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Preceptorship Policy _CL95_May 2019 PRECEPTORSHIP POLICY MAY 2019 This policy supersedes all previous policies for Preceptorship

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Page 1: PRECEPTORSHIP POLICY MAY 2019 - candi.nhs.uk Policy_CL9… · good experience for preceptee’s. 4. Each of the professions may have specific requirements determined by their respective

Preceptorship Policy _CL95_May 2019

PRECEPTORSHIP POLICY MAY 2019

This policy supersedes all previous policies for Preceptorship

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Policy title Preceptorship Policy

Policy reference

CL95

Policy category Clinical

Relevant to All clinical settings

Date published May 2019

Implementation date

May 2019

Date last reviewed

May 2019

Next review date

May 2021

Policy lead Deputy Director of Nursing

Contact details Email: [email protected] Telephone: 020 3317 4684

Accountable director

Director of Nursing

Approved by

Mentorship and Preceptorship Steering Group May 2019

Ratified by Nursing Executive Group

Document history

Date Version Summary of amendments

Sept 2017 5 Review following implementation of Capital Nurse Preceptorship model

May 2019 6 Change to supernumerary period, now 1 week

Membership of the policy development/ review team

Dean Gimblett, Preceptorship Lead, Rachel Cockerton, Practice Development Nurse

Consultation Nursing Executive Group

DO NOT AMEND THIS DOCUMENT

Further copies of this document can be found on the Foundation Trust intranet.

Contents

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1. INTRODUCTION

1 Introduction 3

2 Policy statement 4

4 Executive summary 4

5 Duties and responsibilities 5

6 Definitions 6

7 The Preceptorship Role 7

8 The Preceptee Role 9

9 The Preceptorship Process 10

10 Appraisal 12

11 Addressing Concerns 13

12 Unforeseen Circumstances 13

13 Training Requirements 14

14 Dissemination 14

15. Monitoring Arrangements 15

16 Review of the policy 18

17 References 19

18 Associated documents 19

19 Appendices 20

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1. This policy applies to all Nursing and Midwifery Council (NMC) registered

nurses and all Health and Care Professionals Council (HCPC) registrants who are involved either directly or indirectly in the preceptorship of newly qualified nurses or HCPC registered practitioners.

2. Separate processes are in place for General Medical Council (GMC)

registrants

3. The policy sets the common standards and a national framework for how preceptorship should take place across the Trust. This should result in a consistently high standard of preceptorship across service and care groups. It should ensure that appropriate support and progression arrangements are in place for newly registered staff - thus ensuring a good experience for preceptee’s.

4. Each of the professions may have specific requirements determined by

their respective regulatory or professional bodies regarding the focus, recording and monitoring of preceptorship (or the current common term in use for that profession for this process). These should be referred to in conjunction with this policy. However, in general, the purpose of preceptorship is to facilitate the transition of students / trainees to that of an autonomous and competent registered practitioner. During preceptorship the newly qualified nurse or allied health professional has the opportunity to refine their skills, values and behaviours under the guidance of an experienced colleague.

5. This policy is informed by guidance and standards issued by the

Department of Health (DH): Preceptorship Framework (2010) (Appendix: 1) and Health Education North Central and East London (HE NCEL): Preceptorship Standards (2014) (Appendix: 2) and the Capital Nurse Programme: Capital Nurse Preceptorship Framework (2017). This policy should be referred to in conjunction with any guidance statements or documents issued by HCPC or the NMC regarding standards of professional competence, such as Standards for competence for registered nurses (London: NMC 2010).

1.1. Trust Statement

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1. This policy sets out the Trusts expectations in relation to the role and

conduct of the preceptor as well as the preceptee. It is applicable to all preceptors and newly qualified nurses.

2. The purpose of this policy is to provide a common framework for all professionally registered newly qualified nurses or HCPC registered practitioners undertaking or being prepared to undertake the preceptor or preceptee role. Preceptor’s are vital assets to the Trust, and should be valued, developed and supported in this vital role. Preceptees should be supported to make a successful transition from that of being a student to that of being a competent, confident registered professional who is a valued member of the workforce.

2. Duties and responsibilities The Chief Executive has ultimate responsibility for ensuring that mechanisms are in place for the overall implementation, monitoring and revision of policy. The Executive Director of Nursing holds an organisational wide lead for preceptorship. This is delegated to the Deputy Director of Nursing who should oversee the preceptorship programme for Nurses and Allied Mental Health Professionals. The Associate Director, Governance and Quality Assurance, via the Clinical and Corporate Policy Manager, is responsible for ensuring:

Dissemination and implementation of the policy

Identification of any resource implications to enable compliance

Training and monitoring systems are in place

Regular review of the policy takes place. Associate Divisional Directors are responsible for implementation of the policy within their own spheres of management and must ensure that:

All new and existing staff have access to and are informed of the policy

Local written procedures support and comply with the policy

Ensure the policy is reviewed regularly

Staff training needs are identified and met to enable implementation of the Policy.

Protected time is agreed and made available to both preceptor preceptee.

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Service Managers, Professional Leads, Matrons, Team managers and Ward Managers, via their respective clinical management and or reporting structures are responsible for ensuring that processes exist within their area to support, implement, sustain, evaluate and update new entrants. They are responsible for:

Ensuring that protected time is made available during meetings and supervision to discuss preceptorship, preceptors and or preceptee’s in their area

Identifying through existing reporting, supervision and appraisal structures those suitable for the role of preceptor – ensuring that they are prepared i.e. through shadowing, inducted to and are developed and monitored in this role

Maintaining a record of all preceptors in their lead area, ensuring that this is updated not less than quarterly with copies forwarded to the Preceptorship Development Lead and Deputy Director of Nursing for monitoring purposes

Maintain a record of newly registered staff in their clinical area, ensuring that this is updated not less than quarterly with copies forwarded to the Preceptorship Development Lead and Deputy Director of Nursing for monitoring purposes

To monitor both the preceptee and preceptors progress during the preceptorship period

Ensure that all nursing staff in the clinical team support the preceptee

Ensuring a replacement/associate preceptor is immediately allocated in the absence of the preceptor.

Recruitment Department / Workforce Planning Department are responsible for ensuring that a monthly starters and leavers list is forwarded to Preceptorship Project Lead and relevant Service Manager or Matron. Preceptorship Development Lead, working with the Practice and Development Team must keep an up to date list of all preceptors and preceptee’s. They must:

Ensure all line managers, preceptors and preceptee’s have a copy of the preceptorship policy and preceptorship handbook and understanding of the programme

Communicate with all identified preceptors to explain the contents and expectations of the preceptorship programme. This can either be through a forum, 1:1, email or telephone consultation

Ensuring that all identified preceptee’s are invited to attend the NQN Training and Development programme as part of a structured preceptorship programme, meeting at a minimum, the standards laid out

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by HE NCEL (Appendix 2) and the Capital Nurse Preceptorship Framework (2017).

Hosting, monthly Action Learning sessions for preceptee’s, the content of which will be determined by the preceptee’s.

Maintaining an up to date preceptor / preceptee database

Where required, measure the impact of the precptorship programme by: allocations of preceptor to preceptee within specific times of

preceptee start date Preceptor and preceptee meeting interims Retention of preceptees after one and two year periods Qualitative feedback from preceptee

All professionally qualified directly employed Trust staff are responsible for ensuring that they:

Are familiar with the content of all related trust policy and follow its requirements

Meet and maintain their professional obligations in respect of becoming and being a preceptor

Support preceptee’s in practice

3. Definitions

3.1 Preceptor

A preceptor has a formal responsibility to support newly qualified practitioners. The will be a suitably qualified and experienced registered practitioner with at least 12 months experience in working as a band 5 or band 6. They will provide guidance to the preceptee by facilaiting the transition from student to registered nurse by gaining experience and applying learning in a clinical setting during the preceptorship period. They will possess the necessary skills and knowledge to support, supervise, teach, coach, assess and appraise competence and confidence. They are able to facilitate reflection and act as an exemplary role model for the preceptee.

3.2 Preceptee

A preceptee is a newly registered practitioner entering their chosen profession. This term also applies to those arriving from overseas and registering with a UK regulatory body and may be applicable to those changing their area of work or field of practice and those returning to professional practice following a career break.

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3.3 Depending on specific regulatory and or professional body requirements preceptorship and associated developmental supervision may last for up to 12 months i.e. Social Workers and Psychologists, but, for other professions 6 months is currently deemed to be the optimal period of time.

3.4 This organisation expects all preceptee’s to have attained all of their probationary contract requirements within 6 months of commencement of contractual employment (see probation policy).

4. The Preceptor role

4.1 There are few definitions of what constitutes preceptor preparation and

this may vary depending on the requirements of each profession. The Preceptorship Framework (DH 2010) states within its standards for preceptorship that:-:

‘Organisations demonstrate that preceptors are appropriately prepared and supported to undertake the role and that the effectiveness of the preceptor is monitored through appraisal.’

4.2 There are currently no common formal qualifications associated with becoming a preceptor, however the general expectation is that the preceptor will have successfully completed mentorship training and/or have a minimum 12 months experience working as a band 5 or band 6. They should be competent in conducting appraisal and supervision of more junior staff and should have evidence of continued professional development through both revalidation and appraisal processes. The preceptorship lead will have the responsibility to communicate the Preceptorship training events throughout the organisation and measure the outcomes. The line manager will have responsibility to ensure all identified preceptors within their teams attend the preceptor training

4.3 Service / line managers and professional leads to be confident that they have adequate numbers of preceptors in their area that are suitable for the role and that they routinely take an active role in identifying staff suited for development into this role during appraisal and or supervision processes.

4.4 A preceptor should be allocated by the line manager or can be volunteers. Research shows that the best preceptors are those who are volunteers and have more recent experience of being a newly qualified nurse. The line manager will make the overall decision.

4.5 Preceptee’s should have no more than two preceptors at any one time. A gold standard requires one preceptee allocated to each preceptor.

4.6 The preceptors responsibilities include: -

Maintaining their respective professional registration requirements

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Ensuring that their practice is and remains up to date and evidence based

Commit time to the preceptor role and the requirements associated with it.

Assisting in the facilitation of the preceptee’s journey from student to autonomous newly qualified professional, who is competent and confident to practice safely.

Communicate with other nursing staff/members of the MDT on the preceptee’s progress.

Encouraging all nursing staff to the support the preceptee. In his/her absence the preceptor/line manager may agree for other experienced nursing staff to sign off relevant competencies

Provide constructive feedback on the preceptee’s performance and development.

Assisting the preceptee to undertake a transitional needs analysis on their commencement of work in the clinical setting.

Supporting the preceptee’s achievement of competencies, standards and learning outcomes as part of the trusts preceptorship programme and scrutinising and assessing the necessary evidence.

Record formal discussions with the preceptee (Start, Mid, End)

Informing the line manager of the preceptee’s successful completion of all the necessary requirements.

Maintaining their skill and ability in the preceptor role, regularly engaging with development activity associated with the role.

NB* the preceptor is not accountable for the actions or omissions of the preceptee. As a registered professional the preceptee is accountable for their own practice within the context and limitation of their knowledge (as stipulated in respective professional Codes of Conduct).

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5. The Preceptee role

5.1 The preceptee is someone who holds a professional qualification and

appropriate registration with a regulatory body.

5.2 The preceptee’s must:

Meet with their preceptor in their first week of practice in the clinical area to identify and agree learning objectives.

Meet with the preceptor on a regular basis. For inpatient setting a minimum of monthly supervision with their preceptor is required, however it is recommended more frequently at the start of the preceptorship programme. For community preceptee’s where lone working is more frequent, a minimum of weekly supervision with the preceptee is required (meeting frequencies may diminish over time depending on the preceptee’s progress). All preceptee’s and preceptor’s should meet regular to review progress. As a minimum hold an initial meeting at outset, interim meeting at 3 months and a final meeting at 6 months (ensuring requirements are met within the probationary period).

Under no circumstance should a preceptee be working as a shift co-ordinator/ care co-ordinator (community setting) until an effective registration is in place. Once PIN is in place regular and on-going support by the preceptor and caseload supervision by the line manager is essential until both the Preceptee/Preceptor feels confident he/she is able to undertake the role without direct supervsion.

Take responsibility for their own learning and development by undertaking and documenting a transitional needs analysis within the preceptorship handbook upon commencement of employment in the clinical area.

Commit time to the preceptorship process and work collaboratively with their preceptor to identify and achieve learning needs and reflect on practice and experiences

Understand the competencies, standards, learning outcomes and professional behaviours to be addressed as part of the trusts preceptorship programme and collating evidences to demonstrate that they have been met.

Recording formal discussions with the preceptor in the preceptorship handbook and/or trust supervision record.

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Partake in reflective practice, ensuring that appropriate records are maintained.

Demonstrate, through both reflective and observed practice, that they possess an underpinning framework of knowledge, values and attitudes as well as competencies.

Attend trust induction, mandatory training sessions, taught sessions, learning sets, on-line learning and study days that may be offered as part of the preceptorship programme.

Provide feedback to enable preceptorship processes and systems to be reviewed and developed further in the trust

Engage in clinical and managerial supervision, probationary contract and appraisal processes, which are considered to be separate from, but complimentary to preceptorship.

Adhere to completing the preceptorship programme on time and forward the completed documentation to the preceptorship lead.

6. The Preceptorship Process

6.1 The preceptee will be counted in the numbers as band 3 Health Care

Support worker until an active NMC registration is in place. The preceptee will then work as band 5 registered nurse in line with NHS Agenda for Change. Any unreasonable delays in the preceptee obtaining their pins, for example the preceptee not paying their NMC fee on time or sending off the NMC paperwork in a timely manner, will result in a disciplinary action. It is the responsibility of the preceptee to keep their line manager fully informed of any delays in obtaining their PIN.

6.2 The 6 months preceptorship process will commence once the preceptee’s NMC registration is fully effective. However as the preceptee will remain effective as a ‘student nurse’ until their NMC pins become effective, considerations can be given to the preceptee in undertake nursing tasks with direct supervision and guidance from their preceptor. In under no circumstance should the preceptee undertake any nursing tasks (both inpatient and community) without direct supervision from the preceptor or another qualified nurse with a minimum 12 months experience. During this period the preceptee can undertake the medication management assessment, with direct supervision from the preceptor.

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6.3 It is the preceptee’s responsibility to inform the line manager, preceptor and preceptorship lead once the PIN becomes effective.

6.4 All Preceptee’s will have a minimum 1 week supernumerary period in practice and 1 week induction period outside of practice. Prior to the preceptee’s start date the line manager for the area in which the preceptee will work will ensure that a preceptor is identified and scheduled to work directly with the preceptee regularly during their first three months in practice. This should be as followed: 1 shift week/4 shifts a month with the preceptor for the first three months in practice.

6.5 The line manager will record both the preceptee’s and preceptor’s details in a local record. This information will be shared with the Preceptorship Lead and Deputy Director of Nursing as required. A ‘nil’ return will be made during these reporting periods should there be no preceptee’s in post.

6.6 The preceptee will be provided with details of their preceptorship programme during their trust induction.

6.7 Line managers will ensure that protected time is allocated to both the preceptor and preceptee to enable them to discuss in detail the preceptorship programme and agree: -

The frequency of any formal support or supervision sessions and negotiating with the line manager protected time around this.

Identify areas that may require direct supervision until any required formal work place assessments have taken place (for example, medication administration, management of the clinical practice area) and those areas where indirect supervision will suffice for example, completing documentation)

Ways of accessing support should the preceptor be unavailable

How the preceptor and preceptee will work together to ensure that clinical competencies are met and the relevant evidence of progress is gathered and recorded and ensuring protected time is granted.

In areas where shift work is the norm, the preceptee are required to work one shift per week with their preceptor (for the first three months). Following this period the preceptor will agree on reducing the joint working arrangement in conjunction with meeting the preceptee’s on-going learning needs. For community preceptee there should be a period of shadowing with their preceptor (agreed by manager), thereafter the preceptee/preceptor are required to

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meet on a weekly basis (see 5.2). Consideration should be given by the line manager in conjunction with the preceptor and preceptee at what point it would be clinically appropriate for the preceptee to rotate to night duty. This decision should be recorded in the preceptee’s preceptorship handbook.

6.8 The line manager remains responsible for ensuring:-

That both induction, and probationary contract processes follow trust policy requirements.

They have discussed with the preceptors and preceptee’s in jointly agreeing when the preceptee will take responsibility for a case load, coordinate shifts, take charge of the clinical area and other responsibilities that the role entails.

6.9 Where it is a professional role expectation to undertake the administration and management of medicines the preceptee will follow trust policy in relation to demonstrating their competence in this regard before being permitted to undertake single person administration of medicines. The requirement to understand the administration and management of medication applies to all registered nursing posts irrespective of whether the post is in a community or inpatient setting. Therefore nursing preceptee’s working in a community setting will require a period of supervised practice with an appropriate colleague in an area where medications are routinely administered. It is the responsibility of the line manager to arrange this.

7. Appraisal

7.1 Standard trust procedure in relation to new starter’s probationary contract review and appraisal processes will take place in tandem with the preceptorship process. However, it may be useful to view each process as not being exclusive from one another, but as being complimentary (Appendix: 3).

7.2 The Probation Period will not start with the Trust until a preceptee’s PIN has been received/activated. A preceptee’s probation period will run in line with their preceptorship programme and probation cannot be passed without completion of their preceptorship (for further information please refer to the Trust’s probation policy).

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7.3 The preceptee’s progress in their role along with their personal development requirements should be discussed formally as part of the trusts appraisal process.

7.4 It is expected that preceptorship will be a ‘standing agenda item’ for managerial and practice supervision sessions as well as other supervision activities particularly when the preceptor has responsibility for a preceptee.

7.5 Evidence of achieved preceptorship will be the sign off the preceptorship handbook.

8. Addressing Concerns

8.1 Line Managers / Professional Leads must be informed at the earliest opportunity should the preceptor or preceptee have concerns about the performance, development or conduct of the preceptee or preceptor. At this early stage attempts should be made to resolve the issue locally. However, depending on circumstances, it may be advisable to seek advice from the Trusts Human Resources Department particularly if consideration is being given to instigating procedures under the Trust’s Probationary Contract Policy or Trust Capability Policy and Procedures.

9. Unforeseen Circumstances

9.1 Where it is unavoidable that a preceptee moves to a different clinical area

during the preceptorship period, a new preceptor must first of all be identified by the respective line manager / professional lead. The new preceptor and the preceptee must meet before the transfer of preceptorship is complete. This would ensure that all relevant information about the preceptee’s progress is handed over and agreed. Additional requirements that need to be met should be highlighted and plans put in place to meet those requirements.

9.2 In exceptional circumstances should it become necessary to change preceptor during a period of preceptorship, a handover must take place between the two preceptors and the preceptee. In some instances, this may not be possible in which case the line manager / professional lead shall be expected to facilitate this process to ensure that the preceptee is not left without a preceptor.

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9.3 A three month extension to the preceptorship programme and probationary period will only be granted on a individual basis where unforeseen circumstances has delayed he/she in completing the programme. It is the line manager’s responsibility to inform the preceptorship lead in advanced who will make the decision in granting an extension.

10. Training requirements

10.1 All preceptors will be offered the opportunity and time to attend a

preceptor’s forum.

10.2 Day to day support for preceptors is available from line mangers and professional leads.

10.3 Reference must also be made to the Trusts Mandatory training policy and Probation policy.

11. Dissemination and implementation arrangements

11.1 This policy will be circulated to Service Managers, Professional Leads and Matrons who will be required to cascade the information to all members of their teams.

11.2 Team managers are responsible for ensuring that staff are briefed on the content of this document

11.3 All preceptee’s will work as a band 5 in line with NHS Agenda for Change and will have needed to have completed the preceptorship programme and NQN Training and Development programme before applying for senior positions within the trust (band 6 and above).

11.4 The policy will be available to all staff via the Trust intranet

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Preceptorship Policy _CL95_May 2019

12. Monitoring and Audit Arrangements Elements to be monitored

Lead How Trust will monitor compliance

Frequency Reporting

Acting on recommendations and Lead(s)

Change in practice and lessons to be shared

Numbers of newly registered staff joining the Trust and numbers of newly registered staff leaving the trust

HR / Preceptorship Lead

New starter information

Leaver information

Monthly Nursing Executive / Full Employment Group

Required actions will be identified and completed in a specified timeframe

Required changes to practice will be identified and actioned within a specific time frame. The preceptorship lead will share measured outcomes with HEE and Capital Nurse.Incorporate further national guidance on preceptorship where appropriate.

Lessons will be shared with all the relevant stakeholders

Numbers in preceptorship from day 1 of contract of employment

Professional leads / Service Leads / matrons

Returns to Preceptorship Lead and Heads of Profession

Quarterly Nursing Executive / Full Employment Group

Numbers completing preceptorship

Professional leads / Service Leads / matrons

Returns to Preceptorship Lead and Heads of Profession

Quarterly Nursing Executive / Full employment Group

Numbers successful in completion of probation period

e.g. Appraisal;

Unforeseen circumstances

Extensions to probation

Failed probation

Line Mangers Returns to HR Quarterly Nursing Executive / Full Employment Group

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Number of staff in preceptors role

Line Manger/ Service Leads / professional leads / Professional leads

Register maintained by Preceptorship Lead and Heads of Profession

Quarterly Nursing Executive / Workforce

Numbers of preceptors attending training / forums / learning sets and their feedback

Preceptorship Lead

Quarterly report

Quarterly Nursing Executive / Workforce

Numbers of preceptee’s attending learning sets / forums and their feedback

Preceptorship Lead

Quarterly report

Quarterly Nursing Executive / Workforce

Impact of the preceptorship programme on retention needs

Lead Quarterly report

Annual Nursing Executive / Workforce

Preceptorship lead will measure:

Allocation of peceptors to NQNs within specified times of NQN start date

Percentage of formal review meetings held between preceptor and preceptee at suggested interims

Retention of

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NQN after one and two year qualifying

Qualiative feedback from NQN

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Preceptorship Policy _CL95_May 2019

14. Review of the policy

14.1 This policy will be reviewed in June 2019 or earlier should there be a

change in statutory or regulatory body requirements. This would ensure that newly registered staff has a consistent, quality experience during the transition from trainee to practitioner facilitated and supported by skilled, supported preceptors.

15. Bibliography and References

17.1 The development of this policy review has been informed by current practice, practices across a number of other trusts such as East Sussex Partnership NHS Foundation Trust, East London NHS Foundation Trust and regional / national policy relating to preceptorship within the context of providing safety for service users and modernising carers.

Capital Nurse Programme (2017) Preceptorship Framework. Health Education England

Department of Health (2008) A high quality workforce: NHS Next stage review. London DH

Department of Health (2010) Preceptorship framework for Newly Registered Nurses Midwives and Allied Health Professionals. London: DH

East London NHS Foundation Trust Preceptorship Policy (2015)

Health Education North Central and East London Preceptorship Standards 2014

HCPC Standards of Conduct

http://www.hcpc-uk.org/assets/documents/10003B6EStandardsofconduct,performanceandethics.pdf

L. Currie and C. Watts (2012) Preceptorship and pre-registration nurse education

Morley, M (2006 and 2009 2nd Edition) Preceptorship handbook for Occupational Therapists. London: College of Occupational Therapists

NIPEC (2013) Preceptorship Framework for Nursing, Midwifery and Specialist Community Nursing in Northern Ireland. Northern Ireland: DHSSPS NIPEC

Nursing and Midwifery Council (2006) Preceptorship Guidelines. London: NMC

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Nursing and Midwifery Council (2008) Preceptorship Guidelines. NMC Circular 21/2006. London. Nursing and Midwifery Council

Nursing and Midwifery Council (2008) NMC Standards to support learning and assessment in practice: NMC Standards for mentors, practice teachers and teachers. London: NMC

Nursing and Midwifery Council (2010): NMC Standards for competence for registered nurses: London, NMC (as outlined in Standards for pre-registration nursing education (NMC,2010))

Sure Start (Scotland)

NMC The Code

http://www.nmc-uk.org/Documents/NMC-Publications/NMC-Code-A5-FINAL.pdf

16. Associated documents This policy should be read in conjunction with the following trust policies / documents accessible via the Intranet (Note that only policies/documents on the

Intranet are the current versions):

Trust Appraisal Policy

Trust Probation Policy

Trust Clinical Professional and Practice Supervision Policy

Trust Capability Policy and Procedures

Trust Induction Policy

Trust Nursing Strategy

Trust Mentorship Policy

The Trust Mandatory Training Policy and Learning and Development Guide

Incident Reporting policy

Management of Serious Incidents Policy

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APPENDIX: 1

DH Preceptorship Framework: A standard for preceptorship (2010)

The Standard contains the following elements:

Systems are in place to identify all staff requiring preceptorship.

Systems are in place to monitor and track newly registered practitioners from their appointment through to completion of the preceptorship period.

Preceptors are identified from the workforce within clinical areas and demonstrate the attributes outlined in the box (see right).

Organisations have sufficient numbers of preceptors in place to support the number of newly registered practitioners employed.

Organisations demonstrate that preceptors are appropriately prepared and supported to undertake the role and that the effectiveness of the preceptor is monitored through appraisal.

Organisations ensure that their preceptorship arrangements meet and satisfy professional regulatory body and the KSF requirements.

Organisations ensure that newly registered practitioners understand the concept of preceptorship and engage fully.

An evaluative framework is in place that demonstrates benefits and value for money.

Organisations publish their preceptorship framework facilitating transparency of goals and expectations.

Organisations ensure that evidence produced during preceptorship is available for audit and submission for potential verification by the NMC/HPC.

Preceptorship operates within a governance framework.

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APPENDIX: 2

HE NCEL Preceptorship Standards 2014

The organisation has a preceptorship policy

There is an organisational wide lead for preceptorship

There is a structured preceptorship programme that has been agreed by the

Executive Nurse

The organisation facilitates protected time for preceptorship activities

There is a clearly defined purpose of preceptorship that is mutually understood by

preceptors and preceptee’s

Preceptorship aligns with the organisational appraisal framework

Preceptors have undertaken training and education that is distinct from

mentorship preparation

There is a central register of preceptors

Systems are in place to identify all staff requiring preceptorship

Systems are in place to monitor and track newly registered practitioners from their

appointment through completion of the preceptorship period

Every newly qualified nurse has a named preceptor allocated from day 1 of

employment

Preceptorship is tailored to meet the need of the individual preceptee

The preceptee undertakes a transitional needs analysis

Preceptorship is monitored and evaluated

A range of relevant skills training and assessments are available to meet the

needs of preceptee’s

Action learning, group reflection or discussion are included in the preceptorship

process

Preceptee’s contribute to the development of preceptorship programmes

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The preceptorship programme is clearly linked to the 6 C’s and includes the following elements: 1. Accountability 2. Career development 3. Communication 4. Dealing with conflict/managing difficult conversations 5. Delivering safe care 6. Emotional intelligence 7. Leadership 8. Quality Improvement 9. Resilience 10. Reflection 11. Safe staffing /raising concerns 12. Team working 13. Medicines management (where relevant)

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APPENDIX: 3

Preceptorship and Probation Process Flow Chart

Preceptee starts employment, is allocated to and meets their preceptor on day 1, receives a preceptee tool / workbook and attends trust induction. Preceptee undertakes a transitional needs analysis. Preceptee officially starts programme once he/she has active PIN

Working and meeting regularly with the preceptor, following trust preceptorship processes. Agreeing supervision and review meeting schedules. Concurrently, the line manager follows probationary contract processes i.e. initial review and mid-point review. Line manager acts in a timely manner on information from preceptor / other staff should there be concerns about the preceptee’s capability and performance.

Probation review undertaken by line manager (around 3 months after start)

Around 6 months after start: probation contract review undertaken by line manager and concurrent Preceptorship review by the preceptor – the results of which are discussed with the line manager.

Probation period failed – probation extended by 3 months (preceptorship can only be extended should there be demonstrable extraordinary circumstances)

Probation and preceptorship period passed and employment is confirmed. Appraisal conducted in time frame outlined in trust policy

Probation period and preceptorship failed. Employment terminated

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APPENDIX: 4

Equality Impact Assessment Tool

Yes/No Comments

1. Does the policy/guidance affect one group less or more favourably than another on the basis of:

Race N

Ethnic origins (including gypsies and travellers) N

Nationality N

Gender N

Culture N

Religion or belief N

Sexual orientation including lesbian, gay and bisexual people

N

Age N

Disability - learning disabilities, physical disability, sensory impairment and mental health problems

N

2. Is there any evidence that some groups are affected differently?

N

3. If you have identified potential discrimination, are any exceptions valid, legal and/or justifiable?

N/A

4. Is the impact of the policy/guidance likely to be negative?

N

5. If so can the impact be avoided? N/A

6. What alternatives are there to achieving the policy/guidance without the impact?

N/A

7. Can we reduce the impact by taking different action?

N/A