The inspection took place on 21 and 22 February 2017 and was unannounced. This meant the provider or staff did not know about our inspection visit.The service was last inspected on 3 March 2016, at which time the service was in breach of the Health and Social Care Act 2008 (Regulated Activities) Regulations 2014. At the inspection of 3 March 2016 we identified the following breaches:
Regulation 9 (person centred care)
Regulation 12 (safe care and treatment)
Regulation 13 (safeguarding service users from abuse and improper treatment)
Regulation 17 (good governance)
Regulation 18 (staffing)
During our inspection of 3 March 2016 we found care plans were disorganised and did not reflect person centred care. Person centred care means ensuring people’s interests, needs and choices are central to all aspects of care. At this inspection we found care files had been reviewed and improved, were easy to follow and did contain person-centred information. The service was therefore no longer in breach of Regulation 9 of the Health and Social Care Act 2008 (Regulated Activities) Regulations 2014.
During our inspection of 3 March 2016 we found the provider failed to retest the water supply for legionella in a suitable timeframe following professional advice. We also found personalised emergency evacuation plans (PEEPs) were out of date, there was no emergency ‘grab bag’ in place, the scales used to weigh people had not been calibrated and the temperature of the medicines room had regularly exceeded safe levels. We found during this inspection all these concerns had been addressed. This meant the service was no longer in breach of Regulation 12 of the Health and Social Care Act 2008 (Regulated Activities) Regulations 2014.
During our inspection of 3 March 2016 we found staff knowledge regarding mental capacity required improvement and the management of Deprivation of Liberty Safeguards (DoLS) was disorganised. We found during this inspection that improvements had been made in both regards and the service was no longer in breach of Regulation 13 of the Health and Social Care Act 2008 (Regulated Activities) Regulations 2014.
During our inspection of 3 March 2016 we found there were insufficient auditing and quality assurance processes in place. We found during this inspection a range of auditing processes had been implemented and maintained to good effect. This meant the service was no longer in breach of Regulation 17 of the Health and Social Care Act 2008 (Regulated Activities) Regulations 2014.
During our inspection of 3 March 2016 we found there was insufficient staffing to adequately support people who used the service at lunchtime. At this inspection we found there were sufficient staff to support people at lunchtime, and throughout the day. The service was therefore no longer in breach of Regulation 18 of the Health and Social Care Act 2008 (Regulated Activities) Regulations 2014.
Castle Bank Residential Home is a care home in Tow Law, County Durham, providing accommodation and personal care for up to 28 older people, including people living with dementia. There were 20 people using the service at the time of our inspection.
The service had a registered manager in place. A registered manager is a person who has registered with the Care Quality Commission (CQC) to manage the service. Like directors, 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.
All areas of the building including people’s rooms, bathrooms and communal areas were clean, with infection control risks well managed and appropriately resourced, for example with the support of an infection control champion.
The storage, administration and disposal of medicines was generally found to be safe and in line with guidance issued by the National Institute for Health and Clinical Excellence (NICE). ‘When required’ medicines were supported by specific plans, whilst where people needed topical medicines (creams) we saw body maps were used to ensure staff applied them correctly. Controlled drugs were safely stored and regularly audited.
Risks to people were managed through risk assessments and associated care plans. These risks were reviewed regularly and included advice from healthcare professionals to keep people safe.
Staff displayed a good knowledge of safeguarding principles and the potential signs of abuse. They were clear what to do should they have any concerns and expressed confidence in concerns being taken seriously by management. People we spoke with, their relatives and healthcare professionals consistently told us the service maintained people’s safety.
There were effective pre-employment checks of staff in place, including Disclosure and Barring Service checks, references and identity checks.
Visiting professionals had confidence in staff, giving examples of where staff had sought advice to ensure people’s healthcare needs were met.
Staff completed a range of training, such as safeguarding, health and safety, moving and handling, dementia awareness, infection control, dignity and respect and first aid. A number of staff were completing NVQ Levels 2-5 and confirmed they received good levels of support and encouragement. The system the registered manager used to remind staff to refresh their training needed review, and the registered manager agreed to do this.
Staff had built positive, friendly relationships with the people they cared for and people told us they knew staff well. Staff were supported through regular supervision and appraisal processes.
We saw people had choices at each meal as well as being offered alternatives if they preferred. People spoke positively about the food on offer. We observed staff supporting people to eat and drink in a friendly, attendant manner and the dining experience was pleasant.
The premises benefitted from some aspects of dementia-friendly design, such as signage and contrasting coloured doors, although we found the ongoing refurbishment works had yet to consider people’s individual needs. The refurbishment plans we saw did not incorporate dementia-friendly design and this was something the registered manger committed to reviewing.
Care planning documentation was well organised and sufficiently detailed, whilst staff displayed a good knowledge of people’s needs, likes and dislikes.
Whilst improvements had been made to the standard of person centred care planning, we found there were still improvements to be made, particularly with regard to the environment and activities. The registered manager agreed to review these areas and ensure that people’s individualities and personal histories were considered when planning the environment and activities.
Group activities were planned by an activities coordinator and people told us they enjoyed these activities.
We checked whether the service was working within the principles of the Mental Capacity Act 2005 (MCA). The registered manager displayed a good understanding of capacity and we found related assessments had been properly completed and the provider had followed the requirements in the DoLS.
The atmosphere at the home was welcoming. People who used the service, relatives and external stakeholders agreed.
The service had good community links and the registered manager and administration officer were able to explain how they planned to make new community links to the benefit of people who used the service.
Staff, people who used the service, relatives and external professionals we spoke with knew the registered manager and were positive about their accessibility, knowledge and accountability.