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Archived: London Care (Holloway)

Overall: Good read more about inspection ratings

Unit 2, Lysander Mews, Lysander Grove, London, N19 3QP (020) 7561 7050

Provided and run by:
London Care Limited

All Inspections

8 January 2016

During a routine inspection

London Care is a domiciliary care agency which provides services to over 300 people, mostly in north London. The service predominantly caters for the needs of older people but also younger people with disabilities or other support needs.

This inspection was short notice which meant the provider and staff did not know we were coming until shortly before we visited the service and our inspection was carried out on 8th January 2016. At the last inspection on 12 January and 9 February 2015 the provider was not meeting all of the requirements we looked at. At that time we found breaches of Regulation 10 (Now regulation 17 of the amended regulations - Good governance) and Regulation 11 (Now regulation 13 – Safeguarding service users from abuse and improper treatment) We had also made three recommendations in the areas of Safe, Effective and Well – Led. At this inspection we found that the provider had taken action to address the breaches and respond to the recommendations.

At the time of our inspection there was a registered manager in post. A registered manager is a person who has registered with the Care Quality Commission to manage the service. Like registered providers, they are ‘registered persons’. Registered persons have legal responsibility for meeting the requirements in the Health and Social Care Act 2008 and associated Regulations about how the service is run.

From the telephone discussions we had with people using the service and relatives we found that people were usually satisfied with the way the service worked with them. People felt able to contact staff at the agency to discuss anything they wished to and care workers were usually viewed as having the right skills to care for people.

In all of the care plans we looked at we found that the service had improved. Risks associated with the care to be delivered were identified and reviewed and were changed whenever any risks were assessed as having changed.

The service had access to the organisational policy and procedure for protection of vulnerable adults from abuse. We asked staff about how they would recognise any potential signs of abuse. All but one member of staff was able to confidently tell us about what they would do; the one who didn’t at first gave clearer responses when prompted. The care coordinators we spoke with said that they had training about protecting vulnerable adults from abuse and were able to describe the action they would take if a concern arose.

We spoke with the manager who explained the system used by the provider for both mandatory and optional training courses. We found the mandatory training covered core skills and knowledge for staff and induction training was in line with the Skills for Care Common Induction Standards and the care certificate.

The agency had detailed policies, procedures or information in relation to the Mental Capacity Act 2005 (MCA). The provider informed us that they were aware of three people using the service who were subject to enduring power of attorney. It should be noted that the agency would not have responsibility for making applications under this legislation. However, they would have responsibility for ensuring that any decision on the MCA 2005 were complied with. Care staff we spoke with demonstrated understanding of this area.

The people that we spoke with were generally very satisfied with the care workers they used and their knowledge and ability to provide care and support.

The care plans we looked at drew attention to individual needs such as how people communicate, their cultural identify and first language. The care plan format contained a short pen portrait of the person as part of the information available to care staff. This helped to provide information which assisted care workers to form a good rapport with the people they cared for.

We found that any complaints that had been made in the last year had been responded to appropriately.

The care provided by staff was clearly set out in all the care plans that we looked at. This included information about people's preferences and individual needs. For example, the times when carers were to call at people’s homes to deliver care was stated along with the numbers of carers required.

Staff members and professionals that we spoke with told us they felt improvements had continued to be made and clear and effective communication between care workers and office based agency staff was usually effective.

There was a clear management structure in place and staff were aware of their roles and responsibilities. Further changes had been made recently with the aim to address issues around the structure and co-ordination of the service.

In discussion with the manager and care co coordinators during our inspection we were told about, and shown, the monitoring systems for the day to day operation of the service. Staff had specific roles and responsibilities for different areas and were required to report to the manager about the way the service was operating and any challenges or risks to effective operation that arose. The systems included monitoring visits and phone calls to people using the service, ongoing contact with placing authorities and monitoring of visits to ensure they were happening at the right time. If late or missed calls arose we found that these were responded to quickly.

The service sought people’s views at least annually and we saw individual examples of feedback that had been received. There was now a formalised system for carrying out recorded surveys apart from people using the service, either quarterly or at least annually. Feedback was also being obtained from staff employed and other professionals in contact with the service.

As a result of this inspection we found that the service was meeting all of the regulations that we looked at.

12 January & 9 February 2015

During a routine inspection

This inspection was short notice which meant the provider and staff did not know we were coming until shortly before we visited the service.

At the time of our inspection there was a registered manager in post. A registered manager is a person who has registered with the Care Quality Commission to manage the service. Like registered providers, they are ‘registered persons’. Registered persons have legal responsibility for meeting the requirements in the Health and Social Care Act 2008 and associated Regulations about how the service is run.

London Care is a domiciliary care agency which provides services to over 300 people in North London. The service predominantly caters for the needs of older people but also younger people with disabilities or other support needs.

From the telephone discussions we had with people using the service and a relative we found that people were usually satisfied with the way the service worked with them. People were confident about contacting staff at the agency to discuss anything they wished to and carers were thought to know how to care for people.

In many of the care plans we looked at, few risks associated with the care to be delivered were identified. We were told that this was because few risks involved although if this was the case it was not actually stated. We recommend that risk assessments more clearly show the general common potential risks considered and identify what is, or is not, specifically relevant to each person.

The service had access to the organisational policy and procedure for protection of vulnerable adults from abuse. We asked staff about how they would recognise any potential signs of abuse. The care coordinators we spoke with said that they had training about protecting vulnerable adults from abuse and were able to describe the action they would take if a concern arose. We were concerned that almost all of the care workers we spoke with seemed to have limited awareness of this when we asked about what they would do.

We spoke with the manager who explained the system used by the provider for both mandatory and optional training courses. We found the mandatory training covered core skills and knowledge for staff and induction training was in line with the Skills for Care Common Induction standards.

The agency had detailed policies, procedures or information in relation to the Mental Capacity Act 2005 (MCA). The provider informed us that they were aware of three people using the service who were subject to enduring power of attorney. Care staff we spoke with demonstrated little or no understanding of this area.

The care plans we looked at drew attention to individual needs such as how people communicate, their cultural identify and first language. The new care plan format contained a short pen portrait of the person as part of the information available to care staff. This helped to provide information which assisted carers to form a good rapport with the people they cared for.

We looked at the complaints record and found that 36 complaints had been made in the last year. The manager informed us that the majority of these had been about communication with the agency and about confusion over when carers were expected. We saw that the complaints had been resolved.

Apart from the registered manager we spoke with six care workers, a local authority commissioning team manager and two co coordinators. Everyone told us they felt improvements had been made to the service since the new manager had come into post but that there were still difficulties about clear and effective communication between care workers and office based agency staff.

In discussion with the manager during our inspection we were told about, and shown, the monitoring systems for the day to day operation of the service. Staff had specific roles and responsibilities for different areas and were required to report to the manager about the way the service was operating and any challenges or risks to effective operation that arose.

The manager told us that they sought people’s views at least annually and we saw individual examples of feedback that had been received. However, we were told that there was no other formalised system for carrying out recorded surveys apart from people using the service, either regularly or at least annually of staff employed, other professionals in contact with the service or stakeholders.

We recommended that the service seeks advice and guidance from a reputable sources about risk assessments, ensure that staff have an increased awareness of the policies, procedures and information in relation to the Mental Capacity Act 2005 (MCA) and that communication between care workers and office based staff be reviewed to improve effectiveness.

There were two breaches of regulations. You can see what action we told the provider to take at the back of the full version of this report.