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{{org_field_name}}

Registration Number: {{org_field_registration_no}}


Prevention of Falls and Injury Policy

1. Purpose

At {{org_field_name}}, we are committed to ensuring the safety, well-being, dignity and independence of people we support by reducing the risk of avoidable falls and fall-related injury during the delivery of regulated activity and support in people’s own homes, tenancies and community settings. In supported living, people have the right to make choices and take positive risks. This policy therefore balances safety with independence, choice, mental capacity, consent and least restrictive practice.

This policy serves to:

This policy supports compliance with the CQC fundamental standards, particularly Regulation 9, person-centred care; Regulation 10, dignity and respect; Regulation 11, need for consent; Regulation 12, safe care and treatment; Regulation 13, safeguarding; Regulation 15, premises and equipment where these are within the provider’s control; Regulation 17, good governance; Regulation 18, staffing; Regulation 19, fit and proper persons employed; Regulation 20, duty of candour; and the Care Quality Commission Registration Regulations 2009, including statutory notifications where a fall results in serious injury, death, abuse concerns or another notifiable incident.

At {{org_field_name}}, we believe that every service user has the right to feel safe in their own home, and through this policy, we aim to proactively reduce risks while promoting confidence, mobility, and overall well-being.

2. Scope

This policy applies to all people supported by {{org_field_name}} where falls risk may be present, including people aged 65 or over and people aged 50 to 64 with one or more factors that may increase their risk of falling, such as a long-term condition, learning disability, dementia, Parkinson’s disease, diabetes, stroke, frailty, reduced mobility, sensory impairment, medication side effects, previous falls, poor balance or environmental hazards.

This policy applies to all service users supported by {{org_field_name}} who may be at risk of falls due to:

Supported Living Responsibilities and Boundaries

In supported living, {{org_field_name}} recognises that people usually live in their own homes under their own tenancy or occupancy agreement. Staff must respect the person’s home, choices, privacy and independence. Where environmental risks are identified, staff must discuss these with the person and, where appropriate, their representative, landlord, housing provider, occupational therapist, local authority or other relevant professional.

{{org_field_name}} is responsible for assessing and managing falls risks connected with the regulated activity and support it provides. Where risks relate to the wider property, building maintenance, fixtures, fittings or adaptations outside the provider’s direct control, staff must escalate concerns promptly to the responsible person or organisation and record the action taken. Where an unresolved environmental risk presents immediate or significant risk of harm, this must be escalated to the Registered Manager and, where appropriate, safeguarding, the local authority, health professionals or emergency services.

This policy also applies to all staff members, including:

What This Policy Covers

This policy outlines:

3. Legal and Regulatory Framework

{{org_field_name}} will comply with all legislation, regulations and statutory guidance relevant to falls prevention, safe care and supported living in England. This policy must be read alongside the organisation’s policies on risk assessment, safeguarding, mental capacity, medicines, moving and handling, health and safety, incident reporting, complaints, duty of candour, CQC notifications and record keeping.

3.1 Health and Social Care Act 2008

The Health and Social Care Act 2008 establishes the Care Quality Commission and the system of registration and regulation for providers carrying on regulated activities in England. The Act requires regulated providers to comply with registration requirements and regulations made under the Act. CQC’s main objective is to protect and promote the health, safety and welfare of people who use health and social care services.

3.2 Health and Social Care Act 2008 (Regulated Activities) Regulations 2014

This policy supports compliance with the following regulations:

3.3 Care Quality Commission Registration Regulations 2009

{{org_field_name}} must submit statutory notifications to CQC where required. Falls may require notification where they result in death, serious injury, abuse or alleged abuse, police involvement, an event that prevents the service from running safely and properly, or another notifiable incident. CQC states that providers must notify it about certain changes, events and incidents that affect the service or people who use it.

3.4 NICE NG249: Falls Assessment and Prevention

The organisation will follow NICE NG249, Falls: assessment and prevention in older people and in people 50 and over at higher risk. NICE recommends asking people in community settings about falls, tailoring interventions to individual risk factors, considering structured medication review, offering home hazard assessment and intervention using a validated tool, encouraging tailored exercise programmes delivered by appropriately trained professionals, and providing information to people and families about reducing falls risk and what to do after a fall.

3.5 Other relevant legislation and guidance

This policy also supports compliance with the Care Act 2014, Mental Capacity Act 2005, Equality Act 2010, Health and Safety at Work etc. Act 1974, Management of Health and Safety at Work Regulations 1999, Manual Handling Operations Regulations 1992, Reporting of Injuries, Diseases and Dangerous Occurrences Regulations 2013, Data Protection Act 2018 and UK GDPR.

4. Principles

At {{org_field_name}}, we believe that fall prevention is about more than just avoiding accidents—it’s about enhancing confidence, independence, and quality of life for our service users. Our approach is guided by the following core principles:

4.1 Safety First

4.2 Person-Centred Approach

4.3 Promoting Independence

4.4 Dignity and Respect

4.5 Positive Risk-Taking, Consent and Least Restrictive Practice

Falls prevention must not remove a person’s independence unnecessarily. Staff must support people to understand risks and make informed choices. Where a person with capacity chooses to take a risk, staff must respect this decision while taking reasonable steps to reduce avoidable harm. Where there is concern that the person may lack capacity to make a specific decision about mobility, equipment, support, environmental changes or emergency response, staff must follow the Mental Capacity Act 2005. Any best interests decision must be decision-specific, least restrictive, recorded clearly and involve the person and relevant others as appropriate.

4.6 Training and Awareness

5. Identifying and Assessing Risks

We take a proactive approach to identifying and assessing risks associated with falls. Our aim is to detect potential hazards early, enabling us to implement effective preventative measures and support service users in maintaining safe mobility in their homes.

Initial Risk Assessments

Before beginning care with {{org_field_name}}, every service user undergoes a detailed falls risk assessment as part of their initial care plan assessment. This assessment allows us to identify factors that may increase the risk of falls and put preventative measures in place from day one.

During the initial assessment, we consider:

Following this assessment, a personalised fall prevention plan is developed to address identified risks and support the service user in maintaining a safe living environment.

Staff must not rely solely on a numerical falls risk score or checklist. Tools may support structured assessment, but professional judgement, the person’s history, current presentation, environment and the views of the person and relevant professionals must be considered. NICE NG249 states that falls risk prediction tools should not be used to predict a person’s risk of falling.

Ongoing Risk Monitoring

Falls risk is not static—it can change over time due to age-related decline, health conditions, or new medications. At {{org_field_name}}, we conduct regular risk reviews to ensure our support remains responsive to our service users’ evolving needs.

Our approach includes:

If any significant change is identified, the person’s falls risk assessment and care/support plan must be reviewed without delay. This includes, but is not limited to, a fall, near miss, change in mobility, new or changed medicine, hospital admission or discharge, new equipment, change in cognition, infection, dizziness, new pain, weight loss, dehydration, deterioration in vision or hearing, environmental change, safeguarding concern, or staff/family concern. Any changes must be communicated to all relevant staff and recorded in the person’s care records.

Environmental Risk Assessments

At {{org_field_name}}, we recognise that many falls occur due to preventable environmental hazards within the home. As part of our safety-first approach, we conduct environmental risk assessments to ensure service users’ homes are as safe as possible.

Key areas of focus include:

Home hazard assessments must be proportionate to the person’s needs and should use a recognised or validated approach where available. Where risks are complex, recurrent, disputed, or require adaptations or specialist equipment, staff must request or recommend referral to an occupational therapist, physiotherapist, falls service, GP or local authority as appropriate.

In supported living, staff must record whether the risk is within {{org_field_name}}’s control. Where the risk relates to the property or tenancy, staff must obtain the person’s consent where required and escalate the concern to the landlord, housing provider, occupational therapist, local authority, family/representative or other responsible party. Where the person refuses an environmental change, this must be recorded with the advice given, the person’s decision, any capacity consideration and any agreed alternative risk reduction measures.

These assessments are reviewed and updated regularly to ensure that service users’ homes remain as safe and fall-proof as possible.

6. Preventative Measures

We believe that preventing falls is more than just reducing risk—it’s about promoting confidence and independence. Our preventative measures are personalised to each service user, ensuring that they can continue to live safely and comfortably at home.

Personalised Fall Prevention Plans

We understand that every service user has unique mobility needs, which is why our approach to fall prevention is fully tailored.

Fall prevention plans must be co-produced with the person and, where appropriate, their family, advocate, representative and involved professionals. The plan must identify the person’s specific falls risks, agreed preventative actions, the level of support required, equipment to be used, what staff must do, what the person prefers to do independently, what to do if risks increase, and when the plan must be reviewed.

Each service user’s fall prevention plan includes:

By taking a holistic and individualised approach, we empower service users to move with confidence while reducing their risk of injury.

Home Safety Modifications

At {{org_field_name}}, we work closely with service users and their families to implement small changes that make a big difference in fall prevention.

Some of the key home safety modifications we recommend include:

Even simple adjustments like moving furniture to create safer walking paths can significantly reduce fall risks while maintaining a comfortable and familiar home environment.

Medication Review

Some medicines can increase falls risk by causing dizziness, drowsiness, confusion, low blood pressure, impaired balance, dehydration or changes in alertness. Staff must monitor and report any concerns about medicines that may contribute to falls, including recent changes in medicines, missed doses, side effects, over-sedation or changes in the person’s presentation.

Where a medication-related falls risk is identified, {{org_field_name}} will, with the person’s consent where required, request or recommend a structured medication review by the GP, pharmacist, prescriber or relevant healthcare professional. Particular attention must be given to polypharmacy, antihypertensives, diuretics, sedatives, pain medicines, medicines associated with dependence or withdrawal, and psychotropic medicines.

For people taking psychotropic medicines, staff must ensure concerns are escalated for professional review. The increased risk of falls associated with psychotropic medicines should be discussed with the person by an appropriate healthcare professional, and withdrawal or adjustment should only be planned by the prescriber or specialist service where clinically appropriate.

Exercise and Strengthening

Falls often result from reduced strength, balance, and coordination. We encourage service users to participate in simple, low-impact exercises that help maintain:

Where appropriate, we:

Formal falls prevention exercise programmes must only be recommended, designed or delivered by appropriately trained professionals or under appropriate professional guidance. Programmes should be progressive, tailored to the person’s needs, preferences, goals and abilities, and focus on relevant areas such as balance, coordination, strength, power, mobility and functional activity. Staff may encourage and support agreed exercises only where these are included in the person’s care/support plan and staff have been trained or instructed to support them safely.

Footwear and Clothing

At {{org_field_name}}, we understand that inappropriate footwear or clothing can increase fall risks. We guide service users on safe choices, such as:

Simple adjustments in daily dressing habits can make a big difference in reducing the likelihood of trips and falls.

Nutrition, Hydration, Continence, Vision and Hearing

Falls risk may increase where a person is dehydrated, malnourished, rushing to the toilet, experiencing continence urgency, unable to see hazards clearly, unable to hear prompts, or experiencing dizziness or weakness. Staff must monitor and report concerns about hydration, nutrition, weight loss, appetite, continence, vision, hearing, dizziness or signs of acute illness.

Where concerns are identified, staff must seek consent to involve the GP, pharmacist, optician, audiologist, continence service, dietitian, community nurse, occupational therapist, physiotherapist or falls service as appropriate. Any advice received must be recorded and reflected in the person’s care/support plan.

Equipment and Assistive Technology

Mobility aids, moving and handling equipment and assistive technology must only be used where suitable for the person, properly assessed, correctly fitted or installed, maintained, and included in the person’s care/support plan. Examples may include walking frames, sticks, wheelchairs, transfer aids, grab rails, sensor mats, falls detectors, pendant alarms or call systems.

Staff must not introduce restrictive equipment or monitoring solely for staff convenience. Where equipment may restrict movement, privacy or liberty, staff must consider consent, mental capacity, best interests and least restrictive practice. Concerns about faulty, unsuitable, missing or unsafe equipment must be reported immediately and recorded. Equipment must not be used if staff have not been trained and assessed as competent to use it safely.

7. Responding to Falls

At {{org_field_name}}, we understand that a fall can be a distressing experience for both the service user and their loved ones. Our priority is to ensure a prompt, safe, and compassionate response that minimises harm and provides the necessary support to aid recovery.

Our falls response protocol ensures that:

Immediate Response

When a fall occurs, our first priority is to ensure the safety and well-being of the service user. All staff at {{org_field_name}} are trained to respond to falls with calmness, confidence, and professionalism.

Step 1: Make the Area Safe, Reassure and Assess Before Moving

Staff must remain calm, reassure the person and make the immediate area safe. Staff must not rush the person, lift them manually, or move them until an initial assessment has been completed.

Staff must check and record, as far as possible:

If there is any doubt about injury or safe movement, staff must not move the person and must seek urgent medical advice or call emergency services.

Step 2: Call 999 Immediately Where Required

Staff must call 999 immediately if the person:

While waiting for emergency services, staff must keep the person warm and comfortable, preserve dignity, monitor their condition, follow first aid training, and provide clear information to paramedics on arrival.

Step 3: Supporting the Person to Get Up Only Where Safe

Staff may only support the person to get up if there are no signs of serious injury, the person feels able, staff are trained and competent, and the person’s moving and handling plan confirms how support should be provided. Staff must not manually lift the person from the floor.

Where the person can get up independently or with minimal agreed support, staff should encourage them to move slowly, use stable furniture or equipment only where safe and agreed, and sit in a chair before standing fully. Staff must continue to observe for pain, dizziness, confusion or deterioration.

If the person cannot get up safely, staff must make them comfortable, protect their privacy and dignity, monitor them, and seek further assistance or emergency support.

Post-Fall Monitoring

After any fall, staff must continue to monitor the person for delayed symptoms, particularly where the fall was unwitnessed, involved a head injury, involved pain, or the person is frail, cognitively impaired or taking anticoagulant/blood-thinning medication. Monitoring must be proportionate to the person’s condition and any advice received from NHS 111, 999, GP, paramedics or other healthcare professionals.

Staff must report immediately if the person develops headache, vomiting, increasing drowsiness, confusion, weakness, slurred speech, seizure, new pain, reduced mobility, bruising, swelling, breathing difficulty, chest pain, dizziness, bleeding, or any other deterioration. Observations, advice received, actions taken and communication with others must be recorded.

Post-Fall Assessment

Once the immediate situation has been addressed, it is critical to investigate the cause of the fall to prevent future incidents. At {{org_field_name}}, we follow a structured approach to post-fall assessment and care planning.

Reporting the Incident

All falls, near misses and fall-related injuries must be reported internally in accordance with {{org_field_name}}’s incident reporting procedure. The staff member who discovers, witnesses or responds to the fall must ensure the Registered Manager or delegated senior person is informed as soon as possible.

The incident record must include:

Where to report:

1) Verbally to the Registered Manager or Safeguarding Lead

2) Inform the Registered Manager by email: {{org_field_registered_manager_email}}

3) Call the office and inform the Registered Manager or Safeguarding Lead: {{org_field_phone_no}}

4) Out of hours phone number: {{out_of_hours}}

CQC Statutory Notifications

The Registered Manager or delegated responsible person must consider whether a fall requires statutory notification to CQC. A notification may be required where the fall results in serious injury, death, abuse or alleged abuse, police involvement, an event that affects the safe running of the service, or another notifiable incident under the Care Quality Commission Registration Regulations 2009.

The decision must be recorded, including whether a notification was submitted, the date submitted, the person responsible, the notification reference where available, or the reason why notification was not required. CQC states that providers must notify it about certain changes, events and incidents that affect their service or people who use it.

Duty of Candour

Where a fall results in a notifiable safety incident, {{org_field_name}} must follow the statutory Duty of Candour. This means acting in an open and transparent way with the person and/or their relevant representative, providing a truthful account of what is known at the time, apologising, explaining what further enquiries will take place, offering reasonable support, and keeping written records.

Saying sorry is not an admission of liability. Staff and managers must ensure that communication is compassionate, timely, accessible and clearly recorded. CQC states that the statutory Duty of Candour applies to every health and social care provider it regulates.

Safeguarding Considerations

A fall, repeated falls or unexplained injury may indicate abuse, neglect, acts of omission, unsafe care, poor moving and handling practice, unsuitable equipment, environmental neglect or failure to follow the care/support plan. Staff must consider safeguarding after every fall where there is unexplained injury, delay in seeking help, inconsistent accounts, repeated incidents, poor supervision, unsafe environment, failure to use agreed equipment, medication concerns, or concerns about neglect by any person or organisation.

Where safeguarding concerns are identified, staff must follow the Safeguarding Adults Policy and make or request a referral to the local authority safeguarding team without delay. Any immediate risk must be escalated to emergency services.

RIDDOR Considerations

The Registered Manager must consider whether a fall is reportable under RIDDOR where it arises out of or in connection with work. This may include incidents involving staff work activity, unsafe equipment, unsafe systems of work, unsafe moving and handling, or an environment under the provider’s control. HSE guidance for health and social care explains that RIDDOR can apply to health and social care incidents and that the same reporting categories may be relevant where the injured person is a service user rather than a worker.

The decision and rationale must be recorded, including whether a RIDDOR report was submitted, the date submitted, the person responsible and any reference number.

Identifying Causes and Risk Factors

After each fall, we conduct a thorough review to identify contributing factors. This includes assessing:

Our goal is to understand why the fall happened and take preventative steps to reduce the risk of it occurring again.

Reviewing Mobility Aids, Medication, and Home Environment

Following a fall, we reassess:

By making these adjustments promptly, we help service users regain confidence and reduce future risks.

Family and GP Communication

At {{org_field_name}}, we believe that open communication is key to ensuring the best possible care following a fall.

Informing Family Members and Healthcare Professionals

Seeking Medical Review for Recurrent Falls

By coordinating care and keeping families informed, we ensure that service users receive the best possible follow-up care and prevention strategies.

8. Staff Training and Responsibilities

At {{org_field_name}}, we recognise that preventing falls starts with knowledgeable, well-trained staff. Our commitment to continuous learning and accountability ensures that every team member is equipped with the skills and confidence to prevent, manage, and respond to falls effectively.

Training in Falls Prevention

To maintain the highest safety standards, all {{org_field_name}} staff—whether permanent, agency, or voluntary—must complete specialist training in fall prevention. This ensures that we can proactively minimise risks while promoting safe mobility and independence for our service users.

Mandatory Training

Mandatory and role-specific training must include, where relevant to the role:

All staff must complete falls prevention training during induction and attend refresher sessions annually to stay updated on best practices, policy changes, and new safety techniques. Staff must not support transfers, mobility interventions, equipment use or post-fall movement unless they have been trained and assessed as competent for the task. Competency must be recorded and reviewed through supervision, spot checks, observations, refresher training, incident reviews and appraisal. Where a staff member is not competent or confident, they must seek guidance from a senior member of staff and must not proceed in a way that could place the person or themselves at risk.

Specialist training may also be provided for staff supporting service users with complex mobility needs (e.g., those requiring hoists, wheelchair transfers, or advanced physiotherapy support).

Accountability and Monitoring

At {{org_field_name}}, we believe that fall prevention is a shared responsibility. Every member of our team—from frontline care staff to management—plays a crucial role in maintaining safe, high-quality support.

Care Staff Responsibilities

Manager Responsibilities

By fostering a culture of accountability, {{org_field_name}} ensures that every team member contributes to a safer, fall-free environment for our service users.

9. Consent and Record Keeping

At {{org_field_name}}, we understand that fall prevention measures must always respect service users’ rights, choices, and dignity. We prioritise informed consent, accurate documentation, and proactive care plan reviews to ensure that all actions taken align with best interests and legal requirements.

Informed Consent

Staff must involve the person in falls risk assessments, care planning and decisions about preventative measures. Consent must be sought for interventions, referrals, equipment, environmental changes or information sharing unless another lawful basis applies. Family members, advocates or representatives may be involved where the person consents, where they have lawful authority, or where involvement is appropriate under the Mental Capacity Act 2005.

This includes:

If there is reason to believe that the person may lack capacity to make a specific decision about falls prevention, mobility, equipment, environmental changes, referrals or emergency response, staff must follow the Mental Capacity Act 2005. A capacity assessment must be decision-specific and time-specific. Any best interests decision must involve the person as far as possible, consider their wishes, feelings, beliefs and values, involve relevant others where appropriate, and choose the least restrictive option.

At {{org_field_name}}, we believe that service users should remain in control of their care—we work with them, not just for them, to make their homes safer while preserving their autonomy and independence.

Documentation

Maintaining clear, accurate, and up-to-date records is essential for effective falls prevention and regulatory compliance.

Records We Maintain

At {{org_field_name}}, we treat documentation as more than just a compliance requirement—it’s an essential tool that helps us deliver safer, more responsive care.

Reviewing and Updating Care Plans

Falls risk is not static—it can increase or decrease over time based on:

Care/support plans and falls risk assessments must be reviewed:

Any changes must be communicated promptly to staff and recorded clearly. Where urgent changes are needed, managers must ensure staff know what to do before the next planned visit or support session.

By maintaining dynamic, up-to-date care plans, {{org_field_name}} ensures that service users receive the right support at the right time, reducing fall risks while promoting safety and independence.

10. Complaints, Concerns and Feedback

People using the service, families, representatives, advocates, staff and professionals must be able to raise concerns about falls risks, unsafe equipment, poor mobility support, delayed response, environmental hazards, staff practice, communication or follow-up after a fall.

Complaints and concerns must be handled in line with the Receiving and Acting on Complaints Policy and Regulation 16. Information about how to complain must be provided in a format the person can understand, including Easy Read, large print, translated information or communication support where required.

Any complaint or concern relating to falls must be reviewed to identify whether immediate action is needed to keep the person safe, whether safeguarding, CQC notification, Duty of Candour or RIDDOR applies, and whether lessons can be learned. Themes from complaints, incidents, safeguarding concerns and feedback must be included in the provider’s governance and quality assurance processes.

11. Policy Review, Audit and Continuous Improvement

This policy will be reviewed at least annually, or sooner where there are changes in legislation, CQC guidance, NICE guidance, safeguarding requirements, local authority procedures, best practice, organisational learning or serious incidents.

{{org_field_name}} will monitor falls prevention through a structured governance process. This will include:

Learning from falls must be shared with staff through handovers, team meetings, supervision, alerts, updated risk assessments, training and policy review. The Registered Manager is responsible for ensuring that learning is embedded and that improvements are sustained.

12. Evidence for CQC Assessment

To demonstrate compliance with CQC requirements and the CQC assessment framework, {{org_field_name}} will maintain evidence that falls prevention is safe, effective, person-centred, responsive and well-led. CQC’s current assessment framework is based on five key questions: whether services are safe, effective, caring, responsive and well-led.

Evidence may include:

Feedback from people using the service, relatives, advocates, staff and professionals.

Person-centred falls risk assessments and care/support plans.

Records showing the person’s involvement, consent, choices and positive risk-taking decisions.

Mental capacity assessments and best interests records where relevant.

Staff training, supervision, competency checks and spot checks.

Moving and handling assessments and equipment guidance.

Medication concern records and medication review requests.

Referrals to GP, pharmacist, occupational therapist, physiotherapist, falls service or other professionals.

Incident reports, post-fall reviews and action plans.

CQC notifications, safeguarding referrals, Duty of Candour records and RIDDOR decisions.

Audits, trend analysis, lessons learned and evidence that actions have been completed.


Responsible Person: {{org_field_registered_manager_first_name}} {{org_field_registered_manager_last_name}}
Reviewed on:
{{last_update_date}}
Next Review Date:
{{next_review_date}}
Copyright © {{current_year}} – {{org_field_name}}. All rights reserved.

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