2013 WL 2158587 (2d Cir. 2013) – The court held that the IEP at issue in the case was substantively inadequate because it failed to provide sufficient 1:1 instruction to the student, despite clear evidence in the record demonstrating the student’s need for 1:1 instruction.
Sign Up For our Newsletter
200 WEST 41st STREET, 17th FLOOR, NEW YORK, NY 10036