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{{org_field_name}}

Registration Number: {{org_field_registration_no}}


Pressure Area Care and Tissue Viability Policy

1. Purpose

The purpose of this policy is to provide a clear framework for temporary workers supplied by {{org_field_name}} to recognise, prevent, report and appropriately respond to pressure area risks and tissue viability concerns while working on assignment within client organisations.

{{org_field_name}} operates as a temporary staffing agency and does not provide, manage or regulate care packages in its own right. Responsibility for the assessment, planning, delivery and review of regulated care remains with the client organisation, including the care home, nursing home, hospital, hospice or other healthcare setting where the worker is assigned.

{{org_field_name}} is committed to supplying workers who are appropriately recruited, checked, trained and, where applicable, professionally registered and competent for the assignments they undertake. Agency workers must follow this policy, the client organisation’s local policies, care plans, risk assessments, escalation procedures and professional standards relevant to their role.

This policy supports safe practice in line with current legislation and guidance relevant to temporary healthcare staffing in England, including the Employment Agencies Act 1973, the Conduct of Employment Agencies and Employment Businesses Regulations 2003, the Health and Safety at Work etc. Act 1974, the Care Act 2014, the Mental Capacity Act 2005, the Equality Act 2010, UK GDPR and the Data Protection Act 2018, NICE Clinical Guideline CG179, NICE Quality Standard QS89, the GOV.UK safeguarding adults protocol for pressure ulcers, the NMC Code for registered nurses, and relevant local client procedures.

Preventing avoidable pressure damage is essential to protecting people’s dignity, comfort, safety and wellbeing. Agency workers must act promptly where they identify risk, deterioration, poor skin integrity, possible neglect, unsafe care, equipment concerns or gaps in documentation.

2. Scope

This policy applies to:

This policy does not make {{org_field_name}} the provider of regulated care. The client organisation remains responsible for care planning, clinical governance, equipment provision, risk assessments, tissue viability referrals, safeguarding referrals and regulatory notifications unless otherwise expressly agreed in writing and legally permitted.

Agency workers must work within their role, competence, assignment instructions and professional registration, and must escalate concerns immediately to the client’s nurse-in-charge, manager or other designated person.

3. Regulatory Status of {{org_field_name}}

{{org_field_name}} is a temporary staffing agency. It supplies workers to client organisations but does not itself provide, direct or manage regulated care activities and is not registered with the Care Quality Commission.

{{org_field_name}} must not:

Where an agency worker is on assignment, they act within the client organisation’s governance arrangements and must follow the client’s policies, care plans, reporting procedures, safeguarding arrangements, equipment instructions and escalation pathways.

If any proposed service model would involve {{org_field_name}} assessing, arranging, managing, directing or delivering care in its own right, the directors must obtain legal and regulatory advice before the service begins, as CQC registration may be required.

4. Related Policies

This policy should be read alongside the following {{org_field_name}} policies and procedures:

5. Definitions
For the purpose of this policy:

6. Responsibilities

6.1 Directors and Senior Management

The directors and senior management of {{org_field_name}} are responsible for:

6.2 Office and Booking Staff

Office and booking staff are responsible for:

6.3 Registered Nurses Supplied by {{org_field_name}}

Registered nurses must:

6.4 Healthcare Assistants and Support Workers

Healthcare assistants and support workers must:

6.5 Client Organisation

The client organisation remains responsible for:

7. Legal and Best Practice Framework

This policy is informed by the following legislation and guidance, as applicable to a temporary staffing agency operating in England:

References to CQC requirements in this policy are included only to recognise the regulatory duties that may apply to client organisations that are CQC-registered providers. They do not mean that {{org_field_name}} is CQC registered or that it provides regulated activities.

8. Prevention of Pressure Ulcers

Prevention is central to safe care. Agency workers must support pressure ulcer prevention in line with their role, competence, client care plans and local procedures.

Agency workers must:

Agency workers must not change care plans, alter specialist equipment settings or introduce new interventions unless this is within their role, competence and authority under the client organisation’s procedures.

9. Risk Factors for Pressure Ulcers

Agency workers must be able to recognise and report factors that increase the risk of pressure damage, including:

Any new or increasing risk must be reported promptly to the client’s nurse-in-charge or manager and documented in line with client procedures.

10. Skin Observation and Assessment

Agency workers must observe for signs of pressure damage during care delivery, where this is appropriate to their role and the person’s consent, dignity and privacy.

Registered nurses may complete or update formal skin assessments where this is part of the assignment, they are competent to do so and the client organisation’s procedure permits it.

Healthcare assistants and support workers must report concerns but must not diagnose, categorise or grade pressure ulcers unless specifically trained, competent and authorised by the client organisation.

Signs to report include:

Agency workers must be aware that pressure damage may be harder to identify on darker skin tones and may present as changes in skin tone, temperature, texture, pain or firmness rather than visible redness.

Any concern must be reported immediately to the client’s nurse-in-charge, manager or designated clinician and recorded in the client’s documentation system.

11. Repositioning

Repositioning must be carried out in line with the person’s care plan, moving and handling plan, risk assessment, consent and preferences.

Agency workers must:

Where a person refuses repositioning or pressure area care, the worker must respect the person’s rights, encourage and explain the benefits of care, report the refusal to the nurse-in-charge or manager, and document the refusal and actions taken.

12. Equipment

The client organisation is responsible for providing suitable, clean, safe and correctly maintained pressure-relieving and moving and handling equipment.

Agency workers must:

Agency workers must not alter specialist pressure-relieving equipment settings unless this is within their competence and permitted by the client organisation’s procedure.

13. Documentation and Record Keeping

Agency workers must keep clear, accurate, factual, legible and contemporaneous records in the client organisation’s documentation system.

Records must include, where relevant to the worker’s role:

Records must not include unsupported opinions, blame, assumptions or judgemental language.

Where {{org_field_name}} requires an internal incident or concern report, this must be completed in addition to, and not instead of, the client organisation’s records.

Any records shared with {{org_field_name}} must be handled in line with UK GDPR, the Data Protection Act 2018 and the agency’s Data Protection and Confidentiality Policy.

14. Reporting and Escalation

Any new, suspected or deteriorating pressure damage must be treated as a significant concern and escalated without delay.

Agency workers must:

Where there is immediate risk of serious harm, the worker must seek urgent clinical or emergency assistance in line with the client organisation’s procedure.

If the worker believes that pressure damage may be linked to neglect, acts of omission, organisational abuse or failure to provide necessary care, this must be escalated as a safeguarding concern in line with the client organisation’s safeguarding procedure and {{org_field_name}}’s Safeguarding Adults Policy.

For CQC-registered client organisations, statutory Duty of Candour obligations rest with the registered provider and registered manager. {{org_field_name}} will co-operate with the client organisation where openness, investigation, information sharing or worker statements are required. Registered nurses must also follow the professional duty of candour and the NMC Code.

15. Safeguarding Interface for Pressure Ulcers

Pressure ulcers are not automatically a safeguarding concern. However, a safeguarding concern must be considered where pressure damage may have resulted from neglect, acts of omission, poor care, deliberate harm, organisational abuse, failure to follow care plans, failure to provide equipment, failure to escalate deterioration or repeated missed care.

Agency workers must follow the GOV.UK safeguarding adults protocol for pressure ulcers and the client organisation’s local safeguarding procedure.

Factors that may indicate a safeguarding concern include:

The worker must report the concern to the client manager or nurse-in-charge and to {{org_field_name}}. If the worker believes the concern has not been acted upon and the person remains at risk, they must escalate under {{org_field_name}}’s Safeguarding Adults Policy and Whistleblowing Policy.

16. Training and Competency

{{org_field_name}} will ensure that workers receive training appropriate to their role and assignments. Training may include:

Registered nurses must maintain professional competence in line with NMC requirements. Healthcare assistants and support workers must complete training appropriate to their role, which may include Care Certificate standards where relevant.

Workers must not undertake pressure ulcer assessment, grading, wound care, equipment adjustment or delegated clinical tasks unless they have the necessary training, competence and authority from the client organisation.

{{org_field_name}} will review training following incidents, complaints, safeguarding concerns, client feedback or changes in guidance.

17. Communication and Teamwork

Agency workers must communicate promptly, clearly and respectfully with client staff, people receiving care, families, representatives and other professionals, within confidentiality requirements.

Agency workers must:

Agency workers must not promise outcomes, provide unauthorised clinical opinions or communicate investigation findings unless authorised to do so by the client organisation and {{org_field_name}}.

18. Equality, Diversity and Inclusion

{{org_field_name}} is committed to equality, dignity and non-discriminatory care.

Agency workers must:

Any concern that a person’s skin integrity needs are not being met because of discrimination, communication barriers or failure to make reasonable adjustments must be escalated to the client manager and {{org_field_name}}.

19. Supervision and Support

{{org_field_name}} will provide reasonable support to workers in relation to pressure area care and tissue viability concerns arising during assignments.

Support may include:

Clinical supervision and day-to-day direction during an assignment remain the responsibility of the client organisation unless otherwise agreed in writing and legally permitted.

20. Monitoring and Quality Assurance

{{org_field_name}} will monitor the effectiveness of this policy through:

Where concerns are identified, {{org_field_name}} may take action including additional training, supervision, suspension from particular assignment types, removal from assignment, referral to the client organisation, referral to the NMC, referral to the DBS, safeguarding escalation or changes to agency procedures.

{{org_field_name}} will co-operate with client organisations in investigations where lawful and appropriate but will not assume the client provider’s regulatory responsibilities.

21. Policy Review

This policy will be reviewed at least annually by the directors of {{org_field_name}}, or earlier where:

References to CQC requirements will be reviewed to ensure the policy remains accurate for a non-CQC-registered temporary staffing agency.


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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