The Stop Campus Hazing Act, enacted on December 23, 2024, amends the Clery Act reporting requirements and sets minimum standards for higher education institutions to prevent, monitor, and report hazing incidents. The act designates hazing as a reportable offense under the Clery Act and requires institutions to publicly disclose violations committed by student organizations. The Stop Campus Hazing Act establishes three primary requirements which aim to enhance transparency, hold institutions more accountable, and reduce the risk of harm to students. These measures include the following:
- Institutions must include hazing as a reportable offense in their Annual Security Reports (ASRs).
- Institutions must implement evidence-based hazing prevention training programs for students, faculty, and staff.
- Institutions must develop and maintain a publicly accessible Campus Hazing Transparency Report (CHTR), listing student organizations recently found responsible for hazing.
Definitions
The Act defines hazing as any intentional, knowing, or reckless act committed by a current or former student of a higher education institution, either alone or with others, against another individual, when the act is connected to initiation into, affiliation with, ongoing membership in, or prospective membership of an organization affiliated with the institution. Additionally, the act must pose a substantial risk of physical injury, mental harm, or degradation, or cause such harm or degradation to the individual.
Several states have enacted their own anti-hazing laws. For instance, North Dakota criminalizes hazing under Section § 12.1-17-10 of the North Dakota Century Code. Consequently, Minot State University has revised its policies and reporting procedures to ensure adherence to both state law and the Hazing Act.
Core Components
Beginning in early 2025, institutions are expected to have already started tracking hazing-related incidents to incorporate into their Annual Security Reports (ASRs). This includes reporting incidents reported by campus security authorities or local law enforcement, documenting investigations, and updating Clery Act-compliant reporting procedures.
Furthermore, institutions must implement evidence-based hazing prevention and awareness training programs. These programs should cover hazing identification, prevention, and reporting, and must be accessible to all students, faculty, and staff. The training should provide specific guidance on recognizing hazing, how to report it, and the resources available for victims and reporters. Institutions are responsible for ensuring that training content remains current, easily accessible, and widely distributed. These training efforts are expected to be ongoing, with institutions tracking participation to demonstrate compliance.
Additionally, the act mandates that institutions complete and publish a Campus Hazing Transparency Report (CHTR) on the University's website. The CHTR must include details about student organizations found responsible for hazing violations, including the nature of the violations, penalties imposed, and relevant dates. The initial CHTR is due at end of 2025 and must be updated every six months to include any new incidents. Failure to comply could lead to the removal of federal funding and the possibility of fines due to violations of the Clery Act.
Important Deadlines
Important Deadlines
| January 1, 2025 |
Begin tracking hazing statistics for ASRs. |
| June 23, 2025 |
Hazing policies must be in place. |
| July 1, 2025 |
Process developed for documenting standard of conduct violations for hazing. |
| December 23, 2025 |
Publish first CHTR |
| Subsequently, every 6 months |
Update the CHTR with any new incidents. |
| October 1, 2026 |
2025 hazing statistics includes in 2026 ASR. |
If you have any questions regarding compliance with the Hazing Act, please contact Kevin Harmon, Vice President for Student Affairs & Intercollegiate Athletics, at 701-858-3140 or by email at kevin.harmon@minotstateu.edu.