This inspection was carried out over two days on 14 and 15 July 2016 and the inspection was unannounced.Red Lodge is owned by the Joseph Rowntree Housing Trust (JRHT). The home is situated in New Earswick to the north of York city centre. Each person living at the home has their own flat, furnished with their own furniture, and access to a range of communal areas, which include a restaurant, communal lounges and quiet areas. The home has its own car parking and benefits from outside garden and seating areas.
Red Lodge provides a care home service without nursing care and incorporates a domiciliary care service, which assists people residing in the on-site sheltered accommodation. The home is registered to provide care and support for up to 42 older people, some of whom have a learning disability or autistic spectrum disorder. At the time of our inspection there were 35 people receiving a service.
The home had a manager in place and the registered provider had submitted an application to the Care Quality Commission (CQC), which was being processed to certify the individual as the registered manager. A registered manager is a person who has registered with the CQC 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 saw people received care and support that was managed by a wide range of risk assessments for the individual, the home and the environment. However, we found that risk assessments were not always appropriate or person centred and where people’s needs had been reviewed, resulting actions had not always been implemented.
We found that environmental risk assessments and reviews had been completed to help protect people and others from the risk of fire and waterborne diseases but at the time of our inspection, resulting actions were outstanding and remedial actions had not been implemented in a timely manner.
The registered provider showed us a health and safety file that contained reference to a policy and procedure for accident and incident reporting but the document was not available. We found that documented outcomes for and evaluations of accidents had not been completed to identify trends and reduce the risk of re-occurrence.
The registered provider undertook pre-employment checks for care workers they employed. These included checks with the Disclosure and Barring Service (DBS), details of pre-employment references, application forms and right to work in the UK documents. The provider undertook some additional checks when recruiting agency staff. However, these checks were inconsistent and failed to provide information to demonstrate care workers who worked in the service from employment agencies were always suitably trained and of appropriate character to work with vulnerable people.
People and care workers we spoke with voiced their concerns around the number of care workers available during the night shift. We were informed that staffing was reviewed and was adjusted dependent on the number of number of residents, their needs and any planned activities. People had access to a call system and care workers responded to people on an individual basis. We recommended the registered provider undertook a review of the effectiveness of night staffing.
People we spoke with told us they felt safe. Care workers we spoke with had received training in and understood how to recognise signs of abuse and discussed appropriate action they would take if they had concerns. We saw a safeguarding policy and procedure, however, the whistleblowing policy was in the process of being updated and a copy was not available in the file at the time of our inspection. Safeguarding concerns were managed appropriately with guidance sought from the relevant safeguarding authorities.
Safe systems and processes for the management of medicines were in place. Medicines were administered safely by care workers who had received appropriate up to date training. However, the policy statement for the management of medications required updating.
We found that the registered provider was implementing an induction programme for all new employees that reflected the care certificate. Despite a process in place to provide supervisions, one to ones and annual appraisals, these had not always been completed.
Training for employees was managed electronically ensuring care workers received appropriate training at the right time and included adaptions to meet people’s individual care and support needs.
Staff had received training and understood the requirements of The Mental Capacity Act 2005. We looked at people's care plans and saw people or their representatives were involved in their care planning and where people had capacity, consent had been sought that confirmed they agreed with the care and support provided. There was evidence that for those people unable to make decisions about their care, decisions were made in their best interests using an appropriate process.
People were supported to maintain good health. Care plans contained detailed information to ensure people had access to relevant health professionals to support them with a holistic approach and enable them to remain healthy.
People’s dietary requirements were noted in their care plans and the chef ensured that food provided met with people’s individual requirements.
People and their families told us and we saw that care workers provided compassionate and person centred care that was centred on the individual. The manager told us people were assigned a key worker as their main point of contact. However, people were not always clear who this was.
People were treated respectfully and their dignity was maintained at all times. Care workers understood the importance of this and told us how they recognised and maintained people’s confidentiality.
People had received an initial assessment of their needs as part of their application process to the home to receive either residential or community care in their own rooms. This enabled the registered provider to ensure they were able to meet the person’s needs and to ensure the service was right for the individual.
We observed a number of activities took place at the home. People were supported to follow their interests and take part in social activities and were protected from social isolation.
People knew how to complain if they were unhappy about any aspect of the service. We saw that information from complaints and compliments was collated and fully investigated with a view to future learning and improvement.
People, staff and relatives we spoke with told us that they felt the manager was approachable and was working hard to improve the standards of care at the home. There was a clear management structure in place and staff had an understanding of their roles and responsibilities.
We found three breaches in the Health and Social Care Act 2008 (Regulated Activities) Regulations 2014 in relation to the staffing, supervisions and risk management. You can see what action we told the provider to take at the back of the full version of this report.