For District Reviewers
Last updated: April 28, 2026
This page covers information specific to school and district reviewers. For details on what data ThinkingEngine collects, AI scoring methodology, COPPA compliance, data retention, subprocessors, and security practices, see our Privacy Policy.
ThinkingEngine is an AI-powered Socratic dialogue platform designed to support critical thinking instruction in K-12 classrooms. The platform enables teachers to create discussion topics, engage students in structured reasoning conversations, and receive AI-generated reasoning scores and feedback.
ThinkingEngine is operated as a tool under the direction of classroom teachers. The service is not a consumer app — it is an instructional tool used in an educational context, with teacher-controlled access to all student data.
ThinkingEngine can enter into Data Privacy Agreements (DPAs) with school districts as required by district procurement policies or state law. DPAs formalize the roles and responsibilities of ThinkingEngine as a "school official" under FERPA and establish the data handling commitments described in this document and in our Privacy Policy.
To initiate a DPA review or request a template, contact privacy@thinkingengine.org. We will respond to all district inquiries within five business days.
ThinkingEngine has not entered into the Student Privacy Pledge administered by the Future of Privacy Forum, but our data practices align with its commitments regarding data collection, retention, use, and security.
ThinkingEngine is designed so that the data generated through its use qualifies for treatment as education records under FERPA. The platform operates under the "school official" exception:
Student dialogue transcripts, reasoning scores, and session records are education records when they are directly related to students and maintained by the school or a party acting for the school — which includes a teacher using the platform as part of instruction.
Schools retain the right to access, review, and request deletion of any student data stored by ThinkingEngine through the teacher dashboard or by contacting privacy@thinkingengine.org.
ThinkingEngine is operated from Ohio and is subject to Ohio student data privacy law. Ohio has enacted several statutes governing the collection, use, and protection of student data in K-12 schools, including provisions related to data governance, parental rights, and restrictions on data sharing.
ThinkingEngine complies with Ohio student data privacy requirements, including:
Ohio school districts seeking to verify ThinkingEngine's compliance posture may contact privacy@thinkingengine.org to request documentation, answer questions, or initiate a formal review process.
Students and their parents or guardians have rights to access, review, and request correction or deletion of education records under FERPA and applicable state law. These requests may be directed to the student's teacher or school, who can then submit the request to ThinkingEngine.
ThinkingEngine supports the following data subject requests:
To submit a data access, export, correction, or deletion request on behalf of a student or school, contact privacy@thinkingengine.org. For security-related concerns: security@thinkingengine.org.
School and district administrators conducting compliance reviews may contact ThinkingEngine directly for documentation, DPA templates, or detailed questions about our data practices.
Privacy & district inquiries: privacy@thinkingengine.org
Security concerns: security@thinkingengine.org
We respond to all district inquiries within five business days.