For Emergencies

Report emergencies immediately to Public Safety at 508-793-2222 (ext. 2222 for campus phones). An ambulance will be directed to campus. Call 911 for all off-campus emergencies.

 

We are located on the lower level of The Joanne Chouinard-Luth Recreation and Wellness Center and are open 24 hours a day, seven days a week. All calls are received at the Public Safety Dispatch Center, which is staffed 24-hours a day.

For All Other Incidents

Public Safety Services

What is an Emergency Notification?

Notice of any significant emergency or dangerous situation occurring on the campus involving an immediate threat to the health or safety of students or employees. This may be an approaching weather event such as a tornado, a hazardous material incident, a threat of violence, an armed person, or an outbreak of a serious contagious disease or illness. Emergency Notifications may also serve as a Timely Warning if the reported incident is also defined as a Clery crime.

Emergency Notifications may be delivered a number of different ways. These may include email messages, SMS text messages to registered cellular phones of community members, phone calls to registered phone numbers of community members, public address speakers on campus and any combination of these. Holy Cross offers two forms of emergency notifications for the campus and its community members.

Sirens

One component of the emergency notification system sends out an alert via sirens, which are located in three areas of the campus. In the event of an emergency, you would hear a siren, followed by a voice message stating the nature of the emergency. It will then repeat the siren and voice message again. This is reserved for high-priority emergencies that require immediate action.

RAVE Notifications

The other component, our state-of-the-art RAVE emergency notification service, allows us to send a message almost simultaneously via phone, email, and text (SMS). In this message, we will inform the campus of the nature of the emergency as well as additional instructions. We may also send updates as necessary. We may also use RAVE for important issues that may arise, such as storms, missing persons, and others that don't require a siren warning. College inclement weather closing announcements are sent out through RAVE via a text message only.

Emergency notification systems are more efficient when all members of the community, including parents, visitors and contractors working on campus, sign up for the notifications. We encourage everyone to take advantage of this important program by signing up.

Both systems are tested twice a year, usually in September and March.

Students: Students should check their emergency notification contact information in their STAR account. Once the contact information has been entered and verified by the student, no further action is needed.

Faculty & Staff: Faculty and staff contact information is automatically entered into the RAVE emergency notification system. It is not necessary to manually enter your information for emergency alerts. To ensure you receive these important emergency notifications, it is critical that you confirm that the contact information on file for you is current. Log in to HR Self Service and then to "My Emergency Notification." Update any contact information you wish to be used.

Parent, Guest and Contractor Sign-Up: Holy Cross uses an emergency notification service called RAVE Alert. This service offers text notifications to provide timely communications to its visitors, including parents, guests, and contractors in the event of an emergency or other urgent information. To join, just text "HCAlert" to 67283. It's that easy! 

Rave Guardian is a free safety app now used by many colleges and universities around the country. The versatility of this app allows you to call Public Safety in an emergency, call other departments on campus, safely walk from one area of campus to another, text tips to Public Safety if you see or have seen a crime in progress, or call our non-emergency number — all with the press of an icon!

We strongly recommend that students download the app when they arrive on campus. 

Holy Cross Public Safety monitors this 24/7 so that we can be there when you need us.

For more information on this app, please view the videos below. 

Crusader OneCard is the official Holy Cross identification card. All members of the Holy Cross community are required to wear their ID cards on a lanyard at all times when on campus. 


Students: While on campus, students should carry their OneCard at all times, as it serves many purposes:

  • personal identification;
  • entry into access-controlled residence halls, athletic facilities, sporting events, and entertainment events on campus; and
  • access to campus services such as meal plans and library book checkout. 

You must have your ID on you at all times and be able to show it upon request.

Incoming Students: Take the next step in becoming a Crusader. Submit your photo for your ID card by July 15 so we can have your Crusader OneCard ready for you when you arrive. Don’t delay! You will need your ID card to get into your residence hall, eat at food locations and make purchases at campus retail locations. To submit your photo, please review the submission instructions, then log into your OneCard account and follow the directions to “Upload a New Photo.” 

Faculty & Staff: The ID card is used for punching in/out at the time clock and to gain access to certain buildings on campus.

New Faculty and Staff: During their orientation, Human Resources directs new faculty and staff members to submit this form for their new Holy Cross ID and parking decal. 

Replacement Holy Cross ID Cards: Due to current conditions, Public Safety only accepts online requests for replacement Holy Cross ID cards. Please fill out the form below to request a replacement ID. Public Safety will notify you via email when your card is ready for pickup.

What is a Timely Warning?

The Clery Act requires institutions to alert the campus community to certain crimes in a manner that is timely and will aid in the prevention of similar crimes. Although the Clery Act doesn’t define “timely,” the intent of a warning regarding a criminal incident(s) is to promote safety. This means that a warning will be issued as soon as pertinent information is available.

Timely Warnings are generally issued via email messages to students and employees.

The three criteria for determining the issuance of a Timely Warning are:

  • Clery Act crime has been reported; and
  • The crime occurred in or on the institution’s Clery geography; and
  • The crime represents a serious and continuing threat the students and employees.

What is Timely?

The Clery Act doesn’t define timely. The intent of a warning regarding a criminal incident(s) is to enable people to take measures that promote their safety. Again, this means that a warning will be issued as soon as pertinent information is available. Generally, there is no allowance for taking time to review video footage, interviewing involved parties beyond the initial report, or completing an investigation, etc. Even if all of the facts surrounding a Clery Act criminal incident that represents a serious and continuing threat to students and employees are not available or known, a Timely Warning must be issued.

What is Clery Geography?

Institutions must disclose statistics for reported Clery Act crimes that occur (1) on campus, (2) on public property within or immediately adjacent to the campus, and (3) in or on non-campus buildings or property that the institution owns or controls. Timely Warnings are issued when pertinent information becomes available for those specific Clery Act crimes that occur in the institution’s Clery geography and that represent a serious and continuing threat to students and employees

On Campus Property is defined as:

Any building or property owned or controlled by an institution within the same reasonably contiguous geographic area and used by the institution in direct support of, or in a manner related to, the institution’s educational purposes, including residence halls; and

Any building or property that is within or reasonably contiguous to the area identified in paragraph (1) of this definition, that is owned by the institution but controlled by another person, is frequently used by students, and supports institutional purposes (such as a food or other retail vendor).

Public Property is defined as:

All public property, including thoroughfares, streets, sidewalks, and parking facilities, that is within the campus, or immediately adjacent to and accessible from the campus. This is often referred to as “sidewalk-street-sidewalk” for public property that borders a campus boundary. Holy Cross does not have any public property within the campus. The public streets that may intersect those streets and roadways that immediately border the campus are not part of the “public property” definition for Clery Act purposes.

Public property refers to property owned by a public entity, such as a city or state government. It should not be confused with public space or property used or occupied by members of the public. An open lobby in Hogan may be considered public space, but it is not public property since it is not owned by a city or state government.

Non-campus Property is defined as:

Any building or property owned or controlled by a student organization that is officially recognized by the institution; or

Any building or property owned or controlled by an institution that is used in direct support of, or in relation to, the institution’s educational purposes, and is frequently used by students, and is not within the same reasonably contiguous geographic area of the institution.

Is the Incident a Clery Crime?

The Clery Act requires institutions to issue a Timely Warning to notify students and employees whenever a specific crime has occurred and the threat is determined to be serious and continuing. This notification is required for certain crimes that are reported to campus security authorities, campus law enforcement, or local law enforcement AND are reported or believe to have occurred on campus, in a residence hall, non-campus building or property, or public property contiguous to campus. Timely Warnings are not limited to violent crimes or crimes against persons, and can be issued for threats to persons or to property such as on-going burglaries with a similar pattern.

Clery Act Crimes include, but are not limited to:

  • Criminal Homicide
  • Sex Offenses (Rape, Fondling, Incest, Statutory Rape)
  • Robbery
  • Aggravated Assault
  • Burglary
  • Motor Vehicle Theft (not theft from a motor vehicle)
  • Arson
  • Hate Crimes

Is There a Serious or Continuing Threat?

This decision is made on a case-by-case basis in light of all the facts surrounding the crime, including factors such as:

  • Are the students and employees at risk of becoming victims of a similar crime?
  • Has the perpetrator been identified or has the perpetrator been apprehended?
  • Does the incident appear to be a one-time occurrence or fall into a pattern of reported crimes?

Example: A student sets some posters on fire after the homecoming football game-- the arsons are probably a one-night event. However, if an unknown person is randomly setting fires on campus, there is a continuing threat.

Content of a Timely Warning, and Further Decisions for Issuing a Timely Warning

The Clery Act does not specify what information should be included in the Timely Warning, but it should include all necessary information for the campus
community to be aware and take measures to promote their safety.

The decision to issue a Timely Warning includes, but is not limited to:

  • The nature of the crime
  • The continuing danger to the campus community
  • The possible risk of compromise to law enforcement efforts. This includes compromising efforts to:
    • assist a victim;
    • contain the emergency;
    • respond to the emergency;
    • or otherwise mitigate the emergency.

A Timely Warning will include:

  • Type of reported crime
  • Time and location of reported crime (specifics may not be reported to the police; if available, specifics may be withheld if disclosing them would identify a survivor or victim)
  • Specific advice for the campus regarding steps to take to promote safety

Unless the below information will make an immediate, material difference for public safety, Timely Warning content will typically not include:

  • Descriptions of alleged suspects based on perceptions of ethnicity or race;
  • Wording that could lead members of the community to feel stereotyped, marginalized, or profiled

Other Types of Notifications

There may be occasions when the institution notifies students and employees of incidents that are not Clery Act crimes or do not occur in the College’s Clery geography. These decisions are made on a case-by-case basis in consideration of the information at hand. The purpose for these notification is to make community members aware of the incidents, to promote safety, and to encourage those with information to come forward. The notices are generally issued through email messaging.

Example: The college notifies the community of reports of an unknown suspect exposing himself to community members in a particular area. (Not a Clery crime) The college notifies students of door-to-door sales scams at off-campus student residences. (Did not occur in Clery geography)

Clery Annual Reporting

In accordance with the Jeanne Clery Disclosure of Campus Security Policy and Campus Crime Statistics Act (more commonly known as The Clery Act), Holy Cross publishes an annual security and fire safety report that includes statistics for the previous three calendar years concerning crimes that occurred on college property and on public property immediately adjacent to, and accessible from, the campus. This report also includes institutional policies concerning campus safety and security matters.

Annual Security & Fire Safety Report - Published Oct. 1, 2024 for crimes reported in 2023

Clery Act Frequently Asked Questions

The Jeanne Clery Disclosure of Campus Security Police and Campus Crime Statistics Act (commonly known as the Clery Act; formerly the Campus Security Act) is a federal law that requires institutions of higher education (colleges and universities) in the United States to disclose campus security information including crime statistics for the campus and surrounding areas. It was first enacted by Congress in 1990 and most recently amended in 2013 by the Violence Against Women Reauthorization Act.

In 1986 Jeanne Clery, a first-year student at Lehigh University in Pennsylvania, was sexually assaulted and then murdered in her campus residence hall room by a student she didn't know. Her school hadn't informed students about 38 violent crimes on campus in the three years preceding her murder. Clery's parents, Connie & Howard, led the crusade to enact the original Campus Security Act. In 1998, Congress formally named the law in memory of Jeanne Clery.

All institutions of postsecondary education, both public and private, that participate in federal student aid programs must publish and disseminate an annual campus security report as well as make timely warnings of any ongoing threats to the campus community.

Holy Cross must disclose the most recent three years of Clery crime statistics and security policies in the Annual Security Report that must be published by October 1 of each year.

Currently enrolled students and employees are notified of the Annual Security Report. Prospective students and employees are eligible to receive the Annual Security Report and are provided information on how to request a copy. The general public has access to the Annual Security Report available on the Holy Cross Department of Public Safety webpage. The Daily Crime Log is also available for review at the Holy Cross Department of Public Safety located at 3 City View St., Worcester, Massachusetts.

Printed copies of the Annual Security Report are available at Holy Cross Public Safety Office during normal business hours or by emailing Cindy Price at cprice@holycross.edu.

The purpose of the daily crime log is to record criminal incidents and alleged criminal incidents defined under the Clery Act that are reported to the Department of Public Safety or Campus Security Authority (CSA). An incident must be entered into the crime log within two business days of the reporting to DPS.

Yes, they do. All institutional officials with significant responsibility for campus and student activities are referred to in the Clery Act as a Campus Security Authority (CSA).  All CSA’s have reporting obligations under the Clery Act. Faculty who serve as advisors to student groups, Title IX staff, coaches, and staff involved in student affairs are all included in this group. Only professional mental health and pastoral counselors are exempt from reporting when acting in these roles.

Yes. According to the Clery Act, any incident that falls in the Clery crime categories, as shown below, must be recorded in the Daily Crime Log and reported in the Annual Security Report. So even if the incident is reported to DPS anonymously (without revealing the identity of the victim) through a Campus Security Authority (CSA), DPS is required to record the nature of the incident, the approximate time and location to ensure accurate statistics.

Crimes that meet certain criteria and are reported to a Campus Security Authority by a victim, a witness, or any third party, even if they did not witness the reported crime are included in the Annual Security Report. For example, a student reports to another student that they were the victim of a Clery crime, even if only that second student (the non-victim) reports to a CSA such as the Title IX office, there is a responsibility to report the incident in the Annual Security Report.

No. Incidents are counted when they are reported, regardless of prosecution.

The Clery Act requires Holy Cross to report statistics on Clery crimes in the annual security report. The criteria for reporting these crimes are as follows:

All Clery crimes reported to DPS, a Campus Security Authority (CSA) or other law enforcement

Location within the Clery Geography

Crimes must be disclosed in the year reported

The Clery Act requires institutions to report crimes based on the following geographical specifications.

On Campus

Includes buildings and properties that are owned or controlled by the institution; that are reasonably contiguous to one another; and directly supports or relates to Holy Cross’ educational purposes.

Includes buildings and properties within Holy Cross’ campus, or reasonably contiguous to it, that Holy Cross owns but does not control; are frequently used by students; and are used to support the institution’s educational purposes.

Residential Facilities are a subset of the “On Campus” category that must be separately disclosed and counted. It includes the following types of housing: 

Undergraduate housing.

Single family houses that are used for student housing.

Buildings that are used for student housing but also have faculty, staff or any other individuals living there.

Buildings that are owned by a third party that has a written agreement with the institution to provide student housing. It doesn’t matter whether the rent is paid to the third party by the institution on behalf of the students or paid directly by the students.

Housing for officially and not officially recognized student groups that are owned or controlled by Holy Cross or are located on property that Holy Cross owns or controls. Examples at other institutions are fraternity and sorority houses.

Public Property refers to property owned by a public entity, such as a state or city government. It includes thoroughfares, streets, sidewalks, and parking facilities, that is within the campus, or immediately adjacent to and accessible from the campus. 

Non-Campus

Any building or property owned or controlled by a student organization that is officially recognized by the institution; or

Any building or property owned or controlled by the institution that is used in direct support of, or in relation to, the institution’s educational purposes, is frequently used by students, and is not within the same reasonably contiguous geographic area of the institution.

All crimes are counted by the date reported to a Campus Security Authority (CSA) or to DPS. This date is often different from the date the incident occurred.

Murder & Non-negligent Manslaughter - the willful (non-negligent) killing of one human being by another.

Negligent Manslaughter - the killing of another person through gross negligence.

Rape - The penetration, no matter how slight, of the vagina or anus with any body part or object, or oral penetration by a sex organ of another person, without the consent of the victim. (Note: The Rape definition also includes crimes of sodomy and sexual assaults with an object)

Fondling - The touching of the private body parts of another person for the purpose of sexual gratification, without the consent of the victim, including instances where the victim is incapable of giving consent because of his/her age or because of his/her temporary or permanent mental incapacity.

Incest - Non-forcible sexual intercourse between persons who are related to each other within the degrees wherein marriage is prohibited by law.

Statutory Rape - Non-forcible sexual intercourse with a person who is under the age of consent.

Robbery - the taking or attempting to take anything of value from the care, custody, or control of a person or persons by force or threat of force or violence and/or by putting the victim in fear.

Aggravated Assault - an unlawful attack by one person upon another for the purpose of inflicting severe or aggravated bodily injury. This type of assault usually is accompanied by the use of a weapon or by means likely to produce death or great bodily harm.

Burglary - the unlawful entry of a structure to commit a felony or a theft.

Motor Vehicle Theft - the theft or attempted theft of a motor vehicle.

Arson - any willful or malicious burning or attempt to burn, with or without intent to defraud, a dwelling house, public building, motor vehicle or aircraft, personal property of another, etc.

A criminal offense committed against a person or property which is motivated, in whole or in part, by the offender’s bias. Bias is a preformed negative opinion or attitude toward a group of persons based on their race, gender, religion, sexual orientation, disability, ethnicity, national origin or gender identity. The perception of the offender determines if a hate crime is classified. There must be evidence that shows the offender was motivated by a bias to commit the crime. Categories of hate crime offenses include all Primary Clery crimes, as well as, Larceny-theft, Simple Assault, Intimidation, and Destruction/damage/vandalism of property.

The following are examples from The Handbook on Campus Safety and Security Authority: 

Scenario 5: Several students call the campus security office to report swastikas spraypainted on the walls in a hallway of an on-campus student housing facility. Campus security personnel investigate but cannot find conclusive evidence that the markings were bias-motivated. Do not include this incident as a Hate Crime in your Clery Act statistics.

Scenario 6: Several students call the campus security office to report swastikas spraypainted on the hallway walls of an on-campus student housing facility on the floor where members of a Jewish student group live. The spray-painting follows a week of escalating tension between some Jewish and non-Jewish students over news about the Israeli-Palestinian conflict. Campus security personnel investigate and, based on the evidence, conclude that a Hate Crime was committed. Include this as one on-campus Intimidation characterized by religious bias and one on-campus student housing facility Intimidation characterized by religious bias.

The Violence Against Women Reauthorization Act amended the Clery Act by requiring institutions of higher education to compile statistics for incidents of dating violence, domestic violence, sexual assault and stalking and to include policies, procedures and programs regarding these incidents in the institution’s annual security report.

Sex Offenses

Domestic Violence - A felony or misdemeanor crime of violence committed: By a current or former spouse or intimate partner of the victim; By a person with whom the victim shares a child in common; By a person who is cohabitating with, or has cohabitated with, the victim as a spouse or intimate partner; By a person similarly situated to a spouse of the victim under the domestic violence laws of the jurisdiction in which the crime of violence occurred, or; By any other person against an adult or youth victim who is protected from that person’s acts under the domestic or family violence laws of the jurisdiction in which the crime of violence occurred.

Dating Violence - Violence committed by a person who is or has been in a social relationship of a romantic or intimate nature with the victim. For the purpose of this definition, dating violence includes, but is not limited to, sexual or physical abuse or the threat of such abuse. Dating violence does not include acts covered under the definition of domestic violence.

Stalking - Engaging in a course of conduct directed at a specific person that would cause a reasonable person to: Fear for the person’s safety or the safety of others; or Suffer substantial emotional distress.

Course of Conduct -Two or more acts, including but not limited to, acts in which the stalker directly, indirectly, or through third parties, by any action, method, device, or means, follows, monitors, observes, surveys, threatens, or communicates to or about a person or interferes with a person’s property.

Substantial Emotional Distress - Significant mental suffering or anguish that may, but does not necessarily, require medical or other professional treatment or counseling.

The Clery Act requires that schools provide statistics for the following categories of arrests or, if an arrest was not made, referrals for campus disciplinary action:

Liquor Law Violations

Drug Law Violations

Illegal Weapons Possession

The Clery Act follows a hierarchy rule where only the most serious offense is reported in the annual Clery statistics. The hierarchy rule does not apply to the crime log, so all offenses related to the incident would be recorded in the crime log. For example: An incident that includes an aggravated assault and a burglary, would only be reported as an aggravated assault in the annual crime statistics; but both the aggravated assault and burglary would be recorded on the crime log.

Yes. Arson is always reported. But, when multiple offenses occur during an Arson offense, the most serious offense is reported along with the Arson. The new VAWA regulations removes the hierarchy rule in crimes that include a homicide with a sexual assault.

The United States Department of Education is charged with enforcing the Jeanne Clery Act and may level civil penalties against institutions of higher education up to $57,317 per violation or may suspend them from participating in federal student financial aid programs.

The United States Department of Education website has various resources to assist institutions in maintaining full compliance with the Clery Act.  The Handbook on Campus Safety and Security Authority includes guidelines on how institutions must report and manage Clery compliance issues.

Community Partners

More Campus Resources

Student CARE Team: The Holy Cross Student Campus Assessment, Response & Education, or CARE, Team provides coordinated support for students in distress, addressing any concerns about a student’s behavior, academic progress, and personal issues, including physical and mental health.

Emergency Blue Lights: There are blue light emergency phones across campus. Press the red button and Holy Cross public safety will respond immediately.
Contact Us - 24/7 Support

Public Safety

Location
Lower level of The Jo (The Joanne Chouinard-Luth Recreation and Wellness Center). We offer 24/7 support.
Phone
On-Campus Ext.
2222
Cell or Off-Campus Phone
508-793-2222
Fax Email
Office Hours
Sun-Sat (every day)
12 a.m.-12 p.m. (all day)