Title: Coming into Force Date minus 1 Day
1Coming into Force Date(minus 1 Day)
- Steve Taylor
- Chair, Optometric Advisers Group
- Optometric Adviser Dorset PCTs
2Objectives
- Set Scene
- Examine assumptions underpinning the new regs
- Suggest opportunities created by the introduction
of the new regs
3Outline
- In an ideal world
- In a less than ideal world
- Where do you fit
- How can you judge
- Does it matter
4In an Ideal World
- All regs unambiguous and accessible
- Ophth lists correctly constructed and current
- Optoms and OMPs always notify PCTs of changes
- PCTs and profession
- fully conversant with existing regs
- shared understanding
- fully informed on proposed regs changes
- prepared for any change in responsibilities
- Adequate lead in time for reg changes
- Easily accessible statistics for
tracking/monitoring
5In a Less than Ideal World
- All regs NOT unambiguous and accessible
- Variations in construction and currency of lists
- Optoms and OMPs rarely notify change of
circumstances - PCTs and profession
- Variable familiarity with existing regs
- Variable familiarity with proposed new regs
- Variable levels of preparedness for new
responsibilities - Variable levels of understanding
- Lead times often unpredictable
- Access to statistics for tracking/monitoring
variable
6Where do you fit
7How can you judge?
- Is everyone on your ophthalmic list eligible to
be a GOS contractor? - Are there eligible contractors in place at all
premises? - Do you list practitioners who are in your area
for short periods only? - What mechanism do you have for taking off
practitioners who have not practiced in the area
for gt6mnths? - Do you have application forms and declarations
for all your contractors? - How do you determine the contractor status of a
corporate body? - Are you always notified of changes in
circumstances? - How many databases do you use when communicating
with practitioners? - How many letters begin Dear Optometrist/OMP
8Does where you fit matter?
- YES
- It will affect what you need to do next
- It will affect the efficiency and effectiveness
of the new regs
9Preparation
- Will determine
- how well/easily you can intro the new regs
- method (not same for everyone)
- timescales
- resources needed
- effectiveness
10Long term
- Opportunity for
- admin tidying
- clearer accountability
- easier dissemination of info
- Provides building block for service quality
11Summary
- Drafting of new regs based on ideal scenario
- Interpretation and Implementation of current regs
is variable - Will need to vary implementation strategy to suit
existing situations - Use opportunity to establish robust systems
- Should have an eligible contractor in place for
all premises ie can meet current Terms of Service
12(No Transcript)
13John Hearnshaw
14Rationale for Changes
- Puts GOS on same footing as GMS/PMS, GDS/PDS and
PhS - Overall acceptability and service quality more
clearly a PCT/CSA responsibility - Health and Social Care Act 2001 provides legal
basis - Alternative view post Shipman hysteria
- Effective date 1 April 2005
15The different lists
- Ophthalmic List
- A list of OOs and OMPs who have an agreement with
a PCT to provide GOS within the PCTs locality,
ie. contractors
- Supplementary List
- A list of OOs and OMPs who may assist contractors
in the delivery of GOS, ie assistants
16A GOS Contractor
- Must be one of the following
- an optometrist registered with the GOC as an
ophthalmic optician - an OMP registered with the GMC and approved by
the OQC - a corporate body listed with the GOC as carrying
on business as an ophthalmic optician (corporate
optician)
17A GOS Contractor
- Must be able to meet the GOS terms of service
including those for premises, equipment, records
and responsibility for acts and omissions of
employees/assistants (including locums both
employed and self employed)
18A GOS Contractor
- Must have an agreement with that PCT in which
he/she/it undertakes to provide GOS - May assist another contractor in the provision of
GOS anywhere in England (not Scotland, Wales or
NI) - Contractors may not be included on a
Supplementary list
19Corporate Optician
- Means body corporate registered with the GOC to
carry on business as an ophthalmic optician - Only appears once in any one PCTs Ophthalmic
List - Its entry lists all premises where it provides
GOS in that PCTs area - Must appear in the Ophthalmic List of every PCT
where it provides GOS
20Partnerships
- Cannot be listed as a partnership
- If both/all members are OOs or OMPs, list them
all separately in Ophthalmic List - If one is qualified (OO or OMP) and the other(s)
not, then list only the qualified one - If none are qualified, do not list they will
need to rely on the transitional arrangements
21An Assistant in the delivery of GOS
- Must be either
- an optometrist registered with the GOC as an
ophthalmic optician - an OMP registered with the GMC and approved by
the OQC
22An Assistant in the delivery of GOS
- Must be employed by a GOS contractor (includes
self employed OOs, OMPs and locums) - Must be included on a PCT Supplementary List
- May be included on only one Supplementary List
(normally PCT of most frequent attendance)
23Employed optometrist/OMP
- Means any employment, whether paid or unpaid and
whether under a contract for services or a
contract of service - Covers those providing services (the
self-employed) - Covers those employed under a contract of service
(employees)
24Avoidance of Limbo
- OOs and OMPs can be readily transferred from the
old Ophthalmic List to the new Supplementary
List, ie without having to make a fresh
application - Transfer must be direct and instantaneous
- No-one should fall down a crack, ie be held
between Lists - Keep on old Ophthalmic List temporarily if in
doubt - No-one to be prevented from working
25Transitional Arrangements
- Special arrangements on a temporary basis for
optometrists and OMPs to be included in an
Ophthalmic List, ie. a contractor list, where
they are - employed by a person or company who is not
included in the ophthalmic list - eg. a lay person, a dispensing optician, etc
- Involves a legally enforceable contract
- No end date set yet
26Transitional Arrangements
- Intended for employers of OOs and OMPs who cannot
be included in the Ophthalmic List - Not recommended as a soft option for employers of
OOs and OMPs who could be included in the
Ophthalmic List but who choose not to be - Only if pushed, allow them their legal rights to
such an arrangement - Sometimes called grandfathering or
grandparenting not good titles
27Three specific areas
- Requisite, proper and sufficient consulting and
waiting room accommodation - Suitable equipment for the provision of GOS
- A proper record in respect of each GOS patient
- "contractor" dependent on somebody else
- needs to have assurance that standards will be
met - CSA/PCT must be satisfied that a legally binding
and suitable arrangement exists
28CSA Role
- Survey and explanation to all OOs and OMPs on
Ophthalmic Lists - Follow OAG model
- Probably a lot of telephone queries
- Chase up the stragglers
- Employees / locums notified that they are to be
transferred to a supplementary list - Transfer them subject to their response or after
28 days if they do not respond
29CSA Role
- May need to make some assumptions
- Body Corporate ? Ophthalmic List
- Sole optometrist at a single address ? probably
Ophthalmic List - Declared partnership (both eligible) ? Ophthalmic
List - Most other OOs and OMPs ? Supplementary List
- BUT when you make the transfer, think about which
contractor the assistant OO/OMP will work for - May be no-one for locums
30Expanded Application Process for New Applications
- More details about an optometrist/OMPs previous
professional career - Details of any criminal record
- Details of any involvement in NHS fraud
investigations - Details of past investigations by regulatory
bodies - Declarations concerning any involvement as a
Director of a Body Corporate - Consent to information sharing between PCTs and
with professional bodies
31Expanded Application Process for New Applications
- References must be taken up normally clinical
references - Check all new applicants with CFSMS
- Knowledge of English must be checked for EEA
applicants - No routine CRB checks at present
- BUT
- CRB checks may start soon
- There will be a catch up exercise
32Expanded Application Process for New Applications
- Some vagueness in career history allowed, ie. not
every individual locum job need be listed - No need to account for career breaks for
maternity and study leave - Details to be checkable but not necessarily
checked - Significant career breaks to be considered by
CSAs/PCTs not defined, so do you get a funny
feeling about this one? - eg. Says he went to Oz to woo the Sheilas so why
the prison pallor instead of a Bondi Beach tan?
33Disqualification of OOs, OMPs and Corporate
Opticians
- Tiny minority
- Grounds for disqualification
- Efficiency
- Fraud
- Unsuitability
- Decision reserved to PCT not CSA but in some
cases CSA may administer joint vetting panels (by
whatever name)
34Disqualification of OOs, OMPs and Corporate
Opticians
- Must automatically refuse inclusion if
- Murder conviction in the UK
- More than 6 months' imprisonment in the UK after
13 December 2001 (not suspended sentence) - National disqualification by the FHSAA (in future
the NHS Litigation Authority) - Not on appropriate register GOC or GMC/OQC
- If already included must be removed if any of the
above happens or emerges
35Disqualification of OOs, OMPs and Corporate
Opticians
- PCTs may
- Refuse to include
- Conditionally include
- Remove
- Contingently remove or
- Suspend
- PCTs must
- Give reasons
- Tell the NHS Litigation Authority
- Tell the CFSMS
36Content of List Entries
- Name
- Practice address (for contractors only)
- GOC Registration Number (GMC for OMPs)
- format xxxxxxx-yyy where x is the GOC/GMC
number and y is the PCT's organisational code - Date of inclusion
- Date of birth (Date of first full registration if
OO/OMP objects to date of birth) - C for contractor list
- S for supplementary list
37(No Transcript)
38Declarations of Financial Interests
- To be added later once Regulations made
39Direct Referral
- Introduces direct referral by optometrists to
ophthalmic hospitals following a sight test - Not a big issue for CSAs but legalises existing
practice in shared optometric care - Some CSAs involved in pricing and payment of
shared optometric care schemes, eg - Cataract care pre- and post-extraction
- Diabetic retinopathies
- Glaucoma management
40Mobile Services
- Means general ophthalmic services provided at
- a day centre
- a residential home or
- the patient's home, where the patient is unable
to leave it unaccompanied because of physical or
mental illness or disability
41Mobile Providers
- Has to notify PCT/CSA 3 weeks in advance if
seeing 3 or more patients at a - Day care centre
- Residential home
- Has to notify PCT/CSA 2 days in advance in any
other case, ie. 1 or 2 patients only - Has to give 2 days notice of any changes
42Mobile Providers
- DH sees prior notification as an important way of
preventing fraud and reducing coercion of
patients - Optometric Advisors will need the opportunity to
carry out surprise inspections when mobile
operators visit care homes - The devil is in the detail
43Mobile Providers
- CSAs may not have the staff time to enter into a
detailed dialogue in advance of sight testing - All notifications and changes will need to be
made in writing but this might be by email (at
Agencys discretion) - No specific need for PCTs/CSAs to acknowledge
- CSAs/PCTs will need to nominate a relevant
representative or approved deputy and let
optometrists know who to contact
44Mobile Providers
- CSAs will need explicit protocols from their PCTs
on whether to query prior notifications and/or
changes to these - CSAs may need to draft these protocols but PCTs
must have some ownership - If allowing email notification, consider creating
a non person-specific email address such as
ophthalmic_at_downshirecsa.nhs.uk
45Key Dates
- 31 March 2005
- qualifying date for OOs/OMPs who can enter into a
legal agreement with a person or company who is
not included in the ophthalmic list in respect of
compliance with the Terms of Service
46Key Dates
- 1 April 2005
- Regulations came into force
- Legally binding agreements can be made under
transitional arrangements - Agreements can initially be verbal and should be
notified immediately - Written copy of agreement to be provided to CSA
by 31 July 2005
47Key Dates
- By 16 May 2005
- OOs and OMPs who have not previously been on the
Ophthalmic List but who have worked as assistants
to a GOS contractor must have applied for
inclusion in the Supplementary List or they must
stop working - Mobile operators must have applied for inclusion
in the Ophthalmic List of every PCT where they
intend to operate or they must stop working
48Key Dates
- By 31 July 2005
- Transfers from the ophthalmic to the
supplementary list should be completed - Corporate opticians on an ophthalmic list at 1
April 2005must provide PCTs with any additional
information required - GOS 1 signing arrangements change
49New GOS 1 Signing Arrangements
- Contractor may authorise others to sign on their
behalf, including non-practitioner employees and
assistants - Claim forms to be signed by the practitioner who
carried out the sight test and by the contractor,
or his authorised signatory where they are not
the same person - CSAs/PCTs must have compiled their list of
authorised signatories by 31 July 2005 - Max 10 signatories per practice
50Newly Qualified Optometrists
- Students may start the application process up to
3 months before anticipated GOC registration - Lets all checks except GOC be done routinely but
new OO can still start work as an assistant as
soon as GOC registered
51List Tidying
- List tidying by CSAs of assistants who have not
worked for 6 months or more is recommended but
use some common sense - Encourage assistant to switch PCT Supplementary
Lists if move seems permanent - Encourage assistants leaving the List to keep
contact details up to date - Remove immediately if joining
- contractor list
52(No Transcript)
53Coming into Force Date(plus 1 Day)
- Steve Taylor
- Chair, Optometric Advisers Group
- Optometric Adviser Dorset PCTs
54Objectives
- Highlight aspects that are
- New
- Unresolved
55New
- Relationships and Responsibilities
- Lists
- Processes
56Relationships and Responsibilities
- PCTs will continue to have direct links with GOS
contractors - Contractors responsible for assistants
- Some assistants may not be listed locally
- Assistants may only work for a contractor
57Lists
- Supplementary
- Authorised Signatory
- Approved Mobile Provider
- Lists are PCT based (not agency)
- Will not have complete record of everyone working
in a locality
58Processes
- To be set up for
- Approval/Evaluation of
- STAs
- providers of mobile services
- Management of notifications by mobile providers
- Maintenance of authorised signatories
- GOS payments to contractors only
- ? Individual cf batch processing of claims
59Unresolved
- Gaps in contractor info
- No. of STAs per premises
- Multiple leasing of premises
- Body corporates that are not corporate opticians
- Prevention of illegal double entering of
optoms/OMPs on lists - Can an optometrist/OMP remain on current list if
unable to fulfil Terms of Service - Acceptability of forms submitted from day 1 where
no contractor identified
60Summary
61General Ophthalmic Services
- John Flory
- Senior Manager (Governance)
- East Sussex, Brighton and Hove
- Primary Care Support Services
62General Ophthalmic Services
- The National Health Service (General Ophthalmic
Services Supplementary List) and (General
Ophthalmic Services Amendment and Consequential
Amendment) Regulations 2004 or 2005? - The New Regs!
63The New Way Forward
- Ophthalmic List for Contractors
- Supplementary Lists for everyone else
64Ophthalmic List
- Definition of Contractors
- Sole Trader - (Must be an Optometrist)
- Partnership - (More than one partner is an
Optometrist all contractors any partners who
are not optometrists will not be contractors) - Body Corporate - (Corporate Optician registered
with the GOC) - Note A contractor cannot be on a supplementary
List and vice versa
65Responsibilities of Contractor
- Premises
- Equipment
- Procedures
- Record Keeping
66Further Responsibility
- It is the Contractor who must ensure that when he
employs someone to carry out eye tests the person
is competent to carry out such a test and is
either - included on a list of contractors of a PCT
somewhere in England - or
- included in the supplementary list of a PCT in
England
67Supplementary List
- An optometrist can only be included in one
supplementary list in England (Similar to GPs and
Dentists) - Who would normally be included on a supplementary
list - Someone who is employed by a contractor to
perform the clinical tasks involved in GOS
68Supplementary List
- This means
- Employees
- Locums
- Ophthalmic Body Corporate Directors
- The Body Corporate itself is the contractor
69Applications to join Lists
- Ophthalmic List (Contractors)
- Full Name
- Sex (not COs)
- Date of Birth (no Cos)
- Private Address (Cos give registered company
address) - Date of registration (section 7 or section 9)
plus Reg No - VT No (if applicable)
- Address of Premises (Mobile - correspondence
address) - Opening hours, appointments system,mobile
regular places and times
70Application to join Lists continued
- Intention to practice as sole trader, partner etc
- (Note if a partner names and addresses of all
partners, identifying who is included in the
PCTs Ophthalmic List - Who he intends to employ
- Professional Experience
- Professional Indemnity
- Two referees
- Undertake to undergo an enhanced CRB check when
requested by the PCT - Other undertakings in line with Dental and
Medical Regs
71Application to join listsContinued
- Supplementary
- Full Name
- Sex
- Date of Birth
- Private address and Telephone Number
- Qualifications and where obtained
- Date included in the GOC Register and Reg No
- Details of professional experience
- Two referees
- Undertake to undergo an enhanced CRB check when
requested by the PCT - Usual Declarations
72Practices not owned by Optometrists or Ophthalmic
Body Corporates
- Dispensing Opticians
- Lay people
- Non-enrolled companies
- Cannot carry out eye tests unless
- If possible they become corporate opticians
(preferred option) - Enter into a trust agreement with an optometrist
73OMPs
- Normally contractors working at a practice and
using the practices equipment - Advise them to enter into an agreement with
organisation which covers - Premises
- Equipment
- Procedures
- Record Keeping
-
74Newly Qualified Optometrists
- New Regs allow students to apply to a PCT for
inclusion in its Supplementary List 3 months
before they qualify - Application can be processed as far as possible
to avoid delays when they qualify - When student qualifies and PCT is satisfied that
he is registered with GOC he can practice
75New GOS 1 Forms
- These forms are to have two signatories
- The signature of the optometrist who carried out
the eye test - The signature of the contractor or his
representative - This signature does not have to be by a
registered optometrist but good practice would
suggest a list of counter signatories be supplied
to the PCT and regularly updated by the contractor
76What Next
- PCTs should write to Optometrists
- copies of the letter used by East Sussex are
available - Prepare new application forms
- Drafts are available