will need to be kept until the minimum requirement is met. If it is duplicate information or of very temporary value it is considered a non-record and you only need to keep it for as long as you need to reference it.
The retention period for a given type of record can be identified by looking it up in the retention schedules. If you do not have access to the appropriate retention schedule please contact your unit’s Record Liaison or the RIMS team. In some cases, you may find records that aren't listed in any retention schedules. These records should be brought to the attention of your Record Liaison and the RIMS staff so that a suitable retention can be determined. Once you know how long specific records should be retained, you will need to request permission to dispose of them.
Consider how long the material (drafts of final documents, copies of final documents, reference materials, etc.) is truly useful to the office, and establish an internal policy to not retain the material longer than necessary. Usually, one to three years past the completion of a final document is the longest anyone might keep drafts or copies. For reference materials, a period of retention could be indefinite with a plan to periodically review and purge documents that were not used in five or more years. All units should establish simple procedures to clean up or dispose of non-record documents on a routine basis.
Some records are unique to a unit or office. If you and your unit’s Record Liaison cannot locate a record series (type of records) in an approved unit or general retention schedule, please contact the RIMS team for assistance. Provide information about the records, including the name/type, use, and whether your office is the official keeper of this record. You may also send this information to the RIMS staff using the Disposal Form on the RIMS website. The RIMS staff will either direct you to the correct record series for the records in question or they may begin the process of creating a new retention schedule and obtaining the approval for use.
In general, if reports in their entirety are incorporated into larger reports, it is not necessary to retain a contributing report unless instructed otherwise. However, if the report is merely summarized in a larger report, the detail of your report may be treated as a separate record with a specific requirement for retention. This is especially true with calculations and quantifiable information. In this case, determining your retention length requires discussions with the various stakeholders.
Unit-specific procedures should indicate any locally determined requirements for retention of copies of documents and records. Drafts of a document often become non-records when a newer version is created, but each unit will need to determine what is right for their records.
Inactive records need to be stored in an environment that is appropriate to their format and organized in a way to aid retrieval. For example, paper records need a stable temperature, and should be stored in a secure area, in sturdy archival boxes and on shelving to prevent damage. RIMS recommends that boxes should be standard 10” x 12” x 15” Bankers boxes (these can be ordered from iBuy) and should be given a unique number for quick identification. Boxes should also have their items listed on an attached box list and a register of inactive records should be maintained to track which items are stored in which boxes and storage areas and to enable easy retrieval. Access to the records should be monitored and properly controlled.
For units that have storage space issues there may be other storage alternatives available. On the Urbana campus there are storage containers that are set up specifically to house inactive records. There are fees associated with using the space but it is available to units from any of the University campuses. There are also off-site commercial storage options available in Chicago, Springfield and Urbana. If you are interested in either of these options, contact the RIMS team for recommendations and assistance.
Each records series listed in the records retention schedule has specific disposition instructions that indicate how long those records must be kept, also known as their retention period. When the retention period for your records has passed they are eligible to be disposed of according to the disposition instructions.
Some records have a disposition of "permanent," which means you can transfer such records to University Archives after their retention period has ended. The disposition instructions for other records are to "destroy" after a specified period of time. If the instructions indicate that the records should be destroyed you will need to contact the RIMS team to start that process.
Because the University is a State organization, the records produced here are State records and the treatment of these records must follow the rules and guidelines set out by the State Records Commission. Before records can be destroyed we must receive permission from the State. Units work with the RIMS staff on the disposal process, which has several simple steps outlined in this Disposal Process Flowchart.
In summary, once the retention period has passed, the records eligible for destruction need to be reviewed to determine the approximate volume and date range for each records series. RIMS will use that information to create and submit a disposal request to the State. State approval should be received within a month and once that is received, the records may be properly disposed. Keep in mind that records containing sensitive information must be handled and disposed of in a secure manner. For details see the RIMS Information Disposal Guide.
Non-records do not require state approval for disposal, and should be transferred to the University Archives, destroyed, or purged from electronic data environments according to your unit's Unit Plan. If your unit does not have a Unit Plan, you should consult with the RIMS team.
The University is granted the authority to dispose of records by the State Records Commission through the University Archives and the RIMS office. Disposal requests are submitted on behalf of units by RIMS at the end of each month.
The starting point for disposing of records is to identify records that are ready to be purged. Records Liaisons have the responsibility and authority to work with their unit colleagues to identify records ready for disposal. Records disposal takes place once permission has been authorized by the States Records Commission. If your unit does not have a Records Liaison, you should contact the RIMS team.
No. The RIMS staff will keep copies of all approved disposal requests and the State Records Commission keeps the original records of these requests. If your supervisor insists they need a document as a “receipt” RIMS can provide one if requested.
The RIMS staff has created an Information Disposal Guide to help units with their disposal decisions. It includes best practices for disposal of records with different levels of security as well as information about office and vendors for each campus that can be contacted for different disposal needs.
You should make arrangements with your unit's Records Liaison or with the RIMS staff to arrange a more convenient time for your records disposal.
The electronic records of the University are considered records and must be retained, destroyed, or transferred to University Archives in accordance with the rules and guidelines set out by the State Records Commission. All University records regardless of format are subject to these rules, and this means that any unit-specific records retention schedules and general records retention schedules should be followed for electronic records as well as hardcopy ones.
Electronic records introduce a host of challenges to managing records. For instance, if electronic records are not managed properly, some files may not be legible or otherwise function due to hardware and software obsolescence. Other challenges include the possibility of security breaches, file corruption, metadata loss, and accidental overwriting of files. To offset these problems, RIMS recommends the following measures:
Contact University Archives on your campus if you wish to transfer electronic records to the Archives.
Many University administrative documents are now stored in BDM-Xtender, but not all. Documents and images stored in BDM-Xtender which support business processes, activities, or transactions are considered University records.
Since BDM-Xtender (formerly ‘BXS’) is supported by AITS, AITS is the steward of these materials and has responsibility for managing them. At the same time, the units using BDM-Xtender are the owners of the materials and have ownership responsibilities which include assuring the required time for retention is applied to the documents and images.
E-mail is a communication tool we all use on a daily basis. Some of us conduct most of our standard work processes from our Inbox. Because of this, some e-mail messages, or information contained within them, are considered records and need to be identifiable as such. Email messages may be considered records if they verify, authenticate or otherwise support other significant documents or transactions.
Attachments sent with e-mail messages are generally assumed to be duplicate or working drafts of documents and therefore not considered records. This assumption also assumes each person sending attachments has a departmentally identified electronic storage area for their records and the authoritative version of the attachment has been stored in said designated electronic storage area.
Because e-mail systems are generally not acceptable primary storage systems for University records, e-mail messages considered to be University records must be identified and stored in a system compliant with the requirements established by the State Records Act and the Joint Committee on Administrative Rules.
There is no exact length of time for the retention of an e-mail. Retention depends on the purpose of the e-mail and the information it contains. The electronic format itself is not a decisive factor in the length of retention.
If the e-mail is a record, the retention will follow the period set down in the applicable records retention schedule. If the e-mail is a non-record it should follow the non-record guidelines that recommend that it should be disposed of as soon as possible after its primary usefulness has expired.
Email should be organized so it is easy for you to use and also easy to identify messages that should be retained as University records and disposed of according to records disposal rules. If an email message is an essential part of a work process it is a record, and we need to establish a simple way to capture and dispose of it like all other records.
Records that have been scanned can be destroyed provided that your department has a digitization process that is compliant with the requirements put forth by the State Records Commission and you have been trained and authorized to digitize and destroy source records under that process. There are a number of requirements that must be met in order for a scanned reproduction to be used as the official record and permit the destruction of the original. For details contact the RIMS team.
Your department must have a digitization process that is compliant with the requirements put forth by the State Records Commission prior to destroying original hard copies.
Article VI Section 4 of the University’s General Rules Concerning University Organization and Procedure speaks to Archives and Records Management.
In addition, the RIMS office has RIMS Communications and Guidelines on various topics.
There are two state laws that the University needs to follow or be aware of:
There are two federal laws that cover confidentiality of many records at the University:
Additional state and federal laws and codes make other records confidential. This includes donor information, personal identification information, and the storage and use of Social Security numbers.
Except as restricted by specific provisions in state or federal law, anyone may ask to see University records. Some University records may be viewed by visiting the University Archives or by contacting the appropriate office to request transcripts, degree verifications, employment verifications, and general information about admissions. Other records may be viewed by submitting a FOIA (Freedom of Information Act) request.