Southport and Ormskirk NHS Trust has two hospitals and a walk in centre and provides community services to a local population of 258,000 people across Southport, Formby, Sefton and West Lancashire. The health of people in Sefton is mainly worse compared with the England average. The trust is an integrated care organisation (ICO), delivering care in hospital and the community and employs approximately 3,242 staff of which 270 are medical, 1,052 are nursing and 1920 are other disciplines.
Acute care is provided at Southport and Formby District General Hospital and Ormskirk District General Hospital and had 23,084 admissions between September 2014 and August 2015. There are 497 beds, 455 General and acute, 27 Maternity and 15 Critical care.
We conducted a focussed follow up inspection of Southport and Ormskirk NHS Hospitals Trust between 8 and 11 April 2016. This was to review the progress of the trust following a previous inspection in November 2014 when concerns were raised. We visited Southport and Formby District General Hospital, Ormskirk District General Hospital and the Skelmersdale Walk in Centre. We also visited the community services for adults, end of life and children and young people’s sexual health services.
We reviewed all the services across the trust including all the areas of concern which were raised at the previous inspection in order to assess any changes.
Overall the trust has been rated as requires improvement with significant concern for safety identified in the Accident and Emergency Department and the surgical services at Southport and Formby District General Hospital. However, there was improvement noted in both the maternity services and the North West Regional Spinal Injuries Centre which both received inadequate ratings at the last inspection.
Our key findings were as follows:
Vision, Strategy and leadership
At the time of the inspection the trust had been led by an interim executive team with the exception of the Director of Nursing and the Medical Director. Interim management arrangements had been in place for the eight months prior to the inspection following the exclusion of three directors including the Chief Executive Officer. The Trust Development Agency (now NHS Improvement) had been and were continuing to support the trust through this challenging period.
The interim team had begun to explore and develop options for the future to in line with national and regional initiatives to change the healthcare landscape in terms of the development of sustainable services, however, at the time of our inspection definitive outcomes had yet to be determined. This limited the trusts ability to demonstrate a clear vision and strategy for the organisation going forward.
Staff engagement had been foremost and the interim executive team had made considerable efforts to engage and be visible to staff at a range of engagement meetings.
There were significant failings within the governance processes of the organisation including a lack of Board oversight of all risks and inconsistent use of the committee structures to provide board assurance. In addition, the pharmacy governance arrangements would not clearly support the principles of the medicines safety alert ‘Improving medication error incident reporting and learning, March 2014’ with regard to identifying, developing and promoting best practice for medication safety.
This was the case despite two never events occurring that related to appropriate medicines management. At the time of our inspection there was no designated committee to lead on the review of medication errors throughout the Trust, and in the absence of a champion, a pilot initiative to collect data for the NHS Medicines Safety Thermometer had been discontinued.
Access and flow
There were significant concerns regarding the management of flow through the hospital despite the trust taking action to promote discharges earlier in the day to allow for admissions from the emergency department.
There continued to be very poor performance regarding patients being seen within four hours in the A&E department with extensive waits for patients who remained in the supervision of the ambulance service for up to 11 hours. Percentage compliance rate against the 4 hour A&E wait differed between the two hospital sites with Ormskirk delivering at high percentages but the Southport site was performing at much lower levels. Over January 2016 Southport performed between 51% and 75% against the Ormskirk site performance between 99% and 100%. This meant that the trust wide performance was between 80% and 89% masking the very poor performance at the Southport site. Year-to-date performance at February 2016 was 92.9%, driven primarily by performance of 60.4% at Southport. February 2016 performance was 84.5% (53.7% in Southport).
The Trust continued to breach the ambulance handover target and performance remained poor with significant breaches in December 2015 and January 2016 (203 '30 minute', 271 '60 minute' up on December's 142 & 159).
We found elements of care for patients with sepsis that were worse than the regional average and in at least one case where the patients care had been poor. We also found that the recording and governance of this patients care was poor.
Other contributing factors included lack of bed space for planned admissions and a lack of escalation facilities at times of high demand. This meant that patients were often placed in areas unsuited to their needs or remaining in the A&E department for long periods of time.
We found that staff did not always assess monitor or manage risks to people who use the services and opportunities to prevent or minimise harm were missed. Medically deteriorating patients were not always identified promptly and when they were identified through the electronic EWS it was reported that out of hours there could be a delay before medical assessment was undertaken. We also saw evidence of a delay in the response time of the critical care outreach team to a patient with a high early warning score. We found that nutritional risk assessments were not always completed for patients who were clearly vulnerable. In addition fluid balance charts were not consistently kept updated on all wards.
The GP assessment area was used as an escalation area for medical patients and consequently there was underutilisation of ambulatory care. There were surgical patients waiting in the emergency department for assessment causing additional 4 hour breaches.
Patients on the acute wards waited for rehabilitation beds at Ormskirk DGH and there were delayed discharges of medically fit patients.
Nurse and midwifery staffing
The nursing and midwifery teams were positive about the impact of the Director of Nursing in terms of support and service improvement, however it was acknowledged that there was still much to do in terms of recruiting suitable and sufficient numbers of staff within both disciplines.
Recruitment and retention of nursing and midwifery staff was a long standing challenge for the trust and although some progress had been made there were still significant numbers of vacancies, 5% in senior nurses; 7% for nurses below band 7 and 5% in non-clinical staff.
Medical staffing
The recruitment of suitable and sufficient numbers of medical staff was also a managerial challenge at the time of our inspection there remained a 9% medical staff vacancy rate across the trust with 12% vacancy rate within consultants; 11% in other medical grades. We found that medical rotas were not well managed and governed. There was a reactive approach to completing rotas often at the last minute and a lack of oversight by senior staff.
There were ongoing concerns regarding the trusts approach and ability to recruit and retain medical staff.
Mortality and morbidity
The 12 month HSMR to October 2015 was 101.7 (as expected) and was on a downward trajectory reaching 95.2 to November 2015. However mortality due to pneumonia remained high with the report commissioned from Dr Foster in March 2016 showing the HSMR for 12 months to November 2015 as 122.6 and the SHMI for 12 months to June 2015 as 116.8.
There was a lack of consistency to the application and evaluation of the trusts mortality and morbidity review. This meant there may have been missed opportunities for learning and improvement in some services where the process was not appropriately applied of monitored.
Incident reporting
At the time of the inspection he trust was ranked 87 of 137 similar sized organisations for the reporting of incidents The senior team acknowledged the need to increase the reporting of incidents including near misses so that potential risks could be mitigated and opportunities for learning and improvement applied.
There was a lack of risk awareness across the trust and new incident reporting systems within the policy were not fully embedded or understood.
There had been two Never Events reported in the last 12 months both related to medicines management but our review demonstrated that learning had been shared following investigation.
Environment and equipment
The management and replacement of equipment was better managed than at our previous inspection in November 2014 although there remained some areas of concern. In maternity one of the rooms used as a theatre was found not to be fit for purpose and has since been removed from use. Additionally the rehabilitation ward at Ormskirk was unsuitable for the safe and appropriate observation of patients this ward has since moved to an alternative more suitable location.
There were also concerns around the use of the theatre recovery area as an escalation area. This did not meet the needs of the patients and was a potential safety risk. Since our inspection, the trust has ceased this practice.
Mandatory Training
Mandatory training did not meet the trusts targets in 13 of 14 key areas. There was little improvement on the situation as it was in February 2015. The trust target for mandatory training was 90% but in many areas across all disciplines uptake was as low as 30% in some topic areas. In January 2016 Fire training uptake was 67% against a target of 90%; Basic resuscitation training uptake was 76% against a target of 90%; Infection control training uptake was 76% against a 100% target.
Patient Outcomes
There were concerns regarding the assessment and timely care to patients within the emergency department and the monitoring, escalation and treatment for patients whose condition deteriorated whilst they were in the trust in line with the introduction of an electronic EWS. We found examples in the surgical services were nursing staff had not completed the patient observations as per the policy and also had not escalated deteriorating patients to the medical team in a timely way. We raised this with the trust and these incidents were investigated. We were informed that there were some concerns regarding the electronic systems reliability and this was being investigated further.
Safeguarding
Safeguarding had been identified by the trust as an area requiring improvement but actions were on hold pending the results of a second service review. A new appointment to the leadership of the safeguarding service had been made but it was recent and too early to determine the impact on practice. Safeguarding training uptake was good across all disciplines except for administrative staff where it was reported as 0% in the urgent care service.
Fit and Proper Persons Regulation (FPPR)
The trust included the FPPR within the trusts recruitment and selection policy and the procedure was initiated in March 2015. The procedure met the requirements with the exception of the reviews for non-executive directors.
The interim executive’s files were being held centrally by NHS Improvement at the time of the inspection as they held the responsibility for recruitment. However of the seven files of executive and non-executive appointments since November 2014 that were available for review, none contained all the information mandated within the trust policy.
It was evident from our review of records and incidents that although the trust was aware of its obligations in terms of the fit and proper person regulation, a robust process had not been robustly or consistently applied.
Duty of Candour
The duty of candour is a regulatory duty that relates to openness and transparency and requires providers of health and social care services to notify patients (or other relevant persons) of certain ‘notifiable safety incidents’ and provide reasonable support to that person.
Duty of candour was not fully reflected in the trusts DOC guidance, policies were not cross referenced and the description of incidents that require DOC consideration did not include those incidents where moderate/severe harm was identified within a complaint and so were not consistently applied. Assurance processes were not robust and failed to identify all cases where the regulation must be applied due to a lack of a mandatory field within the electronic incident management system in regards to DOC. Staff knowledge and understanding of the DOC regulations was understood at department level however there were limited examples of the Doc being robustly applied.
Workplace Race Equality Standards
The trust was not compliant with Public Sector Equality Duty, which requires objectives to be reviewed annually and published every four years which has not happened and the cycle for 2016-17 was not under way. The contractual requirement for trusts to publish their results for the Workforce Race Equality Standard had not been met as neither had been produced nor published.
The BME consultant focus group recognised improvements since the interim board appointments had been made but still reported perceived discriminatory behaviour towards senior consultants specifically relating to inappropriate practices during recruitment processes and inappropriate use of MHPS and disciplinary processes.
The trust had instigated an independent investigation into these concerns following the previous inspection; however, a number of senior consultants considered opportunities were missed in terms of the scope of the review.
In addition, clinicians felt there was a lack of engagement in terms of their inclusion in service planning and future provision. There was no current clinical strategy and the review of the 2012-15 clinical strategy had not yet commenced.
They had subsequently made the interim Chief Executive and Chair aware of their concerns at an MSC meeting in October 2015. Since then, the Chair of that group had been given assurances that MHPS procedures would be better supervised and used appropriately.
However, a number of consultants continued to feel that further changes were required as they felt that there was very limited engagement and opportunities for inclusion.
However;
We saw significant improvements across all aspects of patient care and treatment at the North West Regional Spinal Injuries Unit that was rated as inadequate for safety at the last inspection. It is now rated as Good with some aspects of outstanding care practice.
We also saw improvement within the maternity service which was also rated as inadequate in the safety and well led domains at the last inspection. This rating has improved to requires improvement in both domains.
The new DON was having a positive impact in relation to the nursing agenda and nursing staff engagement.
We also found a lack of pace to the implementation of required improvements and a number of the improvements required at our last inspection were still to be implemented.
We saw several areas of outstanding practice including:
- The NWRSIC service had developed improvement in information for healthcare professionals. For example, following assessment, the outreach team had produced a document with written advice and instructions. This document had been developed by the NWRSIC by taking into account standards and protocols for SCI management practised nationally. This document has also been developed in co-operation and discussion with the outreach team at the Midlands Spinal Injuries Centre at Oswestry.
- The centre has been pivotal in providing training to other Spinal and Rehabilitation Centre’s for the development of intrathecal baclofen pump services.
- The additional capacity the outreach service has brought to the centre had enabled patients referred to the centre from major trauma centres to be admitted faster. The length of referral to admission is now reducing ensuring patients are able to commence their rehabilitation sooner. However, there were also areas of poor practice where the trust needs to make improvements.
Importantly, the trust must:
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Assess, monitor and act on the serious concerns raised regarding both the emergency department and surgical services. Particularly around EWS and sepsis management.
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Ensure that the governance mechanisms are robust enough to ensure the Board has clear oversight of all risks within the organisation.
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Ensure that all executive and non-executive appointees since November 2014 have been reviewed and documentation is held in line with the trusts policy for recruitment and selection in regards to the Fit and Proper person regulation.
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Improve the management of risk including the embedding of the revised processes for serious incident reviews including the use of RCA by trained staff and meet the timescales of their policy for Board oversight.
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Improve the adherence to the use of and escalation resulting from the use of the Early Warning Score electronic system.
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Improve the rigor of the Duty of Candour application.
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Improve the consistency and learning from mortality review processes.
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Ensure that they address all the actions detailed within the location reports.
Professor Sir Mike Richards
Chief Inspector of Hospitals