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  2. Most Tennessee high schools don't want a free one-time sports ...

    www.aol.com/most-tennessee-high-schools-dont...

    Currently, TSSAA bylaws stipulate that a bona fide change of residence must take place from one community to another for a transfer student to be eligible at the new school without sitting out a year.

  3. Why TSSAA hammered Lipscomb Academy football with ... - AOL

    www.aol.com/why-tssaa-hammered-lipscomb-academy...

    A bona fide change of address requires an entire family unit to vacate the previous residence to be recognized under TSSAA bylaws. ... is on restrictive probation through the 2024-25 school year ...

  4. RePublic forfeits remaining 2024 TSSAA football season ... - AOL

    www.aol.com/republic-forfeits-remaining-2024...

    RePublic High School has forfeited the remaining 2024 TSSAA football ... season but would have been ineligible for the TSSAA playoffs this season and the next two seasons per the association's bylaws.

  5. Tennessee Secondary School Athletic Association - Wikipedia

    en.wikipedia.org/wiki/Tennessee_Secondary_School...

    Each school chooses to compete in Division I or Division II. Division I schools are schools which generally allow students to attend without payment of tuition, i.e., public schools, except that tuition may be charged to a student who is a resident of the county in which a school is located but outside of a city school district or special school district, in which case the tuition is the ...

  6. TSSAA football playoff brackets 2024: Tennessee high school ...

    www.aol.com/tssaa-football-playoff-brackets-2024...

    November 16, 2024 at 2:18 AM The TSSAA football playoffs have reached the third round of the Tennessee high school football postseason. For Division I teams in Class 1A through 6A, the TSSAA ...

  7. Brentwood Academy v. Tennessee Secondary School Athletic Ass'n

    en.wikipedia.org/wiki/Brentwood_Academy_v...

    Brentwood Academy v. Tennessee Secondary School Athletic Association, 531 U.S. 288 (2001), is a United States Supreme Court case concerning whether the actions of an interscholastic sport-association that regulated sports among Tennessee schools could be regarded as a state actor for First Amendment and Due Process purposes. [1]