• Hospital
  • Independent hospital

Archived: Taunton Renal Unit

Creech Castle, Bridgewater Road, Bathpool, Taunton, Somerset, TA1 2DX (01823) 424510

Provided and run by:
B. Braun Avitum UK Limited

Important: The provider of this service changed. See new profile

Latest inspection summary

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Background to this inspection

Updated 22 September 2017

Taunton Renal Unit is operated by B. Braun Avitum Limited. The service opened in 2008. The unit was designed and built in the Creech Castle area of Taunton and provides a clinical area, storage, offices and staff rest areas. The unit primarily serves the communities of Taunton. The unit also accepts patient referrals from outside this area.

The registered manager in post at Taunton Renal Unit since 2013 and is registered for the regulated activity of treatment, disorder and injury and diagnostic and screening procedures.

We inspected Taunton dialysis unit on 20 June 2017 and carried out an unannounced visit on 28 June 2017.

Our inspection team: The team that inspected the service comprised a CQC lead inspector, and one other CQC inspector.The inspection team was overseen by an Inspection Manager and Mary Cridge, Head of Hospital Inspections.

Overall inspection

Updated 22 September 2017

Taunton Renal Unit is operated by B. Braun Avitum Limited. The service has 16 dialysis stations, which included two side rooms for patients and operates three sessions daily. The service is open six days a week, between Monday and Saturday and carries out 252 dialysis sessions a week for a caseload of 84 patients. The dialysis service is provided to NHS funded adults between the age of 18 years and above and has carried out 13,556 dialysis sessions in the last year prior to our inspection. The Royal Devon and Exeter Hospital commissioned B Braun to provide a haemodialysis service at Taunton Renal Unit.

The service is a nurse led unit which provides outpatient satellite dialysis provision to patients.

We inspected this service using our comprehensive inspection methodology. We carried out the announced part of the inspection on 20 June 2017 and carried out an unannounced visit on 28 June 2017.

To get to the heart of patients’ experiences of care and treatment, we ask the same five questions of all services: are they safe, effective, caring, responsive to people's needs, and well-led? Where we have a legal duty to do so we rate services’ performance against each key question as outstanding, good, requires improvement or inadequate.

Throughout the inspection, we took account of what people told us and how the provider understood and complied with the Mental Capacity Act 2005.

Services we do not rate

We regulate dialysis but we do not currently have a legal duty to rate them. We highlight good practice and issues that service providers need to improve and take regulatory action as necessary.

We found the following issues that the service provider needs to improve:

  • Staff did not receive feedback after reporting incidents.
  • Staff were not fully compliant with mandatory training in line with corporate policy.
  • Nurses did not check patients’ identity prior to commencing haemodialysis treatment.
  • The unit needed to ensure the safe management of all patient medicines which includes the administration of fluid boluses during haemodialysis, the safe administration of intravenous medicine in line with the Nursing and Midwifery Council Guidelines (2013), and ensuring dialysis prescriptions were up to date, signed and dated by the lead consultant for the unit.
  • Nurses at the unit were transcribing the patient’s dialysis prescription which was not in line with guidance from the Nursing and Midwifery Council (NMC, 2015).
  • There was no policy or guidance available to staff about the early recognition or management of sepsis. Staff had received no specific training for the early identification of sepsis and management (infection) in line with national guidance (NHS England, 2015).
  • There was no assurance actions following the continuous quality improvement meeting had been completed. Nurses were not signing and dating documents to identify when actions had been completed.
  • Learning objectives set by staff over one year ago had not been signed off to demonstrate the staff member was competent and had achieved the objective.
  • There was no awareness of and evidence of compliance with the Workforce Race Equality Standard (WRES) which became mandatory in April 2015.
  • We were unable to find evidence in staff meeting minutes about discussions which should have taken place as a result of the patient satisfaction questionnaire, which had been signed off as completed in the action plan.
  • We were not assured that risk, quality and performance was monitored for trends and learning.
  • The processes to share learning, risk, quality and performance information with staff was not consistent or thorough.
  • There was not an effective process to monitor ‘live’ risks which included evidence of how local service risks were identified, mitigated and acted upon.
  • However, we found the following areas of good practice:
  • There was a good incident reporting culture and the staff were aware of the procedure to follow when reporting an incident or an adverse patient incident. Staff followed company policy with regards to infection, prevention and control.
  • The unit had clear processes to ensure regular servicing and maintenance of equipment, and there were policies and procedures to follow in case of a failure in the water supply or power failure. Staff were aware of their roles and responsibilities to maintain the service in the event of a major incident.
  • Evidence based practice and the Renal Association guidelines were used to develop how care and treatment was delivered. All policies and procedures were based on national guidance and updated when required to reflect change to national guidance and then distributed to staff. Patient outcomes were monitored in line with best practice guidelines.
  • There was a comprehensive training and induction programme in place to ensure staff competency.
  • There was good multidisciplinary working and strong communication links with the lead consultant and the local NHS trust.
  • There were effective processes for gaining informed consent, which was sought and documented prior to treatment.
  • Patients were treated with dignity, compassion and respect, and on the whole maintained their privacy and dignity in all aspects of care.
  • Staff understood the impact of the treatment on patient’s emotional wellbeing and actively supported patients.
  • Services were planned and delivered to meet individual patient needs and improve their quality of life.
  • There was a system to monitor and deal with complaints. There had been no formal complaints at the unit in the year prior to our inspection.
  • Leaders had the skills and experience to lead and the senior management team were visible and accessible.
  • Staff felt valued and supported in their roles and reported a positive working culture.
  • There was a replacement programme for the dialysis machines, in line with the Renal Association guidelines.

Following this inspection, we told the provider that it must take some actions to comply with the regulations and that it should make other improvements, even though a regulation had not been breached, to help the service improve. We also issued the provider with two requirement notices. Details are at the end of the report.

Edward Baker 

Chief Inspector of Hospitals