• Hospital
  • Independent hospital

Archived: Harley Street Skin (Hannah House)

3rd Floor, Hannah House, 11-16 Manchester Street, London, W1U 4DJ (020) 7436 4441

Provided and run by:
Skin@harleystreet LLP

Important: The provider of this service changed. See old profile
Important: We are carrying out a review of quality at Harley Street Skin (Hannah House). We will publish a report when our review is complete. Find out more about our inspection reports.

All Inspections

Unannounced follow up inspection 11 July 2017

During an inspection looking at part of the service

Harley Street Skin – Hannah House is operated by Skin@harleystreet LLP. The service provides

cosmetic surgery and other cosmetic treatments to people over the age of 18 years. The clinic does not have in-patient beds. Facilities include two operating theatres and a three chaired pre assessment/recovery room. The outpatient consultation prior to the procedure itself is provided at the provider’s main Harley Street Skin Clinic at Harley Street which is registered as a separate location and was not inspected as part of this process.

At our last comprehensive inspection of this service on 18 January 2017, we found the following issues that the service provider needed to improve:

• There was no system for checking the expiry date of medicines.

• There was no system for checking the expiry date of single-use items.

• Though there was a system for checking the resuscitation trolley, we found expired single-use items upon checking the trolley.

• There were no records of safety checks on portable equipment or evidence of equipment maintenance.

• The clinic did not use the World Health Organisation (WHO) safety checklist for day surgery cases and the ‘5 steps to safer surgery’ were not used.

• There were very limited competency records held for nursing and theatre staff members.

• There was no evidence to show that staff had up to date safeguarding training.

• There were no formal meetings, including medical advisory committees (MACs) and governance meetings. There was no formal governance structure in place.

• The Disclosure and Barring Service (DBS) records of some of the clinical staff were not up to date.

• There was no clinical audit plan in place. Although consultants reviewed their own cases on a regular basis, there was no formal documentation audit or consent audit.

• There was no documented admission policy

The hospital was in breach of three regulatory requirements and we issued a Warning Notice on 3 April 2017 for the following breaches:

  • Regulation 12 HSCA (RA) Regulations 2014. Safe care and treatment.

  • Regulation 17 HSCA (RA) Regulations 2014. Good governance.

  • Regulation 19 HSCA (RA) Regulations 2014 Fit and proper persons employed.

The purpose of this inspection was to check whether the provider had complied with the Warning Notice. We inspected this service using our focused inspection methodology, which included an unannounced visit to the clinic on 11 July 2017.

We found that the provider had made improvements to the service, which complied with the Section 29 Warning Notice.

Our key findings were as follows:

  • There was a system in place for checking the expiry date of medicines.

  • There was a system for checking the resuscitation trolley.

  • The provider had made significant progress with monitoring and keeping records of safety checks on portable equipment. There was evidence of equipment maintenance.

  • The clinic used the World Health Organisation (WHO) safety checklist for day surgery cases.

  • Staff told us safety huddles had been introduced before the start of every theatre list, led by the lead physician.

  • There were sufficient competency records held for all nursing and theatre staff members.

  • All staff had up-to-date safeguarding training.

  • There was a system to follow up patients within 24 hours post-operatively.

  • The provider had established a medical advisory committee (MAC) and initiated the process of formal meetings. We saw evidence of their first meeting, which was held on 18 May 2017.

  • The Disclosure and Barring Service (DBS) records of the majority of the clinical staff were up to date. For any remaining staff, their applications were in process and we saw evidence of this.

  • There was a clinical audit programme in place, which included a documentation audit and a consent audit.

  • There was a documented admission policy in place.

  • All staff had up-to-date mandatory training, including basic and advanced life support training.

However, the provider is still required to make further improvements regarding the following:

  • There was an improved system for checking the stock and expiry date of single-use items. However, we still found some single-use items that were expired, although the provider told us that these were no longer in use.

  • The pre-assessment questionnaires were not fully comprehensive and all aspects of a patient’s history were not covered during the pre-assessment process. This included psychological assessment and mental capacity.

  • There were gaps in assurance regarding the cleaning of the premises as we found dust on high surface areas.

  • The provider’s Medical Advisory Committee was not yet fully embedded.

  • Staff team meetings had been introduced sine the last inspection, but were not held regularly.

Services we do not rate

  • We regulate cosmetic surgery services but we do not currently have a legal duty to rate them. We highlight good practice and issues that service providers need to improve and take regulatory action as necessary.

Professor Edward Baker

Chief Inspector of Hospitals

Announced inspection 18 January 2017. Unannounced inspection 27 January 2017

During a routine inspection

Harley Street Skin – Hannah House is operated by Skin@harleystreet LLP. The service provides cosmetic surgery and other cosmetic treatments to people over the age of 18 years. The clinic does not have in-patient beds. Facilities include two operating theatres, six consultation rooms and a three chaired pre assessment/recovery room. The outpatient consultation prior to the procedure itself is provided at the provider’s main Harley Street Skin Clinic at Harley Street and was not inspected as part of this process.

We inspected this service using our comprehensive inspection methodology. We carried out the announced part of the inspection on 18 January 2017, along with an unannounced visit on 27 January 2017.

To get to the heart of patients’ experiences of care and treatment, we ask the same five questions of all services: are they safe, effective, caring, responsive to people's needs, and well-led? Where we have a legal duty to do so, we rate services’ performance against each key question as outstanding, good, requires improvement or inadequate.

Throughout the inspection, we took account of what people told us and how the provider understood and complied with the Mental Capacity Act 2005.

Services we do not rate

We regulate cosmetic surgery services but we do not currently have a legal duty to rate them. We highlight good practice and issues that service providers need to improve and take regulatory action as necessary.

We found the following issues that the service provider needs to improve:

  • There was no system for checking the expiry date of medicines.

  • There was no system for checking the expiry date of single-use items.

  • Though there was a system for checking the resuscitation trolley, we found expired single-use items upon checking the trolley.

  • There were no records of safety checks on portable equipment or evidence of equipment maintenance.

  • The clinic did not use the World Health Organisation (WHO) safety checklist for day surgery cases and the ‘5 steps to safer surgery’ were not used. Although the sign-in part of the checklist was incorporated within the operative notes, these were not audited and there was no evidence of compliance with this measure. Other main elements of the WHO checklist, such as face-to-face briefing and debriefing of all staff, were not implemented.

  • All policies were updated in December 2016. Previous versions of policies were updated to reflect changes in national guidance, however, compliance with these policies was not audited.

  • There were very limited competency records held for nursing and theatre staff members.

  • There was no evidence to show that staff had up to date safeguarding training.

  • There were no formal meetings, including medical advisory committees (MACs) and governance meetings. There was no formal governance structure in place. However, the provider showed us documentation of the terms of reference of the MAC and governance committee, which they planned to introduce within the next few weeks.

  • Although senior clinical staff were able to tell us their vision for the service, there was no coherent vision or strategy for the clinic. Junior staff were not aware of the vision or strategy.

  • The Disclosure and Barring Service (DBS) records of some of the clinical staff were not up to date.

  • There was no clinical audit plan in place. Although consultants reviewed their own cases on a regular basis, there was no formal documentation audit or consent audit.

  • There was no documented admission policy.

However, we found the following areas of good practice:

  • All clinic staff we observed treated patients with respect and dignity, throughout all interactions at the clinic. Feedback from patients was very positive about the caring nature of the staff looking after them.

  • The clinic was responsive to feedback and complaints raised by patients, though the numbers were very small.

  • The clinic followed best practice guidelines and was determined to set realistic expectations for patients’ outcomes after surgery. This resulted in a low number of complaints about the procedures offered.

  • Clear information was provided to patients about the cost of their treatment or procedure.

  • Patients and relatives felt involved in their care and treatment and detailed information was given to them prior to the procedure.

  • There was effective system in place for postoperative patients to contact the consultant directly outside of normal working hours.

Following this inspection, we told the provider that it must take some actions to comply with the regulations and that it should make other improvements, even though a regulation had not been breached, to help the service improve. We also issued the provider with a warning notice that affected surgery. Details are at the end of the report.

Professor Sir Mike Richards

Chief Inspector of Hospitals