✅ Homework prior to next call on May 2, 2023
If you are from any of the following jurisdictions, please send us your data release policy (email tpinsent@cste.org). ID, NV, AZ, TX, WY, NM, OK, ND, SD, ND, KS, MN, IA, MO, AR, LA, IL, IN, KY, TN, MS, OH, GA, FL, SC, NY, VT, CT, NH, ME.
We also have some homework for you prior to the next call.
We also have some homework for you prior to the next call.
Homework: How do you/your jurisdiction define equitable data release? Reflecting on this question will help us jump right into the discussion on the next call which will focus on methods to incorporate equitable data release “check points” into the proposed buckets* or groupings for the guidance document.
*Data release life cycle “larger” buckets
*Data release life cycle “larger” buckets
- Intake of the request/processing of the request
- Evaluate the data
- Ease of access to the data
- Analyses
- Interpretation
- Approval process
- Communication/dissemination plan
As a follow up to the discussion on a framework for advancing equity in data release, this article shares ideas that can help advance equity in statistical data privacy. This is something we are hoping to thred throughout the developed document.
"Developing statistical data privacy methods to achieve equity after implementing them will not serve the community well, since statistical data privacy methods contain practical constraints. Pursuing equity throughout the data life cycle (i.e., from data collection to data publishing) will help advance ideas and communicate limitations."