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Dynamics 365 education accelerator helps partners deliver solutions for educators and students

With the back-to-school season just around the corner, school and university administrators, educators, parents, and students are preparing for another challenging year. The August release of Dynamics 365 education accelerator includes updated data model and sample apps that can help partner ISVs continue to build and deliver solutions for schools and universities.     In addition, the K-12 portal, an information hub built on Microsoft Power Apps, has been redesigned to make…

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With the back-to-school season just around the corner, school and university administrators, educators, parents, and students are preparing for another challenging year. The August release of Dynamics 365 education accelerator includes updated data model and sample apps that can help partner ISVs continue to build and deliver solutions for schools and universities.    

In addition, the K-12 portal, an information hub built on Microsoft Power Apps, has been redesigned to make it easier for parents and students to track school activities and assignments. Plus, the release includes a data model aligned with Microsoft School Data Sync (SDS), an application offered with Microsoft 365 Education. 

What’s new in the August release

  • Higher education event marketing allows education institutions to leverage Dynamics 365 Marketing capabilities to reach students and families in meaningful ways. 
  • K-12 portal update includes an improved interface of the student portal for K-12 schools and a better experience for all users. 
  • School Data Sync (SDS) data model alignment makes it easier for partners to build connectors and for educational institutions to leverage the ability to flow data from SDS to Microsoft Dataverse

Take advantage of event management capabilities in Dynamics 365 Marketing

With the August release of Dynamics 365 education accelerator, partners can leverage Dynamics 365 Marketing to bring the power of personalized communication and campaigns to education customers around the world. Partners will help customers enable targeted communication, direct customer journey, and ensure ongoing engagement with their institution.  

This capability can be used to build campaigns for a variety of school events, including back-to-school orientation, family night, or school tours. Schools and universities can create events where participants can register and communicate with the institution, and schools can view attendance. Best of all, this capability is completely flexible for partners to customize.  

Improved usability of the K-12 student portal

The K-12 student portal has received a design uplift to improve user experience.  

School Data Sync (SDS) data model alignment transforms data gathering

School Data Sync (SDS), an offer from Microsoft 365 Education, reads rosters from most Student Information Systems (SIS) and creates classes and groups in Microsoft Teams, Intune for Education, and third-party applications.  

By aligning the data model between the education accelerator and SDS, we will enable the possibility for customers already using SDS to leverage the powers of Dataverse, the Common Data Model for Education, and Power Platform. This is transformational from how data was gathered before and allows partners to build specific connectors for their customers. 

Eduphoric is one such partner, and we are excited to see how customers will benefit from this work. According to Pamela Knott, Eduphoric’s director of education technology, harnessing the advantages of the Power platform help “… educators to support more students, more effectively in less time.” Knott says Eduphoric’s Learning Team solution “… aggregates attendance, behavior, course performance, wellness, and tech readiness data into one holistic student profile so that teachers, counselors, administrators and support specialists can identify struggling students and work together to get them back om track.”  

What other partners are saying about Dynamics 365 education accelerator release

Microsoft’s partners who have seen a sneak peek are excited about the power and flexibility the August release provides:  

  • Thomas Manders, managing director for Coffee + Dunn: “With many of our clients in the education space, we understand schools’ needs to increase communications efficiency, improve the student relationships and innovate for the future of education. Serving as a robust foundation, the accelerator helps schools eliminate data silos, enable powerful insights and act on these insights to deliver exceptional student and alumni experiences. As a partner, we can help our clients achieve these goals much faster than starting organically.”  
  • Shekar Kadaba, chief experience officer for Frequency Foundry: “Over the last couple of releases, the Industry Accelerator team had responded to the market need for supporting and engaging students in different learning modes by adding additional functionality to support the student lifecycle. We see that envelope being been further pushed with the latest release.” 
  • Dr. Jennifer Beyer, vice president of product management for Anthology: “Our college and university partners have been able to leverage D365 Marketing as part of our solution to increase their intentional connections with their students whether it is driving them to complete their admissions application or keeping current students on track.” 

Next steps

We encourage you to register and test drive the education accelerator. You can access GitHub to try out the solution, data samples, Power BI examples, and more. 

If you have any questions, don’t hesitate to reach out to our team. If you’re a partner working in the higher education space and want to use the accelerator and help shape the next version of it, please reach out to us. 

 

 

 

 

 

 

 

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Facebook: Community Standards Enforcement Report Assessment Results

In August of 2020, we committed to undertaking and releasing an independent, third-party assessment of our Community Standards Enforcement Report. Today, we’re delivering on that commitment and publishing EY’s independent findings. We selected EY based on their expertise, experience and ability to work with large, novel data sets. To ensure the metrics were measured and…

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In August of 2020, we committed to undertaking and releasing an independent, third-party assessment of our Community Standards Enforcement Report. Today, we’re delivering on that commitment and publishing EY’s independent findings.

Graphic that reads: EY's assessment concluded with the opinion that the calculation of the metrics reported within Facebook and Instagram Community Standards Enforcement Report for the period October 1, 2021 through December 31, 2021 have been prepared based on the specific criteria and are fairly stated, in all material respects.

We selected EY based on their expertise, experience and ability to work with large, novel data sets. To ensure the metrics were measured and reported correctly, we underwent in-depth preparation to give EY an understanding of our processes, systems and controls. We also provided them with data and evidence requested to conduct their assessment. 

The globally adopted Committee of Sponsoring Organizations of the Treadway Commission (COSO) framework was selected as the criteria against which the assessment would evaluate Meta’s internal controls. This rigorous and widely used internal control framework was used to verify the accuracy of the metrics and validate the design and operating effectiveness of the controls. It’s the same framework we use to assess our internal controls over financial reporting and the financial statements that are included in our Annual Report filed with the Securities and Exchange Commission (SEC).

As part of the assessment, Meta provided EY with full access to the necessary data, documentation and evidence requests. We also gave access to dozens of employees across data science, data engineering, software engineers, product and program managers and Internal Audit teams working on the Community Standards Enforcement Report. The examination was conducted in accordance with the attestation standards as established by the American Institute of Certified Public Accountants and consisted primarily of 1) applying inspection, recalculation and analytical procedures 2) making inquiries of persons responsible for the subject matter and 3) obtaining an understanding of the measurement systems and processes used to generate, process, aggregate and report the subject matter.

EY evaluated the metrics and reporting methods for the Community Standards Enforcement Report covering the fourth quarter of 2021. As part of their assessment, EY focused on the following areas: Governance, Data Collection, Data Processing, Data Aggregation, Data Disclosures and Reporting and Information Technology General Controls. Learn more about the scope of the assessment

Infographic showing the scope of EY's assessment

This assessment builds on our previous work in 2018 with international experts in measurement, statistics, law, economics and governance, who provided an independent, public assessment of the metrics we share in the enforcement report. Since then, we have continued to seek out feedback from external stakeholders and experts, including from the Oversight Board, and are working to expand our transparency reports. As we shared today, we are also committing to measuring and reporting metrics around accuracy of our enforcement decisions.

Timeline of EY assessment

While this assessment looked at the accuracy of the metrics we report, we believe independent, third-party assessments of our integrity systems and processes are also an important part of delivering accountability. We look forward to continuing to build on this commitment and expanding our transparency and accountability efforts, working with industry partners, issue experts and policymakers across the world.

As we said at the beginning of this process, no company should grade its own homework, and the credibility of our systems should be earned, not assumed. Accurate and meaningful transparency is critical to holding platforms accountable. This assessment is a step in that direction.

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Facebook: Widely Viewed Content Report, First Quarter 2022

Today, we’re publishing the Widely Viewed Content Report (WVCR) for the first quarter of 2022. This report highlights the most-viewed organic content in Feed in the US, including domains, links, Pages and posts. It includes content recommended by Facebook and excludes advertising content. See the full report and Companion Guide for more information.  Updates and…

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Today, we’re publishing the Widely Viewed Content Report (WVCR) for the first quarter of 2022. This report highlights the most-viewed organic content in Feed in the US, including domains, links, Pages and posts. It includes content recommended by Facebook and excludes advertising content. See the full report and Companion Guide for more information. 

Updates and Enforcements

Based on feedback from several academic and civil society organizations, we are improving our link and domain data methodologies. Previously, we counted a link view as any time a post or video containing a link was viewed, even if the link was not front and center. However, the feedback from these organizations was that our data would be more meaningful if we only counted link or domain views that rendered a preview. Moving forward, links will need to render a preview in order to be counted as a view, as that more accurately represents what people are seeing. As part of the transition, the Q1 2022 report includes top viewed links using both our old and new methodologies. Starting next quarter, the WVCR will use only the new methodology.

In this report, there were pieces of content that have since been removed from Facebook for violating our policies of Inauthentic Behavior. The removed links were all from the same domain, and links to that domain are no longer allowed on Facebook. During the last reporting cycle, we took seriously the feedback criticizing our approach to disclosing additional details about the content removed from Facebook that appears in this report. We have updated our removal disclosure framework in the report and Companion Guide. We will aim to disclose as much information as possible about removed content, including Inauthentic Behavior, that appears in the report moving forward. However, in instances where disclosing specific details on removed content would cause harm to our community, we will err on the side of keeping the community safe. 

Some lower-quality posts ended up amongst our most viewed last quarter, although it is important to note that the top 20 links in this report represent only 0.03% of all Feed content views in the US during the quarter. The fourth URL in the report linked to a YouTube video of a panel discussion held by a U.S. Senator that was rated False by one of our fact-checking partners. When that happened, we took a number of steps to limit the reach of this link, including adding a warning screen that shared more information about the claim, showing a notification warning to someone when they try to share the link and reducing the distribution of the link in Feed. Our strategy mirrors the recommendations of experts and academics in this field: deeper investments in outreach by trusted organizations online, as well as fact-checking as a primary approach to misinformation, since removing certain false claims about COVID-19 can exacerbate feelings of distrust with authorities and further marginalize populations. And without these features, this link would likely have reached more people, and those who viewed it would not have seen additional information and context from the false fact check. 

Insights from the WVCR help inform how we update our existing policies and products, and develop new ones, to address harmful or otherwise objectionable content. For example, we’ve been testing new ways to reduce clickbait, engagement bait and spam. While we’re seeing improvements from these tests, we will need to continually evaluate and refine our approach before seeing consistent results. We’ll continue to test alternative solutions to reduce engagement bait, misinformation and content from Pages that repeatedly violate our Community Standards.

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Facebook: Transparency Report, Second Half 2021

Today, we are releasing our latest Transparency Report for the second half of 2021.  As always, we strive to be open about the ways we protect users’ privacy, security and access to information online. That’s why we publish biannual transparency reports to provide detail on the numbers and maintain accountability in our work. Over the…

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Today, we are releasing our latest Transparency Report for the second half of 2021. 

As always, we strive to be open about the ways we protect users’ privacy, security and access to information online. That’s why we publish biannual transparency reports to provide detail on the numbers and maintain accountability in our work. Over the years, we’ve expanded our report to include the volume of content restrictions based on local law, the number of global internet disruptions that limit access to our products and, most recently, our proactive efforts to protect intellectual property. Additionally, our Transparency Report includes the Community Standards Enforcement Report for Q1 of 2022, which provides data on how we take action against violating content across our platforms. 

Government Requests for User Data

During the last six months of 2021, global government requests for user data increased 2% from 211,055 to 214,777. Of the total volume, the US continues to submit the largest number of requests, followed by India, Germany, France, Brazil and the UK.

In the US, we received 59,996 requests, which was 6% less than the total we received in the first half of 2021. Non-disclosure orders prohibiting Meta from notifying the user remained consistent at 70% in the first and second halves of 2021. In addition, as a result of transparency updates introduced in the 2016 USA Freedom Act, the US government lifted the non-disclosure orders on 12 National Security Letters we received between 2017 and 2021. These requests, along with the US government’s authorization letters, are available below.

As we have said in prior reports, we always scrutinize every government request we receive to make sure it is legally valid, no matter which government makes the request.  We comply with government requests for user information only where we have a good-faith belief that the law requires us to do so. In addition, we assess whether a request is consistent with internationally recognized standards on human rights, including due process, privacy, free expression and the rule of law. When we do comply, we only produce information that is narrowly tailored to that request. If we determine that a request appears to be deficient or overly broad, we push back and will fight in court, if necessary. We do not provide governments with “back doors” to people’s information. For more information about how we review and respond to government requests for user data and the safeguards we apply, please refer to our FAQs.

Content Restrictions

When content is reported as violating local law, but doesn’t go against our Community Standards, we may limit access to that content in the country where the local violation is alleged. During this reporting period, the volume of content restrictions based on local law increased globally 8% from 47,365 in H1 2021 to 50,959 in H2 2021.

Internet Disruptions

We oppose shutdowns, throttling and other disruptions of internet connectivity and we remain concerned by the trend towards this approach in some countries. Even temporary disruptions of internet services can undermine human rights and economic activity. That’s why we report the number of deliberate internet disruptions caused by governments around the world that impact the availability of our products. In the second half of 2021, we identified 38 disruptions of Facebook services in 12 countries, compared to 62 disruptions in 17 countries in the first half of 2021.

Intellectual Property

Finally, we report on the volume and nature of copyright, trademark and counterfeit reports we receive each half as well as our proactive actions against potential piracy and counterfeits. In connection with our previously reported data for H1 2021, we discovered we were not accounting for some proactive copyright removals due to an error in the way our technology counted these violations, specific to Rights Manager. This resulted in an undercounting of the number of proactive copyright removals for that reporting period. We have reviewed and resolved this issue and have adjusted the numbers to reflect those removals. Specifically, ​​we proactively removed 16.7 million pieces of content for copyright reasons in H1 2021 (previously reported as 9 million).

During this reporting period for H2 2021, we took down 4,384,719 pieces of content based on 1,217,892 copyright reports; 709,642 pieces of content based on 332,340 trademark reports and 2,121,209  pieces of content based on 97,569 counterfeit reports. We also proactively removed 30,245,249 pieces of content for copyright reasons and 223,770,855 pieces of content for counterfeit reasons. 

Publishing this report furthers our deep commitment to transparency. You can see the full report for more information.

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