Deaccessioning (museum)
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Deaccessioning is the process by which a work of art or other object is permanently removed from a museum's collection to sell it or otherwise dispose of it.Report from the AAMD Task Force on Deaccessioning. 2010. ''AAMD Policy on Deaccessioning''. The Association of American Museum Directors, June 9, 2010. Retrieved from Accessed November 14, 2015.


Deaccession policy

The process undertaken by a museum to deaccession a work involves several steps that are usually laid out in a museum's collection management policy. The terms under which an object may be considered for removal, as well as the individuals with the authority to approve the process are outlined in the ''deaccession'' section of this article. Additionally, this section lays out the legal restrictions and ethical considerations associated with removal of the object and the types of disposal that are appropriate based on the reason for the deaccession.


Decision process

Each museum establishes its own method and workflow for the deaccession process according to its organizational structure. However all object deaccessioning involves the two processing steps of deaccession and disposal. The process begins with the curator creating a document called a "statement of justification," which outlines their decision criteria and reasoning for presenting the work as a possible deaccession. To determine if a work should be deaccessioned from a museum's collection, a curator or
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completes and documents a series of justification steps and then present their findings to the museum director and governing board for final approval.


Deaccession criteria

There are a number of reasons why deaccessioning might be considered. The following is a typical list of criteria for deaccession and disposal: * The work is no longer consistent with the mission or collecting goals of the museum. * The work is of poor quality and lacks value for exhibition or study purposes. * The physical condition of the work is so poor that restoration is not practicable or would compromise the work's integrity or the artist's intent. Works damaged beyond reasonable repair that are not of use for study or teaching purposes may be destroyed. * The museum is unable to care adequately for the work because of the work's particular requirements for storage or display or its continuing need for special treatment for proper and long term conservation. * The work is being sold as part of the museum's effort to refine and improve its collections, in keeping with the collecting goals reviewed and approved by the museum's board of trustees or governing body. * The authenticity or attribution of the work is determined to be false or fraudulent and the object lacks sufficient aesthetic merit or art historical importance to warrant retention. * The work is a duplicate that has no value as part of a series. * The work may have been stolen or illegally imported in violation of applicable laws of the jurisdiction in which the museum is located, such as the
Native American Graves Protection and Repatriation Act The Native American Graves Protection and Repatriation Act (NAGPRA), Pub. L. 101-601, 25 U.S.C. 3001 et seq., 104 Stat. 3048, is a United States federal law enacted on November 16, 1990. The Act requires federal agencies and institutions tha ...
in the United States; or the work may be subject to other legal claims, such as with works misappropriated under Nazi rule.


Deaccession justification steps

The typical steps that need to be taken to justify the deaccession and disposal of the work include: * Verification of legal status: Staff verifies that the museum possesses official legal title of the work and check their records in order to ascertain if there are any restrictions that exist in the original gift, bequest, or purchase which may hinder or limit disposal options, including transfer of copyright or trademark. ** The need to establish clear and unrestricted title is important because it ensures the museum can dispose of the work the via legal sale without risk of improper title transfer.Malaro, M. and I.P. DeAngelis (2012). A Legal Primer on Managing Museum Collections. Chp. 5: The Disposal of Objects. pp.248–272. Washington D.C.: Smithsonian Institution Press. See '' tangible personal property''. ** Donor restrictions are also uncovered at this stage of the process. Some donor restrictions determined at the gifting or bequest of the work or works may hinder the deaccession and/or the disposal process. *** For example, the museum is looking to deaccession one piece of a set that was gifted and the donor's "deed of gift or bequest" included a request that the set remain together. In this case, the museum might need to seek legal counsel and take the documents to a judge to gain release from the deed of gift or bequest restrictions. ** In the process of determining clear title, provenance research should ideally be conducted, especially if the deaccession process was instigated by a claim of illicit title, such as in the case of a Nazi looted work or stolen work of antiquity. *** See UNESCO Convention on the Means of Prohibiting and Preventing the Illicit Import, Export and Transfer of Ownership of Cultural Property and AAM statement on the "Standards Regarding the Unlawful Appropriation of Objects During the Nazi Er

*Physical examination: A conservator conducts an assessment of the work to determine its current condition, future maintenance needs, and viable disposal options, such as possible sale or destruction. *Object evaluation: Acquiring through one or more appraisers reasonable evaluations of the work would be helpful especially if the work is to be disposed of via sale, auction, transfer or exchange for value in kind with another institution. *Director and/or governing board approval: Following an internal review by all relevant staff, all documentation is presented to the governing board and/or the CEO/museum director for final approval. The workflow and final decision on deaccession is subject to the collection policies workflow and charters for each museum. *Notification of donor and/or external stakeholders: Once the governing board and/or the CEO/museum director approves the deaccession the last step before beginning disposal is the notification of donor and external stakeholders of the deaccession. Although the museum holds clear title of the work and is not obliged by law to contact the donor of intent to deaccession, many museums contact donors or relatives out of courtesy. Museums may also confer with local community advisory groups, such as museum members, local collectors, other local museums, and volunteers about the deaccession to inform and gain community perspective on the work and its value to the collection.


Disposal

Disposal is defined as the transfer of ownership by the museum after a work has been deaccessioned. Following approval of deaccession from the governing board and/or the CEO/museum director, the work is disposed of and the title of ownership is completely transferred away from the museum or terminated. The method chosen is determined by the physical condition of the work, the intrinsic value or cultural value of the work and extrinsic value or monetary value of the work. With all methods of disposal, museums are charged to maintain and retain all records of the object, its deaccession and disposal. The process of disposal is completed through the following methods: *Donation of the object to another museum, library, or archive for educational purposes **This is the ideal disposal choice for museums as it assures that the object will remain accessible to the public. Museums seek out possible institutions where the object might a useful addition to the collection or is better equipped to maintain the object. *Exchange of the object for another object with another museum or non-profit institution **This is another viable method for assuring that the object remains accessible to the public in some way. Exchanges are made in such a way that there is relatively equal value of the items involved, not just monetarily but historically. ***Museum should be able to justify the trade, including any exceptional circumstances that would favor one party over another. This is why obtaining an appraisal of the object from more than one appraiser is a mandatory step in the deaccession process. See ''object evaluation'' above. *Educational and research programs **Often works deaccession from the collection can be reallocated into educational programs, to be used for hands-on demonstrations, school outreach programs, or testing for conservation research. In this case it is understood that the work will be subject to physical destruction over time. In this case, the work would be re-accessioned into a study or educational collection that is not as closely monitored as that of the main collection. *Physical destruction **Objects that may have deteriorated due to an Inherent vice (library and archival science), inherent vice, natural disaster, vandalism, accident, or other causes as well as works that made be considered hazardous, such as those containing drugs, chemicals, explosives, or asbestos should be disposed of via physical destruction. If dealing with hazardous materials, the proper authorities should be consulted to determine the best method of destruction. The method of destruction will depend on the type of material and completed in such a ways as to be irreversible. This is also the best method for works that are found to be fakes or
forgeries Forgery is a white-collar crime that generally refers to the false making or material alteration of a legal instrument with the specific intent to defraud anyone (other than themself). Tampering with a certain legal instrument may be forbid ...
. See ''physical examination'' above. **Human remains or certain items of religious or cultural sensitivity might need to be handled in a prescribed way to meet legal requirements or cultural standards. See NAGPRA from more information. *Repatriation. **Repatriation is the process of returning an object to their place of origin or proper owner. This is method of disposal is used for objects found to be illicitly held by the museum, such as Nazi looted art and objects requested for return according to NAGPRA. The illicit status of an object would be determined upon claim of repatriation via NAGPRA or claim by proper owner, in the case of Nazi looted or other stolen works. In either case, clear title and provenance would be determined during the step in which the legal status is verificated. See ''verification of legal status'' above. *Return to donor. **Similar to the process of repatriation, if the work was donated to the museum and the donor or legal heir can be located at time of deaccession processing, the museum may elect to return the object to the donor. This is not the best option for museums for a few reasons. First, it removes the work from public accessibility and second, it can cause tax complications, as a deduction can be given for a portion of the work's value upon donation and the return of the work to the donor may result in an audit or at least IRS claim on the deduction value previously received. *Private sale and public auction. **Another method of disposal that is not the best option for museums. Museums hold collections in the public trust for public access. Though the best manner in which to generate funds from disposal for future accessions and care of current collection, disposal of works via sale or auction takes the work away from public access and places it into the hands of private citizens.


Deaccession and museum ethics

Several professional museum associations have drafted codes of ethics governing the practice of deaccession. Two majors areas of ethical concern that are common in these codes of ethics are the prohibition of sale or transfer of collection items to museum trustees, staff, board members, or their relatives and the need to restrict the use of proceeds from any works disposed of via sale or auction. The first of these ethical concerns is rather straightforward. The second has become a point of contention in recent years since museums and cities, like Detroit, have been struggling with financial shortfalls. According to the
Association of Art Museum Directors The Association of Art Museum Directors (AAMD) is an organization of art museum directors from the United States, Canada, and Mexico. The AAMD was established in 1916 by the directors of twelve American museums and was formally incorporated in 1969 ...
: "Funds received from the disposal of a deaccessioned work shall not be used for operations or capital expenses. Such funds, including any earnings and appreciation thereon, may be used only for the acquisition of works in a manner consistent with the museum's policy on the use of restricted acquisition funds." This stipulation was relaxed in April 2020 due to the
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and its negative impact on museum revenues, permitting some degree of deaccession through 2022 to "support the direct care of the museum's collection". According to the
American Association of Museums American(s) may refer to: * American, something of, from, or related to the United States of America, commonly known as the "United States" or "America" ** Americans, citizens and nationals of the United States of America ** American ancestry, pe ...
: "Proceeds from the sale of nonliving collections are to be used consistent with the established standards of the museum's discipline, but in no event shall they be used for anything other than acquisition or direct care of collections." According to the AASLH (the American Association for State and Local History): "Collections shall not be deaccessioned or disposed of in order to provide financial support for institutional operations, facilities maintenance, or any reason other than the preservation or acquisition of collections." According to the
International Council of Museums The International Council of Museums (ICOM) is a non-governmental organisation dedicated to museums, maintaining formal relations with UNESCO and having a consultative status with the United Nations Economic and Social Council. Founded in 1946, I ...
: Proceeds should be applied solely to the purchase of additions to museum collections. These associations have each determined to their own degree that all proceeds from sale or auction should be restricted to the future acquisition of collection objects and/ or to the ongoing maintenance of current collection holdings. Their decision and perspective on the practice of deaccession reflects a long-term view of museum collections as items held in public trust and preserved for access, appreciation, education, and enjoyment of not only today's public but the future public. See ''
public trust doctrine The public trust doctrine is the principle that the sovereign holds in trust for public use some resources such as shoreline between the high and low tide lines, regardless of private property ownership. Origins The ancient laws of the Byzanti ...
''. An example of a recent controversy over deaccessioning was
Northampton Museum and Art Gallery Northampton Museum and Art Gallery is a public museum in Northampton, England. The museum is owned and run by West Northamptonshire Council and houses one of the largest collection of shoes in the world, with over 15,000 pairs,statue of Sekhemka A statue is a free-standing sculpture in which the realistic, full-length figures of persons or animals are carved or Casting (metalworking), cast in a durable material such as wood, metal or stone. Typical statues are life-sized or close to ...
to an unnamed buyer despite protests from local residents and the Egyptian government. In 2014, Arts Council England deleted the museum from its accredited list.


Views on deaccessioning

Deaccessioning is a controversial topic and activity, with diverging opinions from artists, arts professionals and the general public. Some commentators, such as Donn Zaretsky of The Art Law Blog critique the notion of "the public trust" and argue that deaccessioning rules should probably be thrown out altogether. Others, such as Susan Taylor, director of the New Orleans Museum of Art and the AAMD's current president, believes that proceeds from the sale or funds from the deaccession can only be used to buy other works of art.


References


External links


''Behind the scenes at the Detroit Institute of Art: Deaccessioning practices''
a 12-minute video.
An Example Collection Management Policy. See Section H. for policies governing the process of deaccession
from the
Whitney Museum of American Art The Whitney Museum of American Art, known informally as "The Whitney", is an art museum in the Meatpacking District and West Village neighborhoods of Manhattan in New York City. It was founded in 1930 by Gertrude Vanderbilt Whitney (1875–194 ...
.
An Article from the ''DePaul Journal of Art, Technology and Intellectual Property Law''
Vol. XXII: 119: Stephens, Heather Hope. 2011. "All in a Days Work: How Museums may approach Deaccessioning as a necessary Collections Management Tool. {{Authority control Museology Collections care