{{org_field_logo}}

{{org_field_name}}

Registration Number: {{org_field_registration_no}}


Handling and Disposal of Hazardous Substances Policy

1. Purpose

The purpose of this policy is to ensure the safe handling, storage, use, and disposal of hazardous substances within {{org_field_name}} to protect staff, service users, visitors, and the environment. This policy has regard to the Regulation and Inspection of Social Care (Wales) Act 2016, the Regulated Services (Service Providers and Responsible Individuals) (Wales) Regulations 2017 (as amended), and the Welsh Government statutory guidance for domiciliary support services (last updated 27 March 2024). It reflects CIW expectations that providers operate safe systems for hazardous substances, clinical waste, and medicines disposal.

The objectives of this policy are to:

2. Scope

This policy applies to:

3. Legal and Regulatory Framework

This policy has regard to the following legislation, regulations and statutory guidance (as amended):

Where medicines and sharps disposal is in scope, this policy must be read alongside the service’s Medicines Management and Infection Prevention and Control policies.

4. Identifying Hazardous Substances in Domiciliary Care

Hazardous substances commonly encountered in domiciliary care settings include:

How we manage this efficiently:

4.1 Substances owned by individuals (service users) in their own homes

In domiciliary support services, many cleaning products and household chemicals may be owned by the individual. Staff must not use any product that is unlabelled, decanted into an unknown container, past its expiry date, or appears unsafe. Where the service requires staff to use specific products (for example, disinfectants), these must be service-approved products with accessible manufacturer instructions and (where applicable) SDS/COSHH information. Any restrictions (for example, asthma/respiratory sensitivity, allergies, or oxygen use in the home) must be recorded in the individual’s risk assessment and personal plan, and staff must follow those controls.

5. Handling and Storage of Hazardous Substances

To prevent accidents, exposure, and contamination, all hazardous substances must be handled and stored correctly.

5.1 Safe Handling Procedures

How we manage this efficiently:

5.2 Storage of Hazardous Substances

How we manage this efficiently:

6. Disposal of Hazardous Substances

Proper disposal procedures help prevent harm to staff, service users, and the environment.

6.1 Safe Disposal of Cleaning Chemicals

6.2 Safe Disposal of Medication Waste

Controlled drugs and other medicines must not be disposed of in household waste, sinks or toilets. Where medicines are no longer required (including after a change of prescription or following a death), staff must follow the Medicines Management Policy: record the action taken, and return medicines to a community pharmacy (or other authorised route) as soon as possible. Any discrepancies, suspected diversion, or concerns about misuse must be escalated immediately in line with safeguarding and incident reporting procedures.

6.3 Safe Disposal of Sharps and Needles

In domiciliary support, sharps containers are normally provided and collected via local authority or health services arrangements. Staff must confirm (and record in the individual’s plan) how sharps are obtained and collected. If a safe sharps container is not available, is overfilled, or collection has failed, staff must stop the task if necessary to prevent injury, make the area safe, and escalate to the Registered Manager for urgent resolution.

6.4 Safe Disposal of Biological Waste

How we manage this efficiently:

6.5 Waste duty of care, contractors and records

Where the service provider arranges removal of hazardous/clinical waste (including full sharps containers) from any premises it controls or from service activities, only authorised/appropriately registered waste contractors must be used. The service must retain required waste documentation (for example, transfer documentation and, where applicable, hazardous waste consignment documentation) in line with legal and contractual requirements. The Registered Manager (or delegate) must ensure there is oversight of waste arrangements and that any recurring issues (missed collections, unsafe containers, segregation problems) are escalated and actioned.

7. Incident Reporting and Emergency Procedures

7.1 Incident Reporting

Any exposure, spill, or improper disposal of hazardous substances must be reported immediately using incident report forms.

Incidents must be reported internally immediately. Where the incident meets RIDDOR reporting criteria, the Registered Manager (or delegate) must ensure reporting to the HSE. Where the incident meets the threshold for a CIW notifiable incident (for example, an accident or injury requiring treatment by a healthcare professional and resulting in significant harm), the service must notify CIW without delay in the form/manner required.

7.2 Emergency Procedures

How we manage this efficiently:

8. Training and Staff Awareness

Training must also cover:

9. Related Policies

This policy aligns with:

10. Policy Review

This policy will be reviewed annually or sooner if required due to changes in legislation, business needs, or CIW regulations. The Registered Manager and Responsible Individual are responsible for ensuring its accuracy and implementation.


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.

Leave a Reply

Your email address will not be published. Required fields are marked *