The procedure for applying for registration with the Care Quality Commission is notoriously difficult, with a lot of paperwork and navigating through some difficult systems. The Care Quality Commission (CQC) is to conduct an internal review of their records and registration systems and have recently introduced some changes to simplify the application and to minimize the paperwork requirements of service providers and registered managers.
So what are the changes that have introduced the CQC?
Well, first and foremost, the Commission to amend the forms of organizations, partnerships and individuals in an application form for registration. The changes include that all registered providers and managers to complete forms more easily. Earlier versions of the forms are still up to 29 July 2011, to help any organization in the middle of their applications will be accepted, but from 30 July 2011 only the latest versions of the forms are not accepted.
The next major change in the management of the CQC system is that the only references to a required risk-based, so you do not need a standard application to get the references and to submit their initial request, only the names of potential referees. This applies to medical, professional and financial references and the process much easier to work for the party.
The third change is in relation to Criminal Records Bureau statements. From 1st July 2011 CQC have confirmed they will accept CRB CQC signed in six months, instead of the previous three months. Prior to these new needs of all organizations were expected to countersign that CRB certificates and submit full of references to their nominations for individuals. But the CQC now adopted the responsibility for confirming the suitability of nominees, the organizations themselves, rather than request that these documents be submitted with the initial applications.
It is expected that the decrease of bureaucracy, these changes are the efficiency in the application process, CQC, CQC will benefit from the regulated activities and organizations.
So what are the changes that have introduced the CQC?
Well, first and foremost, the Commission to amend the forms of organizations, partnerships and individuals in an application form for registration. The changes include that all registered providers and managers to complete forms more easily. Earlier versions of the forms are still up to 29 July 2011, to help any organization in the middle of their applications will be accepted, but from 30 July 2011 only the latest versions of the forms are not accepted.
The next major change in the management of the CQC system is that the only references to a required risk-based, so you do not need a standard application to get the references and to submit their initial request, only the names of potential referees. This applies to medical, professional and financial references and the process much easier to work for the party.
The third change is in relation to Criminal Records Bureau statements. From 1st July 2011 CQC have confirmed they will accept CRB CQC signed in six months, instead of the previous three months. Prior to these new needs of all organizations were expected to countersign that CRB certificates and submit full of references to their nominations for individuals. But the CQC now adopted the responsibility for confirming the suitability of nominees, the organizations themselves, rather than request that these documents be submitted with the initial applications.
It is expected that the decrease of bureaucracy, these changes are the efficiency in the application process, CQC, CQC will benefit from the regulated activities and organizations.
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