This was an unannounced inspection carried out on 31 May 2018.At the previous inspection in May 2017, we identified some improvements were required in two key areas we inspected; ‘Safe’ and 'Well-led'. This resulted in the service having an overall rating of 'Requires Improvement'. One breach of regulation was found, this was with regard to the Care Quality Commission (Registration) Regulations 2009, the registered provider had not notified us of information they were required to inform us about. The registered provider sent us information on how they intended to improve the rating to at least ‘good’. At this inspection we found some improvements had been made however some improvements were still required.
OSJCT Whitefriars is a ‘care home’. People in care homes receive accommodation and nursing or personal care as single packages under one contractual agreement. CQC regulates both the premises and the care provided, and both were looked at during this inspection.
OSJCT Whitefriars can accommodate up to 57 older people and people living with dementia. On the day of our inspection, 45 people were living at the service. The accommodation is a purpose built, single storey property. It is divided into five self-contained units or 'households' each of which has its own communal facilities and bedrooms. The households are called Fern, Poppy, Lavender and Primrose in each of which nine people can live. The other household is called Jasmine where 20 people can live. All of the households are intended to accommodate people who live with dementia, with Primrose and Jasmine being reserved for people who need the most support.
The service had a registered manager at the time of our inspection who had been in post since March 2018. 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 a legal responsibility for meeting the requirements in the Health and Social Care Act 2008 and associated Regulations about how the service is run.
The registered provider had safeguarding policies and procedures and staff were aware of their responsibility to protect people from avoidable harm and abuse. However, a concern was identified in how the management team had responded to a recent allegation of abuse. Risks associated with people’s needs had been assessed. Whilst staff were aware of people’s needs, recorded information to instruct and guide staff of how to manage risks, lacked detail or was out of date. Risks associated with the environment and premises had been assessed and were monitored regularly.
Safe staff recruitment checks were completed before staff commenced employment. The registered provider used a dependency tool to assess people’s needs and staffing levels required. However, the deployment of staff required reviewing to ensure this was effective in meeting people’s needs.
Some shortfalls were identified in the management of some medicines and with some of the infection control measures in place.
People were not always supported to have maximum choice and control of their lives and staff did not always support them in the least restrictive way possible; the policies and systems in the service were not always followed. Where people lacked mental capacity to consent to their care and support, assessments to ensure decisions were made in their best interest had not always been consistently or fully completed. Where people had a Deprivation of Liberty Safeguards (DoLS) authorisation, staff were aware of this and the person was cared for effectively.
People’s nutritional needs had been assessed, but information to guide and instruct staff either lacked detail or was out of date. People received a choice of meals and drinks and support to eat and drink where required.
The registered provider had policies and procedures that were based on current legislation and best practice guidance. Staff received an induction, ongoing training and support.
People were supported to access health care services and staff worked with external healthcare professionals in the management of their health care needs.
Staff were aware of people’s needs, routines and what was important to them. Staff were kind, caring, and they supported people ensuring their privacy, dignity and respect was met. Independence was encouraged and supported. Information about independent advocacy services was available.
Staff had information to support them to understand people’s needs, preferences and diverse needs. However, this information lacked detail in places or was out of date. People received opportunities to participate in meaningful activities. The provider’s complaint policy and procedure had been made available to people who used the service, relatives and visitors. People and their relatives received opportunities to review the care and support provided. Consideration to people’s advance decisions in relation to their future care needs had been made.
The registered provider had met the Accessible Information Standard because they had considered and assessed people’s communication and sensory needs.
The service had a new and experienced management team and people, relatives and staff were positive about their leadership and improvements made. Systems and processes were in place to monitor and improve the quality and safety of the service. An action plan was in place to drive forward continued improvements. People who used the service and their relatives received opportunities to share their experience about the service.