This inspection took place on 18 and 19 October 2018 and was announced. Smithfield Health & Social Care Limited t/a Verilife, is a domiciliary care agency. It provides personal care to people living in their own houses and flats. At the time of the inspection 171 people were using the service, of which 151 people received regulated activity; CQC only inspects the service being received by people provided with ‘personal care’; help with tasks related to personal hygiene and eating. Where they do we also take into account any wider social care provided.The service had 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.
We inspected Smithfield Health & Social Care Limited t/a Verilife, in January 2017 and found significant shortfalls. We found two breaches of the fundamental standards and regulations. Staff were not always deployed in a way that met people’s needs. Effective systems were not in place to monitor and address late visits and the provider was not taking sufficient action to improve the service.
We took enforcement action and issued a warning notice relating to 'Good Governance' and told the provider to meet the fundamental standards by 12 April 2017. We followed up on the warning notice and we inspected the service on 15, 16 and 21 August 2017. We found that the provider had made improvements to the systems used to assess and monitor the quality of the service; however further improvement was required in specific areas of quality assurance and call monitoring. The service was rated overall requires improvement at June 2017 and in August 2017 inspections.
At this inspection we received a mixed response from people, their relatives and staff about the management of the service. We found the provider had not always monitored and analysed short, early or late calls, to identify patterns and improve on the service. The provider had not acted to make sure that risk assessments included appropriate guidance for staff on how identified risks should be managed. Care plans we reviewed did not always reflect people’s current needs and had not been updated when their needs had changed. The provider had identified communication needs for people but had no guidance in their care plan for staff about how to meet them.
You can see what action we told the provider to take at the back of the full version of the report.
People and their relatives told us they felt safe. The provider had clear procedures to recognise and respond to abuse. All staff had completed safeguarding training. The service had a system to manage accidents and incidents and to reduce recurrences. People were protected from the risk of infection.
The service had enough staff to support people’s needs and had carried out satisfactory background checks for staff before they started working at the service. The service had an on-call system to make sure staff had support outside of office working hours.
Staff supported people to take their medicines safely. The provider had a policy and procedure which gave guidance to staff on their role in supporting people to manage their medicines safely.
The service provided an induction and training, and supported staff through regular supervision and spot checks to help them undertake their role.
People were supported to have maximum choice and control of their lives and staff supported them in the least restrictive way possible; the policies and systems in the service supported this practice. People consented to their care before it was delivered. The provider and staff understood their responsibilities within the Mental Capacity Act 2005. Some people lacked capacity to make important decisions about their care and the provider had documented best interest decisions, when decisions had been made on their behalf.
Staff supported people to eat and drink enough to meet their needs. People’s relatives coordinated their health care appointments and health care needs, and staff were available to support people to access healthcare appointments if needed. People’s personal information about their healthcare needs was recorded in their care records.
People and their relatives said staff were caring. People were supported to be as independent as possible. Staff involved people and their relatives where appropriate, in the assessment, planning and review of their care needs. People’s care records showed that they were involved in planning and subsequent reviews of their care. Staff showed an understanding of equality and diversity.
The service had a complaint policy and procedure in place. People knew how to make a complaint and told us they would do so if necessary. Each person had a care plan which contained information about people’s personal life and social history, their health and social care needs, allergies, family and friends, and contact details of health and social care professionals. The provider had systems and processes in place to support people with end of life care, in line with their wishes.
The registered manager held staff meetings, where staff shared learning and good practice so they understood what was expected of them at all levels. We observed staff were comfortable approaching the registered manager and their conversations were friendly and open.
People’s views were sought to improve on the quality of the service. The service had a positive culture, where people felt listened to and included in making decisions. The service worked effectively with health and social care professionals and commissioners. Feedback from a social care professional stated that the provider made improvements since the previous inspection in August 2017.