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National Arrangements for Safety and Quality of Health Care in Australia The Report of the Review of Future Governance Arrangements for Safety and Quality in Health Care The Hon Dr Peter Toyne Chair Australian Health Ministers’ Conference Dear Dr Toyne, Review of Future Governance Arrangements for Safety and Quality in Health Care On behalf of the members of the Review Team for the Review of Future Governance Arrangements for Safety and Quality in Health Care, it is my pleasure to submit our Final Report for the consideration of Health Ministers. The Review Team has met regularly since September 2004 and has conducted an extensive consultation process. Submissions were received from a large number of stakeholders and consultation meetings have been held in all States and Territories. I would like to acknowledge the valuable contributions of stakeholders during the Review. Australia is well respected internationally for its efforts to improve the safety and quality of health care, in large part due to the leadership of the Australian Council for Safety and Quality in Health Care. There is still, however, important work to be done at all levels of the health system to ensure that care is safe, effective and responsive to the needs of consumers. I believe that the recommendations in this Report will, if adopted, improve current governance arrangements, coordinate national action and lead to measurable improvement in the safety and quality of patient care and the efficiency of health service delivery. I commend the Report to Ministers. Yours sincerely, Ron Paterson Chair Review Team 28 July 2005 Acknowledgements We wish to thank all the individuals and participants who contributed to the Review. In particular, we wish to thank the following: • Professor Andrew Wilson for his generous contribution in undertaking the research, analysis and documentation of the key issues relevant to the future governance arrangements for improving safety and quality in health care. • Professor Bruce Barraclough AO, Chair, Australian Council for Safety and Quality in Health Care and Council members for their assistance and information. • Mr Dermot Casey, Ms Kirsty Cheyne-Macpherson, Ms Vicki Grant and Ms Victoria Willard of the Office of the Safety and Quality Council for their assistance and information. • Ms Lynette Glendinning and Mr Douglas Smith of PALM Consulting Group for facilitating the national workshop and preparing the workshop report. • Our contacts at each of the Health Departments, who are too numerous to name, for their assistance with the consultation meetings. Their organisation of the venue, catering and invitations for their State/Territory enabled the Review to reach a broad range of stakeholders. • The many individuals and organisations that participated in the national consultation process. • Mr Peter Harvey and staff of the Health, Community and Disability Services Ministerial Council Secretariat for their assistance and advice. • The Review Secretariat: Beth Slatyer, Patricia Frake and Kathleen Kinmonth and, for varying periods, Sonya Kelly, Teressa Ward and David Michell for their support and assistance. -i- Table of Contents Acknowledgements i Executive summary iv Recommendations ix 1. Review context 1 1.1 1.2 1.3 1.4 1.5 1 2 3 4 5 2. Review of Council 2.1 2.2 2.3 2.4 3. 6 8 8 9 9 10 11 12 12 13 13 14 14 16 3.1 3.2 3.3 3.4 16 17 18 20 21 21 23 National safety and quality body Scope of national action Functions of the national body Making it happen 3.4.1 Public Reporting 3.4.2 Roles of jurisdictions and other stakeholders 3.4.3 Responsibility for implementation 3.4.4 National Strategic Framework for Improving the Safety and Quality of Health Care Conclusions: what will success look like? Designing a new national safety and quality body 4.1 4.2 4.3 4.4 4.5 - ii - Approach taken by Council in addressing its Terms of Reference Views from Review consultations 2.2.1 Acknowledged successes of the Council 2.2.2 Issues and concerns Review Team’s view 2.3.1 Capacity to drive implementation 2.3.2 Engagement with jurisdictions 2.3.3 Strategic partnerships with other key stakeholders 2.3.4 Performance measurement and reporting 2.3.5 Communication and information dissemination 2.3.6 Questions of scope 2.3.7 Internal governance issues Conclusions 6 Achieving a transformation 3.5 4. Why safety and quality matters Australian Council for Safety and Quality in Health Care Terms of Reference for the Review Review Team membership Consultation process and background research 24 24 26 What are the governance problems that the features of a new national body must solve? 26 What are the principles of good governance? 27 Are there suitable overseas models for a national safety and quality body? 28 Design of the national body – translating the principles of good governance into governance arrangements for the national safety and quality body 28 Linkages and coordination 30 4.5.1 Linkages and coordination with jurisdictions 30 4.6 4.7 4.8 5. Legal form of the national body and transition arrangements 5.1 5.2 5.3 5.4 6. 7. 4.5.2 Linkages and coordination with the Chairs of State and Territory safety and quality bodies 31 4.5.3 Linkages and coordination with other stakeholders 32 4.5.4 Steering policy development on nationally agreed priority areas by expert working groups 33 Diagram showing the essential features of the national body 35 Resources and timeframe 36 Conclusions 36 37 Legal forms/structures considered by the Review Team 37 Structural options 37 5.2.1 Committee reporting to Ministers – an enhancement of current Council arrangements 37 5.2.2 Not-for-profit company limited by guarantee 38 5.2.3 A new statutory body 39 5.2.4 A new body under existing statute 39 5.2.5 Comparison of the options 40 Implementation of the Review: transition arrangements to new national body 41 Conclusions 42 Priorities for future national action 43 6.1 6.2 6.3 6.4 43 43 47 49 Stakeholder views Review Team’s view Process for identifying future national priorities Conclusions Enhancing the role of accreditation 50 7.1 7.2 7.3 7.4 50 50 51 52 52 53 54 7.5 Context Stakeholder views and concerns about current accreditation processes Current status of Council’s work on accreditation reform Review Team’s view 7.4.1 Impact of accreditation 7.4.2 Reform of current accreditation processes Conclusions Appendix 1 Australian Council for Safety and Quality in Health Care membership as at May 2005 55 Appendix 2 List of Council achievements 57 Appendix 3 Public submissions to the Review 59 Appendix 4 List of workshop attendees 62 Appendix 5 Consultation meeting participants 65 Acronyms 68 Bibliography 69 - iii - Executive summary The Review of Future Governance Arrangements for Safety and Quality in Health Care is charged with proposing the best future governance arrangements to transform the safety and quality of health care in Australia. Specifically, the Review Team was asked to advise on the national leadership and co-ordination of safety and quality improvement efforts. In its deliberations, taking into account submissions, consultation feedback and a review of relevant literature, the Review Team has formed the view that there remains a place for a national body to lead patient safety and quality improvement in Australia, but that its functions and purpose must be clearly defined, it must have effective links with jurisdictions and key stakeholders, and its advice must be implementable. The Review Team considers effective links with jurisdictions and key stakeholders to be of particular importance, because the national body is just one part of broader national governance arrangements for safety and quality. These governance arrangements need to ensure that jurisdictions and stakeholders are able to contribute to priority setting and policy development and fulfil their responsibility for implementation of nationally agreed policies and standards across public and private health care settings. The Review Team considers that the broader governance arrangements will have been successful if, in five years, there has been measurable improvement across a number of key indicators in the quality of health care received by patients in Australia. Safety and quality will no longer be seen as a series of discrete projects and will be operationalised at all levels of the health system. Achieving such a transformation has the potential to deliver sizeable dividends, not just in the safety and quality of care, but in improved efficiency and utilisation of health resources. Review of Council The Review Team considers that the Australian Council for Safety and Quality in Health Care (Council) has made a valuable contribution to raising awareness of safety and quality issues (what the key issues are, how to tackle them and the importance of taking a systems approach) particularly among clinicians and administrators involved in quality improvement activities. The Council has also produced an extensive body of policy work which has led to the development of important national policies and standards endorsed by Ministers. Patient safety must remain a high priority and the valuable work begun by the Council must be continued. It is important to fully implement those Council recommendations approved by Health Ministers and progress key areas from Council’s current work plan. The Review Team considers, however, that the future work of a national body should have a broad quality improvement focus, across a range of health care delivery settings, with the aim of achieving care that is safe, effective and responsive to the needs of consumers. With the benefit of hindsight, aspects of the current Council arrangements, particularly the lack of formal links and partnerships between Council, jurisdictions and other key bodies, have hampered its effectiveness. - iv - The challenge is to develop a genuinely national approach, something that can best be addressed by clearly defining the scope and governance arrangements for future safety and quality action. Achieving a transformation in health care safety and quality Transforming safety and quality takes concerted action from a range of stakeholders working towards common, clearly understood goals. Stakeholders want action – they want to know the right things to do (clinically or in the way systems are organised) and for them to be done. National action should seek to operationalise safety and quality at all levels of the health system and achieve measurable improvement in the safety and quality of care. Informed by the Review consultation process, the Review Team believes that achieving this transformation will require: • • • • • a new national safety and quality body with clearly defined functions; a quality improvement focus across the continuum of health care; public reporting on the progress of safety and quality improvement as a key driver for change; clearly defined functions to be performed by jurisdictions, including responsibility for implementation; and a National Strategic Framework which promotes coordinated action from all key players. The functions proposed by the Review Team for the new national safety and quality body are: • • • • • lead and coordinate improvements in safety and quality in health care in Australia by identifying issues and policy directions, recommending priorities for action, disseminating knowledge, and advocating for safety and quality; report publicly on the state of safety and quality including performance against standards; recommend national data sets for safety and quality, working within current multilateral governmental arrangements for data development, standards, collection and reporting; provide strategic advice to Health Ministers on ‘best practice’ thinking to drive quality improvement, including implementation strategies; and recommend nationally agreed standards for safety and quality improvement. The Review Team has decided against recommending a national safety and quality regulator because it is not convinced such a regulatory body would be effective in Australia’s federal system. Furthermore, the Review Team believes public reporting is an under-utilised driver for change which should be given the opportunity to “transform” safety and quality of care before seeking to mandate change through national regulation. The national body must fulfil its own specific functions, and establish strategic partnerships with other key bodies so that in fulfilling their responsibilities they operate as part of a nationally coordinated effort to improve safety and quality. This is particularly important in the case of those other bodies with existing authority and mechanisms for regulation. -v- It is timely for jurisdictions to reassess their own arrangements and structures for supporting improvements in the safety and quality of health care across the continuum. This should build on what is already in place and ensure that the health system is operated in a way that promotes safe, high quality care. Implementation should remain the responsibility of jurisdictions, who need to ensure they have the capacity to effectively implement safety and quality improvements in a comprehensive and coordinated way across public and private health care settings. Additionally, in partnership with the national body, links need to be established with key stakeholders to ensure implementation. The concerted action of all interested stakeholders needs to be promoted through the development of a National Strategic Framework for Improving the Safety and Quality of Health Care. Collectively, the national body, the arrangements in place in individual jurisdictions, and the National Strategic Framework form the core elements of national governance arrangements for improving the safety and quality of health care in Australia. Designing a new safety and quality body – essential features The Review Team believes that to fulfil its functions the national body needs to be small and focused. The body should report to Health Ministers who, as a group, are responsible for ensuring that there are appropriate systems for the delivery of safe, high quality health care. Its work should be led by an experienced, highly credible Chairperson and be supported by a highly capable full-time Chief Executive Officer (CEO) as head of an expert office. The Review Team is of the view that to be able to fulfil its purpose, the internal features of the national body will need to conform to the principles of good governance applicable to any enterprise. It must incorporate a mix of skills which will allow it to translate expert knowledge on safety and quality across the continuum of care into feasible recommendations to Health Ministers. The size of the body must be small enough to focus its energy on key outcomes and support timely decision-making. The Review Team believes that it is crucially important that the Australian Health Ministers’ Advisory Council (AHMAC) is formally part of the governance arrangements for the body and that jurisdictions are fully aware of and able to participate in its work plan. Broad stakeholder engagement is also essential to ensure that decision-making and priority setting is well informed and relevant. - vi - The essential features of the new safety and quality body proposed by the Review Team are: • • • • a small body of 8 or 9 members with skills in health systems improvement and corporate governance (members would include an independent, part-time Chairperson, at least 1 AHMAC member, and 6 or 7 other experts of whom up to 2 could be additional AHMAC members or their nominees); a full-time CEO, capable of engaging government and non-government organisations at a senior level, and an expert office; an Inter-jurisdictional Committee, with representatives from all 9 jurisdictions and chaired by the AHMAC member of the body; and a Stakeholder Reference Group, with up to 20 members comprising Chairs of jurisdictional safety and quality bodies and representatives of other key national stakeholder bodies, and chaired by a member of the national body. Legal form of the national body and transition arrangements A range of legal forms are consistent with the essential features of the new national body proposed by the Review Team and four options are presented for the consideration of AHMC: • • • • a Committee reporting to Health Ministers; a not-for-profit company limited by guarantee, established jointly by Health Ministers; a statutory body established under new legislation; and a body established under existing legislation. Decisions on the form of the new body need to be made as a matter of urgency, in order to maintain momentum and to speed the implementation of national safety and quality initiatives. Priorities for future national action The Review Team believes that the priorities for national action should both build on the valuable work of Council and allow a refocusing of the agenda on measurable improvement in safety and quality across the continuum of care. The immediate priorities for the future should be to: • • • establish new national governance arrangements for safety and quality improvement by June 2006 (responsibility of AHMC and individual jurisdictions); take action to deliver on the functions of the new national body (responsibility of the national body): - develop a National Strategic Framework for Improving the Safety and Quality of Health Care; - prepare a National Report on the State of Safety and Quality; fully implement the eight uniform national actions to improve patient safety previously agreed to by Ministers (responsibility of all jurisdictions collaboratively, and with other stakeholders) and create a National Minimum Data Set for Safety and Quality (responsibility of NHIG and the new national body/Council); - vii - • finalise key elements of Council’s work plan (responsibility of the national body and Council in the interim): - provide advice on the reform and streamlining of accreditation; - provide advice on the implementation of the Open Disclosure Standard; - develop an implementation plan for the Credentialling Standard. The new body should also establish a transparent consultation process for setting priorities in the future, involving all key stakeholders. Enhancing the role of accreditation At AHMAC’s request, the Review Team considered how accreditation arrangements could best contribute to improving the safety and quality of health care. The Review Team’s view is that accreditation is an important driver for safety and quality improvement, but that stakeholders have legitimate concerns regarding current accreditation processes. The Review Team proposes that Ministers be provided with a plan to transform accreditation arrangements, to enhance the role of accreditation in both quality improvement and in the implementation of agreed national standards. In developing this plan, the national body (and Council in the interim) should engage with multiple stakeholders, including jurisdictions, accreditation bodies and the wider health industry. - viii - Recommendations Recommendation 1 – New national safety and quality body A new national safety and quality body should be established to succeed the Australian Council for Safety and Quality in Health Care. Recommendation 2 – Scope of national action The work of the national body should have a safety and quality improvement focus across the continuum of health care. Recommendation 3 – Functions of the national safety and quality body The national body should have the following functions: • • • • • lead and coordinate improvements in safety and quality in health care in Australia by identifying issues and policy directions, recommending priorities for action, disseminating knowledge, and advocating for safety and quality; report publicly on the state of safety and quality including performance against national standards; recommend national data sets for safety and quality, working within current multilateral governmental arrangements for data development, standards, collection and reporting; provide strategic advice to Health Ministers on ‘best practice’ thinking to drive quality improvement, including implementation strategies; and recommend nationally agreed standards for safety and quality improvement. Recommendation 4 – Public reporting on the safety and quality of care Public reporting on the safety and quality of care should be used as a key driver for change. Recommendation 5 – Related functions of jurisdictions The related functions of individual jurisdictions (States, Territories and the Australian Government) should include: • • • • • development of principles and mechanisms for advancing safety and quality in their own jurisdiction (eg through the establishment of a safety and quality body and mechanisms for consumer involvement); appropriate governance and accountability arrangements to provide public assurance of safety and quality; implementation of agreed national standards within their jurisdiction; development of coordinated mechanisms to ensure implementation is effective across the public and private sectors; and participation in national data collections on safety and quality. - ix - Recommendation 6 – Responsibility and mechanisms for implementation Responsibility for implementation of safety and quality standards recommended by the national body and accepted by Ministers should rest with States, Territories and the Australian Government working collaboratively, and in partnership with private sector providers. Recommendation 7 – National Strategic Framework for Improving the Safety and Quality of Health Care The national body should develop a National Strategic Framework for Improving the Safety and Quality of Health Care for endorsement by Health Ministers. It should be developed in consultation with jurisdictions and stakeholders as an immediate priority (ie within the first six months of operation). The National Strategic Framework will ensure a comprehensive range of action is undertaken in a nationally coordinated way by leaders, decision makers and public and private providers operating at different levels in the health system. Recommendation 8 – National governance arrangements for safety and quality National governance arrangements for safety and quality in health care should comprise: • • • the national body reporting to all Health Ministers; the safety and quality arrangements established by jurisdictions; and the unifying national strategic framework. Recommendation 9 – Internal governance arrangements of the national body To ensure good internal governance: • • • • -x- the Council should be succeeded by a smaller, more focused body, appointed by Ministers; the body should comprise 8 or 9 people, led by an independent, highly regarded Chair, and include at least 1 AHMAC member. The remaining 6 or 7 should be chosen for their collective competence in corporate governance, health system reform or change management, safety and quality systems, and strategy development, and may include up to 2 additional AHMAC members or their nominees; the body should be supported by an office led by a CEO who is capable of engaging government and non-government members at a senior level, and who is accountable to the body; and the body should formally report to all Health Ministers. Recommendation 10 – The national body: formal linkages with jurisdictions through an Inter-Jurisdictional Committee To ensure adequate jurisdictional engagement in the work of the national body: • • • • • the AHMAC member of the body should convene an Inter-jurisdictional Committee; the Inter-jurisdictional Committee should comprise high level representation from all jurisdictions and be chaired by the AHMAC member of the body; the Inter-jurisdictional Committee should meet frequently enough to provide an adequate level of advice to the AHMAC member on the body; the Inter-jurisdictional Committee should be responsible for providing advice to the body on the adequacy of the process of policy development at key milestones in the development of particular policy items; and the Inter-jurisdictional Committee Chair should be accountable for ensuring that the other AHMAC members are aware of new policy directions to ensure their local systems can support the implementation of agreed national policies. Recommendation 11 – The national body: formal linkages with stakeholders through a Stakeholder Reference Group To assist the decision-making and priority setting undertaken by the national body, and to enable a broad range of stakeholder views to be informed about and involved in the work of the body: • • • • the body should formally convene a Stakeholder Reference Group; the Stakeholder Reference Group should meet at least twice a year to obtain information on, and provide input to, the safety and quality agenda; in particular, the Stakeholder Reference Group should contribute to the regular reassessment of national priorities for action; and the Stakeholder Reference Group should be chaired by a member of the body and comprise up to 20 representatives from key stakeholder groups. Recommendation 12 – The national body: convening expert working groups and linking with relevant national bodies To ensure that the relevant range of expertise is drawn on in the development of new work in the agreed priority areas, and that work being undertaken by existing national bodies in the priority areas is coordinated nationally: • • • the body should convene, on a time-limited basis, expert working groups as necessary to undertake work in the AHMC agreed priority areas; the expert working groups must include an adequate range of expertise from external sources, and may also draw on relevant expertise from the Inter-jurisdictional Committee and the Stakeholder Reference Group; and the body should establish formal agreements to embed national collaboration and coordination on safety and quality with other relevant national bodies. - xi - Recommendation 13 – Resourcing of the national body To ensure that the national body has adequate time and resources to fulfil and measure its outputs and outcomes, it should be: • • established for an initial period of 5 years; and provided with sufficient resources to fulfil its purpose over this period. Recommendation 14 – Legal form and transition arrangements Health Ministers should determine the appropriate legal form/structure and agree that the new body be established as soon as practicable. Transition arrangements should ensure a seamless changeover from the current Council. Recommendation 15 – Priorities for future national action The Review Team believes the priorities for future action should be the following: Priority 1 Establish new national governance arrangements for safety and quality improvement as a matter of urgency 1.1 AHMC to establish a new safety and quality body to lead and coordinate the safety and quality agenda in Australia. 1.2 Jurisdictions to review their own safety and quality arrangements to ensure: • • • • • • an effective working relationship with the new body; development of principles and mechanisms for advancing safety and quality in their own jurisdiction (eg through the establishment of a safety and quality body and mechanisms for consumer involvement); appropriate governance and accountability arrangements to provide public assurance of safety and quality; implementation of agreed national standards within their jurisdiction; development of coordinated mechanisms to ensure implementation is effective; and participation in national data collections on safety and quality. Priority 2 Take action to deliver on the functions of the new body (the new national body) 2.1 Develop a National Strategic Framework for Improving the Safety and Quality of Health Care within the first six months of operation. 2.2 Prepare a National Report on the State of Safety and Quality by June 2007. Priority 3 Fully implement previous AHMC decisions 3.1 Jurisdictions to fully implement the eight uniform national actions to improve patient safety previously agreed to by Ministers. 3.2 NHIG and the new national body/Council to create a National Minimum Data Set for Safety and Quality by June 2006. - xii - Priority 4 Finalise key elements of Council’s work (the new national body and Council in the interim) 4.1 Provide advice on reforming and streamlining accreditation by June 2006. 4.2 Provide advice on implementation of the Open Disclosure Standard, including evaluation of pilots, by December 2006. 4.3 Develop an implementation plan for the Credentialling Standard by June 2006. Process for identifying future national priorities Within the first 12 months of its operation, the new national body should conduct the first of a series of regular priority setting processes involving all members of the Stakeholder Reference Group. Recommendation 16 – Accreditation A priority for the new safety and quality body (and Council in the interim) should be to provide Health Ministers with a plan to transform accreditation arrangements by June 2006. - xiii - 1. Review context 1.1 Why safety and quality matters In Australia, the safety and quality agenda has reached a point of transformation. The national effort is set to move beyond a specific focus on reducing patient harm to a broader focus on systems improvement. This shift has the potential to yield substantial benefits in both the safety and quality of care and the efficiency of care delivery. It is widely recognised that the Australian health system as a whole has reached a stage where significant reform is both possible and necessary. While the system performs adequately against a number of indicators, it is beset by problems such as inefficient use of resources, difficulties with access, and overlapping roles and responsibilities between jurisdictions.1 There is growing recognition, in Australia and internationally, that the focus should be on ameliorating these inefficiencies and performance deficits. Safety and quality improvement can be the cornerstone of this modernisation and reform agenda. Much has been done to address patient safety issues in Australia in the 10 years since the Quality in Australian Health Care Study found an adverse event rate of 16.6% in hospitalised patients,2 later revised to 10.6% following a comparison with a similar US study.3 At a national, jurisdictional, and service delivery level, a multitude of safety and quality programs and structures have been put in place in order to reduce the level of harm to patients. While these initiatives need to be sustained and the current state of safety and quality measured, the pressing issues facing the health system require a broader approach to improving the health care delivery system as a whole. This is in line with current international approaches, such as the National Health Service reforms in the UK under the NHS Modernisation Agency. Crossing the Quality Chasm, the landmark publication of the US Institute of Medicine, recognised that quality defects are even more widespread than safety issues and have a greater impact on the performance of the health system.4 Its conclusion is that “fundamental reform of health care is needed to ensure … care that is safe, effective, patient centred, timely, efficient, and equitable.”5 The need for fundamental reform is a common cry in Australia at present. A quality improvement focus has the potential to make a measurable difference for patient care and deliver sizeable dividends in terms of improved effectiveness and efficient utilisation of health resources. The improvement of the health system for patients and the realisation of these dividends are the twin aims of this report. 1 Australian Government Productivity Commission (2005), Review of National Competition Policy Reforms: Inquiry Report, p. XXXV. 2 Wilson, R.M., Runciman, W.B., Gibberd, R.W., Harrison, B.T., Newby, L. & Hamilton, J.D. (1995), ‘The Quality in Australian Health Care Study: Iatrogenic injuries or adverse patient events in hospitalised patients, Medical Journal of Australia, 163(9), pp. 458-471. 3 Thomas E.J., Studdert D.M., Runciman W.B., Webb R.K., Wilson R.M., et al. (2000), ‘A comparison of iatrogenic injury studies in Australia and the USA, International Journal for Quality in Health Care, 12(5), pp. 371-8. 4 Institute of Medicine (2001), Crossing the Quality Chasm: A New Health System for the 21st Century, p. 2. 5 Ibid., p. xi. -1- 1.2 Australian Council for Safety and Quality in Health Care The Australian Council for Safety and Quality in Health Care (Council) was established by Australian Health Ministers in January 2000 to lead national efforts to improve the safety and quality of health care provision in Australia. Its establishment originated from the Quality in Australian Health Care Study, which led Australian Health Ministers to form a Taskforce on Quality in Australian Health Care, followed by a National Expert Advisory Group on Safety and Quality in Australian Health Care. Among the National Expert Advisory Group’s recommendations was the establishment of the Council.6 The initial Council comprised 22 members, appointed by the Australian Government Minister on behalf of all Ministers for their expertise in safety and quality. The Council has been chaired from its inception by Professor Bruce Barraclough AO and reports annually to the Australian Health Ministers’ Conference (AHMC).7 At the time of the Review, Council has 27 members, a number of whom were co-opted by the Chair. Council has a decision-making Executive consisting of 8 members. Current Council and Executive members are listed at Appendix 1. The Office of the Safety and Quality Council (Council’s secretariat) consists of about 20 staff led by an Executive Director. It is located within the Australian Government Department of Health and Ageing. The Council’s original term was for five years, but this was later extended by Health Ministers until June 2006. The total funding allocation to the Council was $55 million over its 6½ year term. The Council’s Terms of Reference are as follows: Role To lead national efforts to promote systemic improvements in the safety and quality of health care in Australia with a particular focus on minimising the likelihood and effects of error. Tasks 1. Provide advice to Health Ministers on a national strategy and priority areas for safety and quality improvement; 2. Develop, support, facilitate and evaluate national actions in agreed priority areas; 3. Negotiate with the Commonwealth, states and territories, the private and non government sectors for funding to support action in agreed priority areas; 6 National Expert Advisory Group on Safety and Quality in Australian Health Care (1999), Implementing safety and quality enhancement in health care: National Actions to support quality and safety improvement in Australian health care. 7 The Australian Health Ministers’ Conference (AHMC) is a mechanism for consultation between Australian, State and Territory Health Ministers. It provides a forum to facilitate a consistent and coordinated national approach to health policy development and implementation. The Conference is assisted by the Australian Health Ministers’ Advisory Council (AHMAC), the membership of which includes the heads of Australian and State and Territory health departments. -2- 4. Widely disseminate information on the activities of the Council including reporting to Health Ministers at publicly agreed intervals. In undertaking these tasks, Council will: 1. Work collaboratively with stakeholders, in particular building on the existing efforts of health care professionals and consumers to improve the safety and quality of health care. 2. Establish partnerships with existing related national bodies and organisations, in particular the National Institute of Clinical Studies (NICS) and the National Health Information Management Advisory Committee (NHIMAC) to facilitate action in agreed priority areas. 3. Consider and act to improve health care in the priority areas identified as a result of national consultations undertaken by the National Expert Advisory Group on Safety and Quality in Health Care including: - methods to enable increased consumer participation in health care; - implementation of evidence-based practice; - agreed national framework for adverse event monitoring, management and prevention including incident monitoring and complaints; - effective reporting and measurement of performance, including research and development of clinical and administrative information systems; - strengthening the effectiveness of organisational accreditation mechanisms; - facilitate smoother transitions for consumers across health service boundaries; - education and training to support safety and quality improvement. 4. Co-opt members with specific expertise, and establish sub-committees and reference groups as required. The Council has established a number of working groups, mostly chaired by Council members, to progress specific elements of its work. Links to jurisdictions are facilitated by members on Council from each jurisdiction and the State Quality Officials’ Forum (SQOF). 1.3 Terms of Reference for the Review On 29 July 2004, Health Ministers agreed to establish a Review of Future Governance Arrangements for Safety and Quality in Health Care, to be completed prior to the cessation of the current term of Council in June 2006. The Terms of Reference of the Review are to: 1. Review the work of the Australian Council for Safety and Quality in Health Care. 2. Develop proposals for the future governance arrangements for leadership and coordination for safety and quality in health care in Australia, and specifically: 2.1 Identify and describe the process to achieve national leadership and coordination for safety and quality in health care in Australia; and 2.2 Identify priority areas for national action for transforming health care safety and quality in Australia. -3- Health Ministers agreed to the appointment of a senior international health expert to Chair the Review and senior health officials/managers from five jurisdictions (the Australian Government, South Australia, Victoria, NSW and Queensland) were appointed as members of the Review Team. The Review Team was tasked with reporting to Health Ministers in July 2005. At the request of the Australian Health Ministers’ Advisory Committee (AHMAC), the Review Team also considered a range of issues related to the role of health service accreditation in improving safety and quality. 1.4 Review Team membership Chair Mr Ron Paterson New Zealand Health and Disability Commissioner Members Professor John Horvath AO Chief Medical Officer Australian Government Department of Health and Ageing Dr Chris Brook Executive Director Rural & Regional Health & Aged Care Services Victorian Department of Human Services Dr David Filby Executive Director Health System Improvement and Reform South Australian Department of Health Ms Mary Montgomery District Manager Redcliffe/Caboolture District Health Service Queensland Health Dr Michael Smith State Director of Clinical Governance Health System Performance Division New South Wales Health The Review Team was supported by a small secretariat hosted by the Australian Government Department of Health and Ageing on behalf of all jurisdictions. -4- 1.5 Consultation process and background research The Review Team conducted an extensive consultation process over the period September 2004 to March 2005, consisting of a call for submissions, a national workshop, and a series of meetings with stakeholders in each capital city. The consultation arrangements for the Review were designed to ensure that all jurisdictions and non-government stakeholders had the opportunity to provide input. The Review received 80 submissions and close to 300 individuals and over 100 organisations were involved in face-to-face consultation meetings with the Review Team. About 100 people attended the national workshop. Further details on the consultation process are at Appendices 3, 4 and 5. Publicly available submissions and a thematic paper summarising the views represented in submissions are available on the Review website: http://www.health.gov.au/safetyandqualityreview. The Review Team was assisted by a background paper on governance issues, prepared by Professor Andrew Wilson in January 2005, entitled National Governance for Leadership and Coordination for Safety and Quality in Health Care in Australia – Issues and Options. The paper provides an overview and literature review covering concepts of governance, international approaches to governance for health care safety and quality, and possible approaches for Australia. At the request of the Review Team, the Council prepared a background paper on accreditation, outlining the key issues identified in Council’s work on this issue. Both of the above background papers are available on the Review website. -5- 2. Review of Council Key Points Council has made a valuable contribution to safety and quality improvement, particularly in regard to: • • • raising awareness of the key issues and how to tackle them; elevating the importance of taking a systems approach; and producing policy work and standards. The three most important limitations on the effectiveness of the Council have been: • • • inadequate links between Council, jurisdictions and other key stakeholders; a narrow focus on safety in the acute sector; and its large size and unwieldy internal arrangements. More effective strategies should have been developed in partnership with jurisdictions and other bodies in relation to: • • • implementation; performance measurement and reporting; and coordinated information dissemination. 2.1 Approach taken by Council in addressing its Terms of Reference Council’s approach is set out in its five annual reports to Health Ministers. Its Terms of Reference were endorsed by Health Ministers in July 2000 at the same time that Ministers considered Council’s first report.8 This initial report also highlighted Council’s intended focus on health care safety, as distinct from the broader quality agenda proposed by the National Expert Advisory Group.9 The three priority areas on which Council would focus its efforts were identified as: • • • better using data to identify, learn from and prevent error and system failure; promoting effective approaches to clinical governance and accountability which address both the competence of organisations and individuals; and redesigning systems and facilitating a culture of safety in health care.10 As stated in its submission to the Review, although Council’s initial focus was on safety it intended that other dimensions of quality (effectiveness, appropriateness, responsiveness, access, efficiency and equity) would be progressively addressed as part of this focus. Council explained its “safety first” focus by pointing to research showing safety is the issue most 8 ACSQHC (2000), Safety First: Report to the Australian Health Ministers’ Conference 27 July 2000. National Expert Advisory Group (1999) op cit. 10 ACSQHC (2000) op cit., p.6. 9 -6- valued by patients and their families, while also being of concern to health professionals, health managers, funders and policymakers.11 Council has also focused on improving systems, promoting a cultural shift from blaming the individual when things go wrong to identifying the underlying systemic causes of adverse events. This systems focus also led Council to concentrate on the acute sector, where there are clearly identifiable systems that can be used as an exemplar to other sectors.12 In its submission, Council sees its central achievement as setting the national agenda and achieving widespread understanding and acceptance of that agenda among policy makers, administrators, clinicians and consumers. “It [Council] has established credibility as a national leader, with jurisdictions adapting the agenda to suit local conditions and now implementing that agenda. Effective working partnerships have been established and a range of tools and resources developed to support safety and quality improvement. Together, these have built a foundation for widespread systemic change.”13 The acceptance of this agenda by Health Ministers was evident when they agreed to an implementation timetable, in public hospitals, for eight uniform national actions to improve patient safety recommended by Council in April 2004.14 The eight decisions made and the timelines for implementation endorsed by Ministers were: • • • • • • • • require that a common medication chart be in used in all public hospitals in Australia by June 2006; require that public hospitals have in place a process of pharmaceutical review of medication prescribing, dispensing, administration, and documenting processes for the use of medicines by December 2006; require that all public hospitals have an incident management system in place by January 2005 incorporating incident management, monitoring, investigation, analysis, and action arising; require all public hospitals to report all sentinel events, either to the State department or to an agreed third party, no later than the end of 2005; agree that all States and Territories will contribute to a national report on sentinel events to be produced by the end of 2005; require that all public hospitals adopt the five step correct patient, correct site, correct procedure protocol for verifying the site of surgery and other procedures to reduce the risk of wrong site procedures by the end of September 2004; require that, by the end of December 2004, all public hospitals will provide each hospital patient with a copy of the consumer booklet 10 tips for safer health care: what everyone needs to know at or before the time of admission; and require that all public hospitals will have in place a patient safety risk management plan by the end of 2005. 11 Submission No. 53, ACSQHC, p.6 Ibid. 13 Ibid., p.9. 14 Australian Health Ministers’ Conference, Joint Communiqué: Health Ministers Agree to Reform Agenda, 23 April 2004. 12 -7- Health Ministers later confirmed their commitment to progressing other quality initiatives put forward by Council in its 2004 Annual Report to AHMC.15,16 The implementation plan for these recommendations, which was developed by AHMAC and endorsed by Ministers in January 2005, is discussed further in Chapter 6. The Council recommendations were in the areas of: • • • • Open Disclosure – a standard which aims to encourage greater openness about adverse events by acknowledging when things go wrong and providing reassurance to patients and their carers that lessons will be learned; Performance Management – to address issues of corporate and clinical governance, and the supervision of staff and staffing levels, in order to match human and physical resources with the need to provide safe, high quality care; Data Collection – specifically, the development of a National Minimum Data Set for Safety and Quality to establish a common set of measures of the safety and quality of health care in Australia; and External Review – proposing that, at a minimum, participation in processes of assessment should occur in hospitals across Australia. The Review Team notes that Council’s original recommendations on the 12 items above were intended to apply in a range of sectors. However, Ministers’ endorsement of the eight from April 2004 was limited to the public acute sector (discussed further in Section 2.3.6). Combined with other work on medication safety, health care associated infections, credentialling, accreditation, workforce education and root cause analysis, the Council has made significant progress towards developing the key components of a safer health system.17 2.2 Views from Review consultations 2.2.1 Acknowledged successes of the Council There was broad recognition among stakeholders that Council has played a national leadership role which did not exist before its creation. There was acknowledgement that within a short timeframe, Council has: • • • • • • become a respected body; engaged clinicians and subject-matter experts; produced authoritative advice to Health Ministers; produced high quality policy standards and other products that have placed Australia among the world-leaders in safety and quality interventions; fulfilled its role of setting the national safety and quality agenda; and focused on systems rather than individual blame for adverse events. One of Council’s key achievements to date was perceived to be raised awareness of safety issues among clinicians, consumers and the wider public, something seen as a necessary first step for 15 Australian Health Ministers’ Conference, Joint Communiqué: Health Ministers Agree to Continue Reform Agenda, July 2004. 16 ACSQHC (2004), Maximising National Effectiveness to Reduce Harm and Improve Care: Fifth Report to the Australian Health Ministers’ Conference, pp. 13-14. 17 A more complete list of Council achievements, taken from its submission to the Review, is at Appendix 2. -8- achieving change. For clinicians, raised awareness was seen to have prompted the attitudinal change that is a precursor to cultural change at the health service level. Raising the public profile for safety and quality issues was seen as a way of ensuring continued commitment from governments, professional peak bodies and others. Many stakeholders also acknowledged the significant contribution of the Chair of Council, Professor Bruce Barraclough AO, whose tireless efforts in championing the safety and quality agenda were regarded as central to Council’s achievements. There was general consensus among stakeholders that there remains a role for a national safety and quality body to lead and promote coordination of effort to improve the safety and quality of health care. 2.2.2 Issues and concerns One of the principal concerns raised in Review consultations was that, under current governance arrangements for safety and quality, the Council lacks the authority to take action to effect change. The Review Team perceived a degree of frustration among many stakeholders that important policy decisions endorsed by Ministers were not always effectively implemented and that clinical best practice, where it is identified and disseminated, is not always utilised. As a result, it was asserted by many that there is little evidence that Australia has made any measurable progress in improving safety and quality since the Quality in Australian Health Care Study. The need for measurement was an important issue in its own right, with stakeholders pointing to the lack of coordinated collection and analysis of relevant data to measure the progress of safety and quality improvement on a national basis. Examples of other issues raised by stakeholders include: • • • • • 2.3 existing institutional arrangements do not provide a sufficient level of integration and coordination of Council activities with the activities of: - jurisdictions; - other national bodies related to the safety and quality agenda; and - consumers, professional groups, medical indemnity insurers, and the primary and private health sectors; Council has a very large work program with inadequate involvement of other key stakeholders in priority setting. This has created difficulties for jurisdictions in driving local implementation of the large volume of national initiatives; Council did not adequately coordinate with other key bodies on the dissemination of safety and quality information to service level providers; Council’s large size made strategy development and timely decision making difficult; and there remains an unacceptable level of risk in the health system, but there was a widespread view that there should be a broader focus on quality across the health care system to achieve the reforms that are needed for real change. Review Team’s view The Review Team acknowledges the significant progress made by Council over the past five years and the individual contributions of Professor Bruce Barraclough and the members of -9- Council. Council’s achievements to date are notable given the complexity of the system in which it has operated – a system involving nine sovereign jurisdictions and extensive private and community care sectors. The Review Team also notes the international recognition Australia has received for its efforts to improve patient safety. The Review Team considers that the Council has been successful in raising awareness of safety and quality issues and how to tackle them, particularly among clinicians18 and administrators involved in quality improvement activities. Council has also elevated the importance of taking a systems approach to safety and quality improvement. To support its national agenda, the Council has produced an extensive body of policy work which has led to the development of important national policies and standards endorsed by Ministers. While the dissemination and implementation of this work has been somewhat patchy, to a large extent this was a result of weaknesses in governance arrangements rather than a reflection on the Council. For this reason, it is important that Council’s performance is assessed in the context of what it was established to achieve and the broader institutional arrangements in which it operated. In identifying shortcomings in these arrangements, the Review Team does not wish to detract from the efforts of individual Council members, the Council as a whole or its office. However, the Review Team believes there have been limitations on the effectiveness of the Council, the three most important of which have been: • • • inadequate links between Council, jurisdictions and other key stakeholder bodies; a narrow focus on safety in the acute sector; and its large size and unwieldy internal arrangements. Additionally, the Review Team believes that more effective strategies should have been developed in partnership with jurisdictions and other bodies in relation to: • • • implementation; performance measurement and reporting; and coordinated information dissemination. 2.3.1 Capacity to drive implementation As was noted in Council’s own submission to the Review, Council was established as an advisory body to Health Ministers with a limited capacity to implement change. Its role, as specified in its Terms of Reference, is to “develop, support, facilitate and evaluate national actions”, for example by making guidelines and tools widely available. The task of local implementation rests with the responsible jurisdictions and health stakeholders. In light of this, stakeholder views which highlighted a lack of implementation are mostly viewed by the Review Team as criticisms of the current national governance arrangements rather than as legitimate criticisms of Council. In particular, current national governance arrangements provide inadequate mechanisms for linking the national body’s work program with that of jurisdictions (see 2.3.2 below) or other key stakeholders (refer to 2.3.3 below). 18 The word ‘clinicians’ is used here to denote all health professionals and practitioners who are delivering health care, including medical, nursing and allied health practitioners. - 10 - The Review Team notes that one of Council’s primary achievements has been to encourage cultural change in addressing adverse events. The shift from a “blame culture” to a systems approach has made the implementation of safety and quality improvement measures more achievable at the clinician level. The recent agreement of AHMC to implement Council recommendations (refer to 2.1) is seen by the Review Team as a measure of success for Council in promoting and facilitating implementation, at least in the public hospital sector. It should be noted that Council also recommended implementation in private hospitals, but did not provide adequate implementation plans outlining how this should occur. As Council notes in its submission to the Review, it has struggled to find “manageable mechanisms for change in the private hospital sector”.19 The Review Team also notes that Council has attempted to support implementation by providing financial assistance to jurisdictions for implementation for some of its initiatives. The Review Team concludes that to some extent Council paid insufficient attention to implementation issues in its policies, standards and recommendations to Health Ministers. However, problems regarding the implementation of Council initiatives were broader than this and need to be addressed in the proposed governance arrangements for the future. 2.3.2 Engagement with jurisdictions Early in its term, Council recognised the need for a mechanism through which jurisdictions (as major funders/providers) could actively contribute to the Council’s national program. While some Council members also work in jurisdictions, Council’s primary means of engaging with jurisdictions is to utilise an existing jurisdictional forum – the State Quality Officials’ Forum (SQOF). SQOF comprises quality officials from all States and Territories and the Executive Director of the Council secretariat. The Chair of SQOF represents the Forum on the Council Executive, and provides formal reports to and from the Council. SQOF’s role, as outlined in its Terms of Reference, includes working with and supporting the Council, raising awareness of safety and quality issues at the jurisdictional level, and operationalising safety and quality projects. It is the Review Team’s view that for a variety of reasons linking with SQOF did not provide an effective vehicle for engaging health departments and Ministers, and they were not always fully aware of and able to participate in Council’s work-plan. As SQOF was never formally linked to AHMAC it was not able to perform as a mechanism for Council to engage AHMAC members. Broader jurisdictional concerns were not taken into account when policy recommendations were made by Council to Health Ministers (for example, the implications of a policy recommendation for industrial relations). This lack of high level involvement also impeded action to ensure that local systems, related policies and regulatory and financial levers were able to be utilised to deliver nationally agreed policies in a timely and consistent way. While Council did not have responsibility for implementation, this lack of connection with jurisdictions meant there was not the necessary link to facilitate implementation. 19 Submission No. 53, ACSQHC, p.12. - 11 - During the Review consultations jurisdictions also raised issues regarding Council’s engagement at other levels within jurisdictions, including: • • • a lack of formalised, collaborative partnerships with state-based quality bodies that would otherwise enable national learning from local experience; inadequate utilisation of the expertise of other state-based organisations; and poor coordination of communication to service level providers, leading to their receiving safety and quality information and material from a number of sources. The Review Team believes that all of the above points to the need to establish stronger mechanisms for linking Council with jurisdictions. 2.3.3 Strategic partnerships with other key stakeholders Another issue raised in Review consultations is that there is insufficient integration and coordination of national priorities with those of key stakeholders (including other national bodies) contributing to the safety and quality agenda. While the Review Team is aware of several examples of Council collaboration with other stakeholders, it is questionable whether these could truly be regarded as strategic partnerships. Certainly, from the Review consultation process, it is evident that some key national bodies, such as the National Health and Medical Research Council (NHMRC) and the Australian Institute of Health and Welfare (AIHW), believe that Council did not comprehensively engage and utilise their expertise and networks. This view was reflected by other important organisations, such as the Australian Council on Healthcare Standards (ACHS), groups representing clinicians, consumer organisations and specific sectors of the health care system (eg general practice). In regard to consumer engagement, while Council and its consumer representatives were given credit for consistently articulating the need for a consumer focus, Council’s perceived neglect of organised consumer networks was felt to have limited the wider dissemination of its message. The Review Team considers that the capacity to develop effective strategic partnerships is an issue that needs to be addressed in the establishment of future governance arrangements. Although the Council’s Terms of Reference specifically tasked it to “work collaboratively with stakeholders” and “establish partnerships with existing related national bodies and organisations”, this placed the onus for establishing these relationships on Council alone, rather than providing a more coordinated approach to the establishment of partnerships between key national bodies and other stakeholders. 2.3.4 Performance measurement and reporting As noted earlier, the lack of national capacity to measure the progress of safety and quality improvement was a frequently raised issue in Review consultations. On this issue, the Review Team believes that inadequate links with jurisdictions contributed to a failure to use existing multilateral mechanisms to design safety and quality data sets. Effective public reporting is dependent on the availability of data. There is a notable gap in what is known about the current extent of safety and quality problems, what effect recent initiatives have had, and the capacity that exists for improvement. - 12 - The Review Team notes the significant achievement of Council in facilitating the development of a National Report on Sentinel Events and believes that this was an important first step in the publication of safety and quality data. The crucial next step is the development of a National Minimum Data Set for Safety and Quality, for which Council obtained AHMC agreement in January 2005. The Review Team notes that in early 2005 the Statistical Information Management Committee (SIMC) of the National Health Information Group (NHIG) and Council have set up a working group to develop the data set. The Review Team believes the time is overdue for a regular authoritative national report on the key indicators of the state of safety and quality, and that urgent progress is needed on SIMC and Council’s joint work to develop the relevant data. 2.3.5 Communication and information dissemination Inadequate links between Council, jurisdictions and stakeholders has led to ineffective dissemination of Council initiatives. Communication issues figured prominently in Review consultations and, although there are examples of successful communication (eg the wide dissemination of the high-risk medication alert on Potassium Chloride), there does not seem to have been an effective overall communication strategy. The Review Team regards this as an important weakness in Council’s efforts to build momentum for change at all levels of the health system, within the political and bureaucratic sphere and among the general public. Good communication is also often a key factor in facilitating implementation of safety and quality initiatives. It should be noted that one of Council’s primary means of communication and dissemination has been through utilising SQOF to reach the public acute sector in each jurisdiction, and through Council’s Consumer Reference Group to reach consumers. The Review Team believes it is imperative that other stakeholder networks are utilised in a comprehensive fashion in order to communicate and disseminate effectively at all levels of the health system. 2.3.6 Questions of scope The Review Team is of the view that Council’s initial focus on safety in acute hospitals was warranted, particularly in light of the safety issues raised by the Quality in Australian Health Care Study. However, Council’s work plan was wide-ranging and policy development has been slow. Important initiatives, such as credentialling and accreditation, which were identified as urgent priorities early in Council’s existence and on which Council has undertaken significant work to develop national standards and approaches, have not progressed as quickly as desirable. A tighter, more focused approach on such important issues may have been more effective. The Review Team also notes that while Council provided advice and recommendations which were intended to address the entire acute care system,20 Health Ministers’ decisions tended to be confined to the public acute system. One explanation for this is that Council’s recommendations did not adequately address the particular implications of implementation in the private sector, leading to a lack of identified mechanisms to readily do so. Feedback from 20 Submission No. 53, ACSQHC, p.12. - 13 - stakeholders suggests that a lack of engagement with the private sector underpins the lack of decisions to implement safety and quality policies in that sector. This is problematic given that private hospitals account for almost 40% of hospital admissions.21 Other stakeholders have expressed the view that other highly relevant sectors of the health system do not feel engaged in the national safety and quality agenda (eg primary care, specialist practice, mental health). General practice is a particularly notable omission, given that GPs are the initial source of care for most Australians. Stakeholders also expressed the view that, while efforts to improve safety should continue, the focus should shift to improvements in the effectiveness and responsiveness of care. This would yield further improvements in safety and achieve efficiencies in the system that allow for a retargeting of health resources. 2.3.7 Internal arrangements The Review has found that Council’s internal governance arrangements are unwieldy and overly reliant on the efforts of a large body of part-time safety and quality experts. The size of Council (initially established with 22 members and now numbering 27) and the relative lack of members with corporate governance skills or a national systems level view, has contributed to difficulties in identifying priorities and in managing the workplan. Council has struggled to agree on national strategies for improving safety and quality, resulting in Council’s energy being dissipated across a number of initiatives which have reached various points in the policy/implementation process. A further problem is that Council membership did not include an AHMAC member, and had no other formal link to AHMAC (as discussed in 2.3.2), and so had difficulty in engaging jurisdictions in its work, which, in turn, did not facilitate implementation. The current secretariat arrangements have the benefit of the effective provision of secretariat support by a host jurisdiction, but may obscure who is accountable for the timely completion of the work plan. A common complaint has been that these arrangements were characterised by a high rate of staff turnover and loss of corporate memory. Stakeholders also made it clear during the consultation meetings that current mechanisms (such as SQOF and the Consumer Reference Group) have not been effective in involving stakeholders in the priority setting process. 2.4 Conclusions The consultation process identified consensus that considerable progress has been made by the Council over the past five years and that there remains a key role for a national safety and quality body to lead and coordinate improvements in the safety and quality of health care. In this sense, the criticisms of current arrangements do not suggest that there is no need for national leadership, but rather reflect concerns about the current capacity, authority and strategies of all relevant bodies to act in concert to achieve national action. 21 Australian Institute of Health and Welfare (2005), Australian Hospital Statistics 2003-04: Health Services Series No. 23, p.9. - 14 - The consultation process also demonstrated a strong desire to follow through on the Council’s current body of work, including implementing Council recommendations already agreed to by Health Ministers.22 In designing future arrangements for safety and quality, there is a need to address the concerns of stakeholders and the problems outlined by the Review Team in this Chapter. Particular requirements for the future include: • • • stronger engagement with jurisdictions and other stakeholders in the national safety and quality agenda to support: - the development of effective strategies and coordinated action to implement safety and quality improvements nationally; - better mechanisms to enable a contribution to priority setting by all relevant stakeholders; - the development of nationally consistent safety and quality data sets and national reporting using existing inter-jurisdictional arrangements; and - more effective dissemination of safety and quality information and initiatives; an expansion of scope for the national body beyond the public acute sector (especially to engage the private health and primary care sectors); and enhanced internal governance arrangements. Developing a genuinely national approach is an ongoing challenge and can best be addressed by clearly defining the scope and governance arrangements for future safety and quality action. In Chapter 3, the Review Team recommends a focus of this national action and the critical roles and responsibilities which need to be performed in order to transform health care safety and quality in Australia. In Chapter 4, the specific governance issues that have been raised in this chapter will be addressed in designing the future national safety and quality body. 22 Refer to Chapter 6. - 15 - 3. Achieving a transformation Key Points The Review Team believes that national action should seek to operationalise safety and quality at all levels of the health system and achieve measurable improvement in the safety and quality of care. Informed by the Review consultation process, the Review Team believes that achieving this transformation will require: • • • • • a new national safety and quality body with clearly defined functions; a quality improvement focus across the continuum of health care; public reporting on the progress of safety and quality improvement; clearly defined functions to be performed by jurisdictions, including responsibility for implementation; and a national strategic framework which promotes coordinated action from all key players. Collectively, the national body, the arrangements in place in individual jurisdictions, and the National Strategic Framework form the core elements of national governance arrangements for improving the safety and quality of health care in Australia. 3.1 National safety and quality body The Review Team’s extensive consultation process has informed its view that there remains a key role for a national body to lead and coordinate efforts to improve the safety and quality of health care in Australia. The ongoing need for leadership from a national body received unanimous support during Review consultations, with stakeholders continuing to desire an authoritative national voice to advise governments, health bodies, clinicians and consumers on ways to improve health service delivery. There was also a common view that national action was necessary to ensure a comprehensive and coordinated approach to the improvement of safety and quality. This role should include working with other key bodies involved in the safety and quality agenda and advising on linkages and gaps, so as to realise the obvious efficiencies to be gained by avoiding duplication of effort. A national body can also promote consistency in the delivery of care, in whatever part of the country it is delivered, to ensure that all patients receive care based on the same knowledge and standards. In recommending that there remains a place for a national body to lead patient safety and quality improvement in Australia, the Review Team emphasises that the body’s functions must be clearly defined, it must have effective links with jurisdictions and key stakeholders, and its advice must be implementable. Effective links with jurisdictions and key stakeholders are of particular importance, because the national body is just one part of broader national governance arrangements for safety and quality. These governance arrangements need to ensure that jurisdictions and stakeholders are able to contribute to priority setting and policy development and fulfil their responsibility for implementation of nationally agreed policies and standards. - 16 - Recommendation 1 – New national safety and quality body A new national safety and quality body should be established to succeed the Australian Council for Safety and Quality in Health Care. 3.2 Scope of national action The Review Team has heard a clear message from stakeholders that there remains a significant level of avoidable patient harm across the Australian health care system. Patient safety must therefore remain a high priority and the valuable work begun by the Council, individual jurisdictions, and other health stakeholders must be continued. There was a general view in Review consultations, however, that the scope of national action should be expanded and that the future work of a national body should have a quality improvement focus across the continuum of health care. The Review Team supports this notion and believes it will both build on the work of Council and allow a necessary refocusing of the agenda. Improvements in the appropriateness of care delivery and the effectiveness of chosen interventions will lead to more efficient service delivery and the potential to reallocate resources to pressure points in the system, for example to improve access. Similar gains can be made by improving the interface between different care settings, for example, by standardising approaches to discharge summaries and ensuring patient information is delivered from hospitals to GPs and vice versa. While the focus on safety had as one of its primary goals the prevention of major health care failure, a broader quality improvement focus can yield significant dividends in terms of improved efficiency and utilisation of health resources. As stated in a recent Productivity Commission report, “an efficiency improvement of 10 per cent in service delivery in this sector [health] would provide cost savings equivalent to around 1 per cent of GDP.”23 Improving the safety and quality of care can create cost-efficiencies which counter arguments that greater rationing is the only response to pressures on health resources. The Review Team recommends an approach which aims for optimum efficiency and effectiveness in health service delivery across primary, acute, rehabilitative, aged and community care, in the public and private sectors. In recommending this broadened scope, the Review Team emphasises that it must be accompanied by clearly defined functions and a tight work plan, focused on pressure points in the system that are not being addressed by others. The ultimate aim will be to demonstrate measurable improvement in providing care that is safe, effective and responsive to the needs of consumers. Recommendation 2 – Scope of national action The work of the national body should have a safety and quality improvement focus across the continuum of health care. 23 Productivity Commission (2005), op cit, p. XLIII. - 17 - 3.3 Functions of the national body When stakeholders were asked what they sought from a national safety and quality body, the following were their leading requirements: • • • • leadership of a national agenda for safety and quality improvement; national reporting on the progress of safety and quality improvement; expert advice and standards to promote safety and quality improvement; and successful implementation to ensure that the work of the national body translates into actual improvements across all levels of the health system. The functions of the national safety and quality body proposed by the Review Team are designed to address the identified needs of jurisdictions and stakeholders and to fulfil the fundamental requirements of national action to improve safety and quality in the Australian health system. The proposed functions are as follows: National voice There continues to be a need for a national body to lead and coordinate the safety and quality agenda in Australia. Specifically, this body should recommend priorities for action, identify emerging issues, disseminate knowledge and advocate for safety and quality. This would require the national body to collaborate or consult with other key bodies already working in the safety and quality area to advise on linkages and gaps. As discussed later in this Chapter, the initial priority will be to develop a National Strategic Framework for Improving the Safety and Quality of Health Care to promote coordinated action from all stakeholders involved in the safety and quality agenda. Public reporting The view of the Review Team, confirmed by stakeholders during the consultation process, is that the time is now overdue for an authoritative national report to the public on the safety and quality of patient care in Australia. The purpose of such a report (and for subsequent reports) would be to (a) inform the public about the current state of health care safety and quality and progress in quality improvement and provide assurance that it is being monitored at a national level; and (b) promote quality improvement by engaging clinicians, health care organisations, funders, and consumers (in the public and private sectors) to learn from successful delivery systems and practices. Key features of any report should include reporting on progress by jurisdictions in implementing nationally agreed policies and standards and improvements in the quality of care delivery. It will not include data on individual practitioners, facilities or health services, although over time there may be a case for publication of such comparative data (at least at the service level). The first report should be completed by June 2007, with subsequent reports every two years. - 18 - Data and analysis The Review Team believes that the lack of coordinated collection and analysis of safety and quality data seriously hinders efforts to manage safety and quality problems and improve systems. Moreover, we do not know if the health care system has become safer as a result of recent efforts, because “there is insufficient information at a state or national level”.24 The lack of data utilisation also impacts upon the health system’s ability to routinely feed information into a cycle of improvement. As cited by the Royal Australasian College of Physicians (RACP) in its submission to the Review, “clinicians do not have ready access to meaningful information about clinical practice”, despite evidence-based practice being reliant on timely access to such information.25 A key function for the new national body will be to analyse the progress of safety and quality improvement in a meaningful way. In order to do this the body will have a key role to play, within current multilateral governmental arrangements, to ensure that a minimum data set for safety and quality is created and maintained. This will allow for a comprehensive assessment of the state of safety and quality of health care in Australia, filling a notable gap in what is known about the current extent of safety and quality problems, the impact of recent initiatives, and the capacity that exists for improvement. Strategic advice It is widely supported by stakeholders that there is an ongoing role for a national body to recommend to Health Ministers what interventions (eg, adoption of new policies, use of funding or regulatory levers, liaison with other national bodies such as NICS, the National Health Information Group (NHIG) and the Pharmaceutical Health And Rational use of Medicines (PHARM) committee) will be most effective to drive quality improvement nationally. The purpose of such advice would be to capture ‘best practice’ thinking in Australia and internationally, and to give Ministers a strategic overview and inform the exercise of their funding and regulatory powers and agenda-setting role, in their own jurisdictions. The Review Team believes this will assist jurisdictions in making effective use of their existing regulatory and funding powers to build systems that support continuous quality improvement. The body would also have a role in recommending implementation strategies, so that its work translates into actual improvements across the health system. While the Review Team recognises that implementation remains the role of respective jurisdictions and health stakeholders, it believes the national body has a key role in facilitating implementation, by consulting with jurisdictions and devising strategies to support the implementation of its initiatives. Implementation needs to be better designed, planned and negotiated, with the needs of different sectors (public hospitals and services, private hospitals, rooms based specialist practice, primary care, aged care etc) taken into account. The new national body should also advise Ministers on the specific partnerships needed between key national bodies so that there is comprehensive engagement and utilisation of expertise relevant to safety and quality improvement. 24 Wilson, R (2005), ‘The safety of Australian healthcare: 10 years after QAHC’, Medical Journal of Australia, 182 (6), pp.260-1. 25 Submission No. 9, RACP, p.6. - 19 - Policy standards The Review Team believes that another role for the national safety and quality body is to identify and disseminate ‘best practice’ policies and standards that are demonstrably effective in improving patient care. National standards are required to address key areas of patient harm (eg medication misuse, health care associated infections, inappropriate use of blood products, patient falls, and pressure ulcers), but should also focus on continuous quality improvement. There are certain principles in designing safe, high quality systems that could be nationally consistent, while allowing jurisdictions flexibility in the way they manage their health systems. Examples include national standards in regard to Open Disclosure and Credentialling and protocols for medication use. The dissemination of national standards will avoid duplication of effort and ensure consistency in the delivery of care, in whatever part of the country it is delivered. It will also promote the coordination of care across the continuum (eg between GP clinics and hospitals, whether public or private). Recommendation 3 – Functions of the national safety and quality body The national body should have the following functions: • • • • • lead and coordinate improvements in safety and quality in health care in Australia by identifying issues and policy directions, recommending priorities for action, disseminating knowledge, and advocating for safety and quality; report publicly on the state of safety and quality including performance against national standards; recommend national data sets for safety and quality, working within current multilateral governmental arrangements for data development, standards, collection and reporting; provide strategic advice to Health Ministers on ‘best practice’ thinking to drive quality improvement, including implementation strategies; and recommend nationally agreed standards for safety and quality improvement. 3.4 Making it happen An overwhelming message received from stakeholders in Review consultations was the need to “make it happen”. As discussed earlier, the Review Team perceived a degree of frustration that important policy decisions endorsed by Ministers have not always been effectively implemented and that clinical best practice, where it is identified and disseminated, is not always being utilised. As a result, there was some support among stakeholders for a regulatory body, or at least one with authority derived from legislation. Despite these views, the Review Team decided against recommending a national safety and quality regulator. The primary reason is that it is not convinced such a regulatory body would be effective in Australia’s federal system, in which jurisdictions and health stakeholders possess the regulatory control and/or influence required to ensure appropriate systems are in place to provide safe and high quality care. The Review Team recognises that the risk in not having a regulatory body is that action fails to happen, but believes that other methods of promoting change have yet to be fully utilised. In particular, public reporting is an underutilised driver for change which should be given the opportunity to “transform” safety and quality of care before seeking to mandate change at the national level. As will be discussed in - 20 - Chapter 7, the role of accreditation as both a quality improvement tool and a lever for implementation could also be enhanced. 3.4.1 Public Reporting Given that the safety and quality body will not have a direct role in regulation or implementation, the power to report independently on health system performance will be its key mechanism for promoting national action to achieve safety and quality improvement. There is growing international evidence that public reporting leads to safety and quality improvement, both at the facility level and more broadly across the system.26 Public reporting will also provide Australians with the information on health services to which they are entitled, empowering consumers to advocate for improvements in the system. There should also be increased public confidence in the health system as awareness grows that the safety and quality of care is being independently monitored and improvements are being made. The Review Team believes that public reporting will also be of assistance to jurisdictions and health stakeholders, by highlighting and publicising areas of improvement. The ability to monitor and report on the progress of safety and quality improvement does not provide assurance that the body’s standards and policies will be adopted, and means that the national body is ultimately reliant on the actions of other players in the fulfilment of its agenda. The Review Team believes, however, that the ability to report publicly will increase the likelihood of successful implementation. Recommendation 4 – Public reporting on the safety and quality of care Public reporting on the safety and quality of care should be used as a key driver for change. 3.4.2 Roles of jurisdictions and other stakeholders Before and during the life of Council, individual jurisdictions and stakeholders have moved to establish safety and quality governance arrangements within their own spheres of influence and control. All States and Territories have a safety and quality committee or council of some form and some States have developed formal governance and accountability arrangements for their health services, providing clear roles and responsibilities for the safety and quality of care. The Australian Government is supporting quality improvement in a range of areas, including general practice, pathology, medication use and residential aged care. Similarly, within the private hospital sector there have been varying degrees of progress in developing risk management and continuous quality improvement approaches. Private health funds have also been active in this area, with some developing safety and quality frameworks within their contracting regimes. Medical and nursing colleges have also established programs to improve the safety and quality of clinical care. Examples that were brought to the Review Team’s attention included 26 Marshall, M.N. et al. (2000), ‘The Public Release of Performance Data: What Do We Expect to Gain? A Review of the Evidence’, The Journal of the American Medical Association, 283(14), p.1872. - 21 - the RACP’s Clinical Support Systems Program, 27 the Royal Australasian College of Surgeons’ (RACS) Audit of Surgical Mortality, 28 the Australian and New Zealand College of Anaesthetists’ (ANZCA) State Anaesthesia Mortality Committees and Maintenance of Professional Standards Program, 29 and the Magnet Recognition Program promoted by the Royal College of Nursing, Australia (RCNA).30 The Review Team believes that individual jurisdictions and other stakeholders should build on what is already in place, to ensure that the health system is operated in a way that promotes safe, high quality care. Specifically, jurisdictions should have their own structures in place to improve safety and quality, and to build an effective working relationship with the national body. Attention also needs to be paid to governance and accountability arrangements at all levels of the health system, from Health Ministers to interns. Responsibility for delivering safe, high quality care needs to be clearly defined, including the responsibility for: • • • sound strategic and policy leadership in clinical safety and quality; ensuring the existence of appropriate safety and quality systems; and ensuring organisational accountability for safety and quality.31 Jurisdictions have important ongoing roles in ensuring effective implementation of safety and quality measures within their jurisdictions and in contributing to national data sets. The former is a critical function which the Review Team believes should remain the responsibility of jurisdictions and health stakeholders. The Review Team recognises that in many instances jurisdictions do not have direct control over particular health services. They do, however, have significant influence and the capacity to work with key stakeholders to achieve change. It is only by working with all stakeholders that change will be possible across the health system. Recommendation 5 – Related functions of jurisdictions The related functions of individual jurisdictions (States, Territories and the Australian Government) should include: • • • • • development of principles and mechanisms for advancing safety and quality in their own jurisdiction (eg through the establishment of a safety and quality body and mechanisms for consumer involvement); appropriate governance and accountability arrangements to provide public assurance of safety and quality; implementation of agreed national standards within their jurisdiction; development of coordinated mechanisms to ensure implementation is effective across the public and private sectors; and participation in national data collections on safety and quality. 27 Submission No. 9, RACP, p.2. Submission No. 57, RACS. 29 Submission No. 38, ANZCA, p.2. 30 Submission No. 37, RCNA, pp.7-8. 31 Wellington H., Much Ado About Boardrooms, 2nd Australasian Conference on Safety and Quality in Health Care, August 2004. Available at http://www.aaqhc.org.au/resources/conf2004/tues/wellington.pdf 28 - 22 - 3.4.3 Responsibility for implementation In proposing national governance arrangements that ensure coordinated action at all levels of the health system, the Review Team recognises that a national body which is not a regulator needs to be complemented by other stakeholders – especially in relation to the use of regulatory levers to support implementation. The Review Team is of the view that implementation should remain the responsibility of jurisdictions, who need to ensure they have the capacity to effectively implement safety and quality improvements in a comprehensive and coordinated way. Additionally, in partnership with the national body, links need to be established with key stakeholders to ensure implementation. It is important that the focus moves beyond implementation in public hospitals to include all health care settings (including private hospitals and specialists’ rooms). To achieve this, jurisdictions and stakeholders will be responsible for taking action in their own spheres of influence and control. This may require jurisdictions to act collaboratively in identifying the most effective levers to support implementation. It may also require partnerships between jurisdictions, clinicians and private providers, in cases where implementation requires the coordinated action of a range of stakeholders. Some jurisdictions have created clinical governance arrangements to ensure clinician leadership of quality improvement efforts, and these provide an effective vehicle for involving clinicians in implementation. All stakeholders must take responsibility for safety and quality improvement, although Ministers are ultimately responsible for using their regulatory and funding levers to ensure implementation. The national body will have a role in advising on implementation, and in doing so Health Ministers should be assured that change can and will happen. To ensure that change is possible, advice from the national body must be robust and take into account the issues relevant to key players so that national policies are implementable. To ensure change will happen, the broader governance arrangements linking all the key parties must assign responsibility and accountability so that all key decision-makers act in concert to ensure coordinated and complementary action. As discussed earlier, the national body should also have a mandate to report on implementation, providing it with some capacity to hold jurisdictions and stakeholders accountable for the pace of change. Ultimately, however, the implementation of measures to improve the safety and quality of care will be the responsibility of jurisdictions and stakeholders. Recommendation 6 – Responsibility and mechanisms for implementation Responsibility for implementation of safety and quality standards recommended by the national body and accepted by Ministers should rest with States, Territories and the Australian Government working collaboratively, and in partnership with private sector providers. - 23 - 3.4.4 National Strategic Framework for Improving the Safety and Quality of Health Care Throughout Review consultations, stakeholders repeatedly called for a national strategic framework to ensure coordinated and complementary action at all levels of the health system. The perception is that there are numerous stakeholders and bodies involved in the safety and quality agenda, many with overlapping agendas, and that it is time for a coordinated approach. The Review Team agrees that a transformation in safety and quality will require the major players in health care – jurisdictions, state-based safety and quality bodies, professional and sector specific bodies (eg professional colleges, health funds etc) – to be clear about their respective roles and responsibilities. A national strategic framework will ensure an inclusive approach to safety and quality improvement, including the comprehensive range of actions that will be undertaken in a nationally coordinated way by leaders, decision makers and public and private providers operating at different levels in the health system. The new body will be charged with developing a National Strategic Framework for Improving the Safety and Quality of Health Care, in consultation with jurisdictions and stakeholders, as a priority to be completed in its first six months of operation. This will be a test of the national body’s commitment to a consultative and inclusive approach to safety and quality improvement. The National Strategic Framework will be provided to Health Ministers for endorsement. Recommendation 7 – National Strategic Framework for Improving the Safety and Quality of Health Care The national body should develop a National Strategic Framework for Improving the Safety and Quality of Health Care for endorsement by Health Ministers. It should be developed in consultation with jurisdictions and stakeholders as an immediate priority (ie within the first six months of operation). The National Strategic Framework will ensure a comprehensive range of action is undertaken in a nationally coordinated way by leaders, decision makers and public and private providers operating at different levels in the health system. 3.5 Conclusions: what will success look like? Collectively, the national body, the arrangements in place in individual jurisdictions, and the National Strategic Framework form the core elements of national governance arrangements for improving the safety and quality of health care in Australia. The Review Team considers that the new arrangements will have been successful if, in five years, there has been measurable improvement across a number of key indicators in the quality of health care received by patients in Australia. Safety and quality will no longer be seen as a series of discrete projects and there will be a nationally consistent approach that leads to operational implementation at all levels of the health system. Achieving the above will take concerted action from a range of stakeholders working towards common, clearly understood goals. Stakeholders want action – they want to know the right things to do (clinically or in the way systems are organised) and for them to be done. The - 24 - approach proposed by the Review Team in this Chapter will refocus the agenda and provide a clear purpose. The Review Team believes that the national safety and quality body it is proposing will provide the necessary leadership, reporting and advice to transform the safety and quality of health care. The body will report to all Health Ministers, for they, as a group, are responsible for ensuring that systems are in place to deliver safe and effective health care. Through Ministers, the national body will report publicly on the performance of the health system, encouraging systems improvement and providing consumers with information on the safety and quality of health care. The national body will have been successful in fulfilling its purpose if, in five years, it has delivered on each of its functions and its recommendations to Ministers have been translated into policy decisions which can be implemented across the continuum of care. The successful implementation of new policies, while not being the responsibility of the national body, will reflect the strength of its strategic partnerships with jurisdictions and other bodies. The Review Team emphasises that the national body is just one part of the governance arrangements that need to extend across the entire health system, unified by a national strategic framework to promote coordinated action. The key role played by jurisdictions and other health stakeholders is critical for success. Recommendation 8 – National governance arrangements for safety and quality National governance arrangements for safety and quality in health care should comprise: • • • the national body reporting to all Health Ministers; the safety and quality arrangements established by jurisdictions; and the unifying national strategic framework. - 25 - 4. Designing a new national safety and quality body Key points To be able to fulfil its purpose, the national body will need to: • • • • have internal features which conform to the principles of good governance applicable to any enterprise; incorporate a mix of skills which will allow it to steer national system level change by translating expert knowledge on safety and quality across the continuum of care into feasible policy recommendations to Health Ministers; be small enough to focus its energy on key outcomes, and support timely decisionmaking; and establish and steer time-limited expert working groups to deliver technical advice on priority areas of work. To fulfil its role as one of a number of bodies involved in the national governance of safety and quality by Health Ministers, the body will need to establish effective external linkages with the other key decision-makers in the health sector. These links must: • • • • • provide a role for AHMAC in providing guidance to both the national body and the Inter-jurisdictional Committee; provide adequate engagement with senior health department officials (through an interjurisdictional committee) to flag policy directions and inform implementation strategies; enable effective consultation with key stakeholders bodies (through a Stakeholder Reference Group) to support national learning from local enterprise in safety and quality and more coordinated information dissemination to service level providers; provide a more effective process for stakeholder input into national priority setting; and enable new policy directions to be flagged to the Stakeholder Reference Group, so that stakeholder bodies are able to implement these policies in their areas of responsibility. The formalisation of working arrangements between the national safety and quality body and other relevant national bodies will enable better coordination and reduce duplication in the national effort for safety and quality. 4.1 What are the governance problems that the features of a new national body must solve? Chapter 3 indicated that a number of key bodies are involved in supporting the safety and quality of health care in Australia, and that there remains a key role for a national body in this context. It also identified the specific functions which the national body would undertake as its contribution to the national arrangements for safety and quality. Chapter 2 indicated that a number of features of the current governance arrangements need to be addressed if the future body is to be effective in delivering on its purpose. A future body would need to incorporate: - 26 - • • • members with corporate governance skills and a systems level view, and be small enough to focus its energy; formal linkages to support engagement between the body and a number of key stakeholders, including: - AHMAC; - individual jurisdictions; - state-based safety and quality bodies; - relevant national bodies; - private sector bodies; and - professional peak organisations; adequate processes for consumers and other stakeholders to contribute to the identification of national priorities. The new national body will need to be designed to conform to the principles of good governance applicable to any enterprise. 4.2 What are the principles of good governance? Good corporate governance for any entity, whether it be a committee, statutory body or other form of body, can be considered in terms of three central elements: “Understanding success: Those in control of an entity need to be clear about what the entity is to achieve and communicate that effectively to management. This involves the establishment of a clear sense of purpose and the development of clear expectations of performance. Organising for success: Once an entity has developed an understanding of what it needs to achieve, it should be organised appropriately. - - [The] … organisation … [should be structured] … in a way that is most likely to assist it to achieve its objectives … [The structure should be] … designed … to support (rather than impede) the operation of governance. Power must be … delegated … [and] … limited … to manage risk, … [and] … exercise[d] … in a responsible manner. [A]ll parties within the governance framework must have a clear understanding of their roles and responsibilities, including their personal accountability. Making sure success is achieved. Governance is about ensuring individuals responsible for performance understand what outcomes they are required to achieve, and are provided with the capacity to achieve them, [and] 32 - … power and responsibility [should be linked to] performance and review.” Within this schema, Ministers, as the owners (on behalf of the Australian people), must provide clear direction to the national body on the functions the body is to fulfil and the outcomes the body is responsible for achieving. Members of the governing body must act in good faith to further the interests of the entity, rather than providing representative views or specific expertise, and would have four key roles: 1. 2. to set policy directions ie vision, mission, values and culture; to devise and implement strategies which take the mission forward; 32 Uhrig J. (2003), Review of Corporate Governance of Statutory Authorities and Office Holders, Commonwealth of Australia, pp. 2-3. - 27 - 3. 4. to ensure that management performs effectively in executing the strategies; to ensure conformance with financial, legal and other obligations. 33 4.3 Are there suitable overseas models for a national safety and quality body? In considering the particular governance issues to be addressed for safety and quality in Australia, and the general principles of good governance, the Review Team considered the governance models used overseas to organise safety and quality improvement efforts – in particular in the UK and the US.34 Much can be learnt from government bodies such as the National Patient Safety Agency in the UK and the Agency for Healthcare Research and Quality in the US, and non government organisations such as the Institute for Healthcare Improvement and the Institute of Medicine in the US. However, the broader systems of government and the health system in those countries are very different to those in Australia.35 It is the Review Team’s view that none of these models are easily adaptable for Australia’s mixed public/private health system and federal system of government. The key difference is the level of linkages required in a federal system and the need for networked governance arrangements. A national body in Australia is reliant on its independence and authority, together with good relationship management and strategic partnerships to drive national efforts. 4.4 Design of the national body – translating the principles of good governance into governance arrangements for the national safety and quality body Chapter 3 makes clear the purpose of the national body for safety and quality by setting out its functions, roles and responsibilities and what it is to achieve. It is important to recognise that this body is only one player in a health system comprising multiple decision-makers, and can only be held accountable for those actions under its control (eg strategic advice on policy directions including comprehensive implementation strategies, but not implementation for which jurisdictions and other key bodies are accountable). Effective governance arrangements will underpin the capacity of the new national body to achieve its purpose. In considering this issue the Review Team was cognisant of problems with the internal operations of the current Council (set out in 4.1). To effectively steer the safety and quality agenda, the body will need members with the right set of skills to enable them to interpret policy directions, devise strategies for effective health system change and take them forward over time. Expertise in safety and quality will not be sufficient. The Review Team is of the view that the national body must incorporate the expertise to engage at a senior level with key stakeholders, design and steer the work of the body, and understand and work within the processes of government, to maximise the likelihood that implementation is undertaken throughout the health system. Collectively, members of the body should be competent in corporate governance, health system reform or change management, safety and quality systems, and strategy development. 33 Tricker R.I. (1994) International Corporate Governance, pp. 244-5 Wilson, A., National Governance for Leadership and Cooperation for Safety and Quality in Australia? Issues and Options. Unpublished. 35 Ibid, pp.7-11. 34 - 28 - It must also be small enough to make decisions readily. Authority and accountability is too diffuse in a larger body of experts in safety and quality, creating difficulty for decisionmaking. The process of generating agreement to policy and strategy is time consuming. A body of between 8 and 9 members should allow for effective decision-making processes. As a governing body becomes larger, the capacity to reach agreement and make decisions readily becomes increasingly difficult and can paralyse the performance of the body. While all relevant stakeholders could not be involved in its internal governance, the body would still be able to broaden its scope to work across the continuum of care as stakeholder interests would be managed through its formal linkages with other bodies (see 4.5. below). In drawing on advice from stakeholders, a small decision-making group is better placed to come to agreement on how to achieve results. In light of the above, the Review Team believes the national body should be designed as follows: • • • a small body of 8 or 9 members with skills in health systems improvement and corporate governance would be: - responsible for effectively steering the national body, and providing assurance to Ministers that the corporate strategy will give effect to their policy intentions; - accountable for conformance with legal, financial and other obligations. Members would include an independent Chair, at least 1 AHMAC member, and 6 or 7 other experts of whom up to 2 could be additional AHMAC members or their nominees, and would be appointed by and report to Health Ministers. the Chair would be an experienced, highly credible part-time Chairperson who brings integrity and respect to this role, and would be: - responsible for leading the body; and - accountable to Ministers and the public. a full-time CEO, capable of engaging government and non-government organisations at a senior level, would be: - responsible for developing the work plan to execute the strategies determined by the body, and managing the budget on a day to day basis; - responsible for recruiting and managing an office comprising staff with a mix of policy development and administrative skills; and - accountable to the body. Either the Chair or the CEO should have observer status at AHMAC/AHMC. - 29 - Recommendation 9 – Internal governance arrangements of the national body To ensure good internal governance: • • • • the Council should be succeeded by a smaller, more focused body, appointed by Ministers; the body should comprise 8 or 9 people, led by an independent, highly regarded Chair, and include at least 1 AHMAC member. The remaining 6 or 7 should be chosen for their collective competence in corporate governance, health system reform or change management, safety and quality systems, and strategy development, and may include up to 2 additional AHMAC members or their nominees; the body should be supported by an office led by a CEO who is capable of engaging government and non-government members at a senior level, and who is accountable to the body; and the body should formally report to all Health Ministers. 4.5 Linkages and coordination 4.5.1 Linkages and coordination with jurisdictions A strong theme emerging from stakeholders is the need for a more effective mechanism for linking a new national safety and quality body with jurisdictions. This would enable jurisdictions to formally advise the national body on the adequacy of the process to undertake high level policy development (eg has the consultation process been adequate? has the right range of expertise been canvassed? have cost/benefit issues been adequately addressed? has existing jurisdictionally-based work been taken into account?). It would also allow the heads of health departments to ensure that local systems and processes are in place to consistently and comprehensively roll out the policy decisions taken by Health Ministers. Stronger linkages with jurisdictions would also assist better coordination of effort. As outlined in Chapter 2, while Council recognised a need for such a mechanism and established a link with an existing jurisdictional group – SQOF – there were notable weaknesses in the use of SQOF as a mechanism for linking Council to jurisdictions and, in particular, AHMAC. The Review Team considers that it is crucially important that AHMAC and jurisdictions are formally part of the governance arrangements for the national body, to ensure the body’s work is well flagged and that all parties understand their roles and accountabilities in delivering on the work plan. As described in Chapter 3, under the new arrangements jurisdictions will need to make better use of their existing regulatory and funding powers to build systems which will support continuous quality improvement. The national body will be better placed to assist them in this once better linkages are in place. Responsibility and accountability would be assigned as follows: • an Inter-jurisdictional Committee, with representatives from all 9 jurisdictions and chaired by the AHMAC member of the body, would replace SQOF and would be: - responsible for advising the body on the adequacy of the policy development process, in particular the implementability of policies, and - accountable for ensuring that health departments are aware of new policy directions and able to review local systems accordingly; - 30 - • • AHMAC would be represented on the national body and the inter-jurisdictional committee, and would be: - responsible for providing guidance to both bodies; - accountable to individual Health Ministers for providing advice to enable the review of systems, policies and levers in each jurisdiction to ensure that national policies are implemented comprehensively, consistently and in a reasonable timeframe; Health Ministers, as the parties jointly responsible for the performance of the health system, exercise the power to make the final decisions on national policies, the related budget and outputs. Recommendation 10 – The national body: formal linkages with jurisdictions through an Interjurisdictional Committee To ensure adequate jurisdictional engagement in the work of the national body: • the AHMAC member of the body should convene an Inter-jurisdictional Committee; • the Inter-jurisdictional Committee should comprise high level representation from all jurisdictions and be chaired by the AHMAC member of the body; • the Inter-jurisdictional Committee should meet frequently enough to provide an adequate level of advice to the AHMAC member on the body; • the Inter-jurisdictional Committee should be responsible for providing advice to the body on the adequacy of the process of policy development at key milestones in the development of particular policy items; and • the Inter-jurisdictional Committee Chair should be accountable for ensuring that the other AHMAC members are aware of new policy directions to ensure their local systems can support the implementation of agreed national policies. It is anticipated that the Inter-jurisdictional Committee would focus on providing its Chair (ie the AHMAC member on the body) with advice on the adequacy of the process rather than contributing to the content of policies under development. To this end the Chair would consult with the Inter-jurisdictional Committee at a number of points along the policy development pathway, prior to the body making a recommendation to AHMC. Inter-jurisdictional Committee members with relevant expertise may also be directly involved in expert working groups which will undertake developmental work in priority areas agreed by Health Ministers (refer to section 4.5.4). 4.5.2 Linkages and coordination with the Chairs of State and Territory safety and quality bodies As indicated in Chapter 2, stakeholders have also commented on the need for better linkages between the national body and state-based safety and quality bodies. This would assist with information sharing, priority setting and alignment of national and state/territory strategies. The Review Team recognises that these state-based bodies have developed a central and critical role to support clinical improvement locally. They also provide feedback to health departments on health system performance, in the defined areas of the health system for which they have responsibility (which vary by jurisdiction). For this reason, the Review Team believes that a formal relationship between the national body and the Chairs of - 31 - state-based safety and quality bodies, through a Stakeholder Reference Group (Recommendation 11 below), will be vital to the effective coordination of the national effort for safety and quality. The Review Team has given close consideration to the suggestion, made in one submission, that the national body comprise the Chairs of the state-based councils or committees. 36 The strength of this proposal is that such bodies are well connected with health departments, professional/peer policy development and regulatory mechanisms, and service providers at the local level. However, utilising the Chairs as a group to steer the national body would not best enable the body to fulfil its functions across the continuum of care. The Chairs generally represent the same skill set (ie senior clinicians) and most are focused on the public, acute care sector. 4.5.3 Linkages and coordination with other stakeholders The Review Team has given consideration to the most effective way of linking with a range of stakeholders, including state-based safety and quality councils. The aim would be to create a more effective mechanism for involving key stakeholders in national priority setting and also provide these players with sufficient information on policy under development to enable them to implement effectively. A Stakeholder Reference Group should be established and be: • • • responsible for providing information to, and drawing on the views of, a wide network of individuals on the priorities and policy directions of the national body; responsible for ensuring their home organisation is sufficiently informed and able able to implement national policy; and accountable to the body for providing high quality advice. The group should have up to 20 members, comprising Chairs of jurisdictional safety and quality bodies and representatives of other key national stakeholder bodies, and be chaired by a member of the national body. Members would be expected to use their existing organisational networks to draw on the views and provide information to a much wider range of interested individuals. They would also be in a strong position to support their organisation to make changes in their area of responsibility to achieve national consistency. It is anticipated that a member of the national body would Chair the Stakeholder Reference Group and act as a conduit of information to and from that group and the national body. As shown by the number of participants in the consultation process for the Review, there are a wide range of key stakeholders with an interest in safety and quality improvement. The Review Team believes that it is essential for the Chairs of each of the State and Territory safety and quality bodies to be represented on the Stakeholder Reference Group. 36 Submission No. 33, Western Australian Council for Safety and Quality in Health Care and the Office for Safety and Quality in Health Care (WA Department of Health), pp 6-8. - 32 - There are a number of other “communities of interest” from which representatives on the Stakeholder Reference Group can be drawn, and a range of bodies which themselves include broad representation of relevant stakeholders, including: • • • • • • • consumers eg CHF (it is expected that at a jurisdictional level the relevant consumer group will be represented on the state/territory safety and quality body); private sector providers and funders (private hospitals, day surgeries, diagnostic facilities and insurers) eg APHA, AHIA; peak professional bodies for clinicians eg CPMC, RCNA; national committees focusing on safety and quality for a sector (aged care, primary care etc) or therapeutic area (quality use of medicines, safe and appropriate use of blood products, etc) eg PHARM, the Safety and Quality in Aged Care Expert Working Group; national bodies that concentrate on clinical best practice eg NICS, NPS, NHPAC; national bodies covering broad cross-cutting areas of health reform (workforce, e-health etc) eg AHWOC; national bodies responsible for information management, data and performance monitoring eg NHIG, AIHW, NHPC. The national body should determine appropriate representation for the Stakeholder Reference Group from these communities of interest and develop publicly available appointment processes and Terms of Reference for the Group. Recommendation 11 – The national body: formal linkages with stakeholders through a Stakeholder Reference Group To assist the decision-making and priority setting undertaken by the national body, and to enable a broad range of stakeholder views to be informed about and involved in the work of the body: • the body should formally convene a Stakeholder Reference Group; • the Stakeholder Reference Group should meet at least twice a year to obtain information on, and provide input to, the safety and quality agenda; • in particular, the Stakeholder Reference Group should contribute to the regular reassessment of national priorities for action; and • the Stakeholder Reference Group should be chaired by a member of the body and comprise up to 20 representatives from key stakeholder groups. 4.5.4 Steering policy development on nationally agreed priority areas by expert working groups It is also expected that once Health Ministers have agreed in principle to policy development on priority areas the body will convene, on a time-limited needs basis, working groups which include an adequate range of expertise to undertake work in the agreed priority areas. As described above, the Stakeholder Reference Group would be consulted in the identification of priority areas and key issues, and the Inter-jurisdictional Committee would be consulted on the appropriate processes and expertise to be utilised. Individuals from the Stakeholder Reference Group, the Inter-jurisdictional Committee and other interested stakeholders with relevant expertise may also participate in the expert working groups. - 33 - Given the national purview of the new body, the capacity to identify and link with other key bodies in the safety and quality arena will be important to its future success in transforming safety and quality. A key initial activity will be to find out what other bodies do and where strategic links are needed for collaborative action (eg peak bodies for consumers, clinicians, allied health professionals, private hospitals, private health insurance etc). The national body will need to utilise appropriate mechanisms to formalise those links in order to strengthen its role in the national coordination of various elements of work being undertaken for safety and quality. Organisations with representatives on the Stakeholder Reference Group may also be undertaking, within their own area of responsibility, work which is highly relevant to national work on safety and quality (eg NICS, NHIG, PHARM, etc). Recommendation 12 – The national body: convening expert working groups and linking with relevant national bodies. To ensure that the relevant range of expertise is drawn on in the development of new work in the agreed priority areas, and that work being undertaken by existing national bodies in the priority areas is coordinated nationally: • the body should convene, on a time-limited basis, expert working groups as necessary to undertake work in AHMC agreed priority areas; • the expert working groups must include an adequate range of expertise from external sources, and may also draw on relevant expertise from the Inter-jurisdictional Committee and the Stakeholder Reference Group; and • the body should establish formal agreements to embed national collaboration and coordination on safety and quality with other relevant national bodies. - 34 - 4.6 Diagram showing the essential features of the national body The following diagram outlines the proposed composition of the national body and its formal links with external parties. AHMC AHMAC National Body Reports to • • Consults with • • 8-10 people High-profile Chair (nongovernment / expert) AHMAC member 6-8 experts in health services improvement (1-2 other AHMAC members or their nominees) Office CEO • • • Staff • Expert Working Groups around core functions Profile, credibility, proven track record Reports to body Observer status at AHMC/AHMAC Project management, policy analysis and committee support skills. Interjurisdictional committee Chaired by AHMAC member of body Stakeholder Reference Group Chaired by a member of body Expert Working Groups around core functions - 35 - 4.7 Resources and timeframe The new body must be sufficiently resourced to fulfil its functions. Its office must have the capacity and expertise to take the policy work forward. In addition, each of the linkages between the national body and other parties requires the attention of the CEO, and a level of support from the office. It will be critical to ensure sufficient resources to do this effectively. To a certain extent the level of costs will ultimately depend on the agreed legal form/structure of the body. A thorough assessment of resource needs will be required as part of the arrangements to establish the body (refer to Chapter 5). It will also be necessary to allow sufficient time to allow the new body to fulfil its mandate. In the health context a period of 5 years is commonly allowed for an assessment of outputs, and system change outcomes. This period also enables the funding cycle of the body to be linked into review mechanisms for budget cycle purposes. Recommendation 13 – Resourcing of the national body To ensure that the national body has adequate time and resources to fulfil and measure its outputs and outcomes, it should be: • established for an initial term of 5 years; and • provided with sufficient resources to fulfil its purpose over this period. 4.8 Conclusions There are no ready-made models for safety and quality governance in comparable countries, and it is necessary to design a model best suited to Australia’s federal system of government and mixed public/private health system. The model recommended by the Review Team is intended to ensure that: • • • Health Ministers as a group are the final decision point so that there are clear lines of accountability in the broader governance arrangements for the health system; the purpose and functions of the new national body are clear and realistic; the design of the body is consistent with the principles of good governance. In particular: - it should be a small body, comprising members with the best mix of skills to fulfil its purpose; - its responsibility for identified functions and accountability for achieving outcomes should be clear; - it should have formal links to AHMAC and health departments, to ensure its work is well flagged, and all parties understand their roles and accountabilities in delivering on the work plan; - it should have formal links with other key bodies, including state-based councils, relevant national bodies, professional and sector based peak bodies, to inform its priority setting process, and adequately flag policy directions so that these stakeholders can implement national policies in their area of responsibility; and - mechanisms should be in place to ensure adequate input to national policy development by external experts, through expert working groups. - 36 - 5. Legal form of the national body and transition arrangements Key points • • • • 5.1 A range of legal forms are consistent with the essential features of the new national body outlined in Chapter 4. A number of options are presented for Ministers’ consideration. The transition process from the current Council to the new arrangements will need careful management to ensure that the momentum to complete critical pieces of work is not lost in the transition between the two bodies. The new national body should be established as soon as practicable. Legal forms/structures considered by the Review Team Chapter 3 identified the core elements of national governance arrangements to transform safety and quality, including the role and functions of a new national body. Chapter 4 described the essential design features of the national body to ensure capacity and accountability for fulfilling its purpose. In considering future governance options for the national body, the Review Team has closely considered which legal form/structure would best: • • • enable the body to fulfil its purpose; accommodate the essential design features described in Chapter 4; and provide sufficient independence and accountability for the body. The Review Team has identified four options which are consistent with the essential features for a new body and which will ensure accountability: • • • • 5.2 a Committee reporting to Health Ministers; a not-for-profit company limited by guarantee, established jointly by Health Ministers; a statutory body established under new legislation; and a body established under existing legislation. Structural options 5.2.1 Committee reporting to Ministers – an enhancement of current Council arrangements A national safety and quality committee should have the following essential features: • • be established jointly and report to all Health Ministers, as a non-statute based committee; enable all Ministers to jointly approve the following – the terms of reference, budget, work plan, appointment of the Chair, committee membership and CEO; and - 37 - • be dependent on a host department to hold and manage funds and to enter into any legally binding agreements on its behalf, as it would not be a separate legal entity. A committee could not employ its own staff or be independently accountable for financial management. Staffing and procurement options include: • the traditional arrangement whereby one jurisdiction provides staffing support for the entity on behalf of all jurisdictions. Accountability for financial management and staffing arrangements are determined under the regulations of the host jurisdiction ie the department head in the host jurisdiction is accountable to the Minister and parliament of that jurisdiction. Staff may be seconded to the office from one or more jurisdictions; or staff may be employed under a shared (inter-jurisdictional) accountability arrangement; OR • outsourcing of the entire CEO and office function through a tender process. This would enable the office to be badged as an independent unit, the CEO and staff to be employed under the conditions of an entity specific workplace agreement, and the budget for staffing and procurement to be managed under the terms of the contract between the host department and the successful tenderer. The tenderer would be accountable to the host department/s for expenditure and meeting work plan outcomes, and host department/s would be accountable for the total expenditure under the financial management regulations in the host jurisdiction/s. 5.2.2 Not-for-profit company limited by guarantee A national safety and quality company should have the following essential features: • • • • be owned by all jurisdictions (and would report to all Ministers); be established by agreement of all Health Ministers under the Corporations Act 2001; make provision for all Ministers to jointly approve any of the following – the constitution, budget, work plan and appointment of the Chair, Board and CEO; and be legally and financially independent and publicly accountable. The company structure provides legal and financial separation from bureaucracies. The governing board would be independently and publicly accountable for financial and work plan management, have the autonomy to employ its own staff, and would not be tied to the procurement and staffing requirements of public service bureaucracies. An example of this legal form is the National E-Health Transition Authority (NEHTA).37 NEHTA is a not-for-profit company owned by all jurisdictions. NEHTA manages a significant procurement budget contributed by all jurisdictions and its board is entirely comprised of AHMAC members. The governance arrangements for a national safety and quality body would not be the same as for NEHTA. Although all jurisdictions would be the owners of a safety and quality company, given that the body would have an expert advisory function and a considerably smaller procurement budget than NEHTA, broad AHMAC membership at the board level would not be warranted. 37 National E-Health Transition Authority [NEHTA] website at http://www.nehta.gov.au - 38 - An alternative model is a not-for-profit company limited by guarantee owned by one jurisdiction (such as the NICS38). This option shares many of the above features, except that it would be owned solely by one Minister, and that Minister would be the ultimate source of approval for appointments. 5.2.3 A new statutory body A national safety and quality statutory body should have the following essential features: • • • • • be established in legislation; report to all Ministers; enable all Ministers to jointly control the appointments, and establish powers to direct the body to perform its functions (as set up in the legislation); be both financially and legally separate (ie independently accountable); and impose legal obligations on office holders. The statutory body structure would provide the authority of statute, and depending how it is set up, could provide the same benefits as either the committee structure or company structure. The body could be both financially and legally separate from portfolio departments and able to employ staff independently under the conditions of enterprisespecific workplace agreements. An example of a Commonwealth statutory body which reports to COAG as well as an Australian Government Minister is the National Water Commission (NWC).39,40 The Chair and the six commissioners are appointed on the basis of their individual expertise and capacity to act in the best interests of the NWC. Its functions are similar to those proposed in this Review for the national safety and quality body.41 The AIHW is an example of a Commonwealth statutory body which reports to the Australian Government Minister. The Minister can direct the Institute, but is legally obliged to consult each State/Territory Health Minister before doing so. 42 5.2.4 A new body under existing statute It would also be possible to establish the national body under an existing statute. At the federal level, one vehicle might be the Commonwealth’s National Health and Medical Research Council Act 1992, under which the body could be established as a principal committee of the NHMRC. The Act specifies the following functions of the NHMRC: “(a) to inquire into, issue guidelines on, and advise the community on, matters relating to: 38 National Institute for Clinical Studies [NICS] website at http://www.nicsl.com.au/about.aspx National Water Commission website at http://www.nwc.gov.au/#about. 40 The NWC can second staff under the APS Act 1999, or independently employ contractors or consultants under agency determined conditions. Funding is administered under a special account of the Commonwealth Financial Management and Accountability Act 1997. 41 Ibid., Part 2 – Establishment of the National Water Commission (NWC), Section 7 Functions of the NWC. 42 Australian Institute of Health and Welfare Act 1987, Section 5 Functions of the Institute, Clause (1) (k) and Section 7 Clause (1B). The AIHW is legally and financially independent, has its own appropriation, and can employ staff independently under an enterprise agreement. 39 - 39 - - the improvement of health; the prevention, diagnosis and treatment of disease; the provision of health care; public health research and medical research; ethical issues relating to health; (b) to advise, and make recommendations to, the Commonwealth, the States and Territories on the matters referred to in paragraph (a); and (c) to make recommendations to the Commonwealth on expenditure: (i) on public health research and training; and (ii) on medical research and training.” 43 The essential features of the NHMRC governance arrangements are that: • • • • • the NHMRC Act 1992 enables the establishment of new principal committees by the Australian Government Minister (after taking advice from the NHMRC, which includes representation from all jurisdictions); committees report to the NHMRC, which in turn reports to the Australian Government Minister; committees can be directed by the NHMRC on the manner in which committee work is undertaken; the Act sets out the functions of committees, so they have the authority of statute; and the NHMRC is financially part of the Australian government (ie the CEO is accountable to the Secretary of the Australian Government Department of Health and Ageing). The Australian Government is currently considering governance arrangements for the NHMRC in light of a number of recent reviews and reports which addressed governance issues for the NHMRC and public sector organisations more generally. As a result the above features may change. 5.2.5 Comparison of the options A committee has the advantages of clearly being accountable to all Health Ministers and being the simplest arrangement to establish. Jurisdictions are adept at establishing national committees and provide cost-effective infrastructure support. While a committee may be seen as a minor variation on the current Council arrangements, it could be argued that the Council has produced good work with inadequate governance and accountability arrangements and that by fixing these problems a new committee could function more effectively. A company could be jointly owned by all governments – independent of any one government but accountable to all. It would also be independently accountable for financial management and reporting, and able to appoint its own staff. It would have greater independence and focus than a committee structure, whether a specific purpose committee or one established under the NHMRC. 43 National Health and Medical Research Council Act 1992, Part 2 Establishment and Functions of the Council, Section 7 Functions of the Council. - 40 - However, the investment required to establish and manage a company may not be warranted given that there is no commercial or market focus, and the policy functions of the body are advisory in nature and can be delivered through a less formal mechanism. A company owned solely by the Commonwealth would limit the influence of other Ministers. A new statutory body would be created under the statute of only one jurisdiction, but could be required to provide advice to all Ministers at the same time as providing advice to the lead jurisdiction. It would have the authority of statute, but would be time consuming to establish and more difficult to change or disband. Statutory bodies are limited by the confines of the statute and are not always adaptable or responsive. Such a structure may not be necessary as the same functions could be established under a less formal committee structure. The NHMRC provides an existing statutory basis and authority, but is essentially similar to the committee model. Under the current terms of the Act, however, it would be difficult for Health Ministers collectively to directly influence a new safety and quality body principal committee as it would have to report to the Australian Government Minister through a large Council whose interests are not primarily in safety and quality. There are also some limits to the NHMRC’s capacity to act quickly given the public consultation requirements set out in the Act. Nevertheless, this option has the advantage of building on the existing NHMRC legislation and infrastructure and may warrant further investigation, particularly if the functions of the NHMRC are reconsidered. 5.3 Implementation of the Review: transition arrangements to new national body Decisions on the form of the new national body and transition arrangements need to be made as soon as practicable. This is important, both to maintain momentum, and to speed the implementation of national safety and quality initiatives. The development of a National Strategic Framework and public report are important, need to commence quickly and must be done by the new national body. Ministers will need to determine as quickly as possible: • • • the legal structure of the new body; the identification and appointment of new members; and the appropriate level of funding to enable the new body to fulfil its purpose. Decisions about the structure will affect how quickly the new body can be established. For example, setting up a statutory body will take longer than establishing a committee. Once decisions are made, a timeframe for Council to cease and the new body to commence should also be announced. - 41 - Whatever legal form/structure is chosen, it will be important to maintain continuity of the current work plan in the transition between Council and the new body. It is critical that the expertise and momentum in the current Council and the Office is not lost in the transition to new arrangements. Council should be given clear directions on the outstanding work to be completed prior to ceasing operation. Council should not, however, commence any new work as this may inappropriately commit the new national body. Recommendation 14 – Legal form and transition arrangements Health Ministers should determine the appropriate legal form/structure and agree that the new body be established as soon as practicable. Transition arrangements should ensure a seamless changeover from the current Council. 5.4 Conclusions The Review Team believes that any of the legal forms outlined above are consistent with the essential functions, processes and relationships for the new body outlined in Chapter 4. The development of a National Strategic Framework and public report are important, need to commence quickly and must be done by the new national body. It is important to minimise the loss of Council expertise and momentum in the transition to new arrangements. If there is a delay in the establishment of the new body, Council should be given clear direction on the work it is to finalise prior to ceasing operation. - 42 - 6. Priorities for future national action Key Points The Review Team believes that the priorities for national action should both build on the valuable work of Council and allow a refocusing of the agenda on measurable improvement in safety and quality across the continuum of care. The immediate priorities for the future should be to: • • • • establish new national governance arrangements for safety and quality improvement by June 2006 (AHMC and individual jurisdictions); take action to deliver on the functions of the new national safety and quality body (the new national body); fully implement Council recommendations previously agreed to by Ministers (all jurisdictions collaboratively, and with other stakeholders); and finalise key elements of Council’s work (new national body and Council in the interim). The national body should conduct a regular, transparent consultation process for setting priorities in the future, involving all key stakeholders and particularly members of the Stakeholder Reference Group. 6.1 Stakeholder views Individual stakeholder suggested a range of priority areas and actions. Some of these were specific topics (eg medication safety, blood and workforce), some were tools or activities (eg a common discharge summary; guidelines and standardised products for intrathecal and IV injections to prevent wrong administration and reduce risks associated with interstate transfers caused by variances in practice) and others were strategies (eg better communication and dissemination). The focus of stakeholder attention, however, was on the overall national requirements for transforming safety and quality and in that context there was a high degree of consensus, as outlined in Chapters 3 and 4, that the national priorities are: • • • 6.2 effective national governance arrangements to lead and coordinate the safety and quality agenda; a national strategic framework to promote coordinated and complementary action at all levels of the health system; and successful implementation of national policies and standards already agreed to by Health Ministers. Review Team’s view The Review Team believes it is imperative that the focus on systems improvement begun by the Council is continued, and this involves following through and implementing key aspects of the Council’s current work-plan. Further, this systems approach needs to be given a broader focus on quality improvement across the continuum of care and needs to be made - 43 - operational at all levels of the health system. Most importantly, the progress of safety and quality improvement needs to be measured in a meaningful way and publicly reported. In line with the above, the Review Team believes the immediate priorities for future action should be the following: Priority 1: Establish new national governance arrangements for safety and quality improvement by June 2006 In order to establish truly national governance arrangements for safety and quality in health care, as described in Chapter 3, Ministers need to ensure the following actions: Priority 1.1 Establish new national safety and quality body AHMC to establish a new safety and quality body to lead and coordinate improvements in the safety and quality of health care in Australia, as soon as practicable. As described in Chapters 4 and 5, the decisions on the form of the new national body and transition arrangements need to be made quickly in order to maintain momentum. Priority 1.2 Review jurisdictional safety and quality arrangements Jurisdictions to review their own safety and quality arrangements, in light of the jurisdictional functions recommended in Chapter 3, to ensure: • • • • • • an effective working relationship with the new body; development of principles and mechanisms for advancing safety and quality in their own jurisdiction (eg through the establishment of a safety and quality body and mechanisms for consumer involvement); appropriate governance and accountability arrangements to provide public assurance of quality and safety; implementation of agreed national standards within their jurisdiction; development of coordinated mechanisms to ensure implementation is effective; and participation in national data collections on safety and quality. Priority 2: Take action to deliver on the functions of the national body The following priorities are essential for the new body to deliver on its functions. Priority 2.1 Develop a National Strategic Framework for Improving the Safety and Quality of Health Care, for endorsement by Health Ministers, within the first six months of the new national body’s operation A National Strategic Framework for Improving the Safety and Quality of Health Care is necessary to ensure a comprehensive range of action is undertaken in a nationally coordinated way by leaders, decision makers and providers operating at different levels in the health system. The national body should develop the National Strategic Framework for endorsement by Health Ministers. It should be developed in consultation with jurisdictions and stakeholders as an immediate priority (ie within the first six months of operation). - 44 - Priority 2.2 Prepare a National Report on the State of Safety and Quality by June 2007 The view of the Review Team, confirmed by stakeholders during the consultation process, is that the time is now overdue for a regular authoritative national report to the public on the safety and quality of patient care in Australia. This should be a priority for the new national body. The purpose of such a report (and for subsequent reports) would be to (a) inform the public about the current state of health care safety and quality and progress in quality improvement; and (b) promote quality improvement by engaging clinicians, health care organisations, funders, and consumers to learn from successful delivery systems and practices. The national report should also advise Ministers and the public on the progress made in implementing policies and standards endorsed by Ministers. Priority 3: Fully implement previous AHMC decisions Priority 3.1 Fully implement the eight uniform national actions to improve patient safety within the timeframe previously agreed to by Ministers Jurisdictions should fully implement the eight uniform national actions to improve patient safety within the timeframe previously agreed to by Ministers. The Review Team was repeatedly advised by stakeholders that implementation of the eight Council recommendations already agreed to by Ministers has been patchy. In addition, while many of these standards can and should be implemented across the health care system, there is currently only a commitment for implementation in public hospitals. A priority for jurisdictions should be to fully implement these recommendations. In doing so they should work collaboratively, and involve other stakeholders to ensure implementation across the health system, unless inapplicable for the care setting. As Ministers have previously only agreed to implement recommendations in the public hospital system, it may be necessary to go back to Health Ministers with implementation plans for other sectors. Priority 3.2 Create a National Minimum Data Set for Safety and Quality by June 2006 In January 2005, Health Ministers agreed to the development of a national minimum data set for safety and quality. The development of the national minimum data set will allow for a comprehensive assessment of the state of safety and quality of health care in Australia, filling a notable gap in what is known about the current extent of safety and quality problems, the impact of recent initiatives, and the capacity that exists for improvement. The Review Team notes that the process for developing a national minimum data set is already being undertaken by the National Health Information Group (NHIG) with Council involvement. As outlined in Chapter 3, the Review Team envisages an ongoing role for the new national body working with NHIG to ensure that minimum data sets for safety and quality are created and maintained. AHMC agreed that participation in the collection of data for a national minimum data set should be required of public hospitals and that States and Territories should consider requiring the same for private hospitals. The Review Team is of the view that a national minimum data set should also include primary care data, as a first step towards a whole of system approach to collecting a national minimum data set for safety and quality. It should - 45 - also include a broad range of performance data, reflecting the broader quality focus envisaged for future national action on safety and quality. AHMAC should bring these matters to NHIG’s attention. Priority 4: Finalise key elements of Council’s work Priority 4.1 Provide advice on the reform and streamlining of accreditation by June 2006 Accreditation is an important component of national efforts to improve safety and quality in health care, both because it is a quality improvement tool in its own right and because it is an important mechanism for implementing agreed national standards. The Review Team is aware that the Council, and others, have undertaken significant work on options for reforming and streamlining current accreditation arrangements to increase their effectiveness in improving safety and quality. Building on this work, a priority for the new national body (and Council in the interim) should be to prepare advice to Health Ministers by June 2006 to transform current accreditation arrangements. These issues are discussed in more detail in Chapter 7. Priority 4.2 Provide advice on the implementation of the Open Disclosure Standard by December 2006 The Open Disclosure Standard44 was first endorsed by Ministers in July 2003. The Standard provides a framework for an open, consistent approach to communicating with patients when things go wrong in health care, and provides guidance on what to say and what not to say in such situations. In January 2005, Ministers agreed to an implementation plan developed by AHMAC for the Standard, involving a pilot implementation process, external evaluation and a report to AHMC in December 2006. This process is to be overseen by jurisdictions. At the completion of the pilot Ministers will consider national implementation. The Review Team believes the Open Disclosure Standard is a crucial piece of work that needs to be vigorously followed through. The new national body (and Council in the interim) should provide ongoing advice to Health Ministers on the progress of the pilots and their evaluation. Priority 4.3 Develop an implementation plan for the Credentialling Standard by June 2006 In July 2004, the Australian Health Ministers Conference agreed to the public release of the Council’s Credentialling Standard.45 This work followed on from the National Guidelines for Credentials and Clinical Privileges which Council presented to AHMC in July 2002. The aim of the Standard is to increase the consistency and improve the effectiveness of processes used by health care organisations to ensure clinicians have the knowledge, skills and resources needed to deliver safe care. 44 Australian Council for Safety and Quality in Health Care (2003), Open Disclosure Standard: A national standard for open communication in public and private hospitals. 45 Australian Council for Safety and Quality in Health Care (2003), Standard for Credentialling and Defining the Scope of Clinical Practice: A national standard of credentialling and defining the scope of clinical practice of medical practitioners, for use in public and private hospitals. - 46 - In January 2005, Health Ministers endorsed an implementation plan developed by AHMAC for a Council recommendation regarding performance agreements with clinicians. However, there is still no nationally agreed plan for implementation of the credentialling standard across the health care system. In suggesting a more gradual approach to performance agreements, AHMAC noted that jurisdictions have various approaches to performance management and are at different stages in adopting and evaluating credentialling policies. AHMAC proposed, and Ministers agreed, to a phased approach with the initial focus on supporting jurisdictions in the implementation of the agreed credentialling approach. The Review Team notes that despite credentialling being a key issue for Council for the majority of its term, the implementation of a national approach is yet to occur. A key priority for the new national body (and Council in the interim) will be to work with jurisdictions and other stakeholders to develop an implementation plan. This should be developed for consideration by Health Ministers by June 2006 to enable implementation of the Credentialling Standard across all health care settings. 6.3 Process for identifying future national priorities Two of the core functions recommended for the new national body are to provide strategic advice on safety and quality improvement across the continuum of care and to recommend key national policy standards. To inform the delivery of this function, the national body will need to conduct a regular, transparent consultation process for setting priorities. Wide engagement will be facilitated by the involvement of a range of stakeholders, in particular the Stakeholder Reference Group, in the priority setting process. The first such priority setting process should be conducted within the first 12 months of the new body’s operation. It should focus on identifying the key activities which will fulfil the body’s mandate to advise on improving the safety and quality of health care across the continuum of care. Broadly speaking, stakeholders desired priorities that focused on the following: • • • • efficiency – the development of safety and quality interventions should be integrated across jurisdictions and sectors of the health system; effectiveness – interventions that will make a real difference to the safety and quality of health care; sharpened focus – making a difference in a few areas rather than dissipating energy more broadly across a wide range of issues; relevance – meeting the needs of jurisdictions, stakeholders and the service delivery level, while also focusing on areas of concern to consumers and where most gains can be made. Some stakeholders suggested a ‘horizon scanning’ exercise to map the safety and quality activities that are in place, identify what is and is not working well, and to inform the setting of future priorities. - 47 - One notable example from submissions suggested the following principles be used to identify initiatives or issues for action at the national level. 1. 2. 3. 4. 5. 6. Can only be addressed by a national body (eg harmonisation of legislation). Are not being addressed elsewhere by other groups. Have a significant impact on patients or the health care system, through safety, quality or cost. Are amenable to intervention or there are means of determining if they are amenable to intervention. Can be integrated into routine health care delivery (are sustainable). Represent value for money.46 The Review Team believes that following the above principles will help ensure that priorities for the future are kept tightly focused. This is especially important given the broad scope of action (safety and quality across the continuum of care) that is envisaged under the new national arrangements. Recommendation 15 – Priorities for future national action The Review Team believes the priorities for future action should be the following: Priority 1 Establish new national governance arrangements for safety and quality improvement as a matter of urgency 1.1 AHMC to establish a new safety and quality body to lead and coordinate the safety and quality agenda in Australia. 1.2 Jurisdictions to review their own safety and quality arrangements to ensure: • • • • • • an effective working relationship with the new body; development of principles and mechanisms for advancing safety and quality in their own jurisdiction (eg through the establishment of a safety and quality body and mechanisms for consumer involvement); appropriate governance and accountability arrangements to provide public assurance of quality and safety; implementation of agreed national standards within their jurisdiction; development of coordinated mechanisms to ensure implementation is effective; and participation in national data collections on safety and quality. Priority 2 Take action to deliver on the functions of the new body (the new national body) 2.1 Develop a National Strategic Framework for Improving the Safety and Quality of Health Care within the first six months of operation. 2.2 Prepare a National Report on the State of Safety and Quality by June 2007. Priority 3 Fully implement previous AHMC decisions 3.1 Jurisdictions to fully implement the eight uniform national actions to improve safety and quality previously agreed to by Ministers. 3.2 NHIG and the new national body/Council to create a National Minimum Data Set for Safety and Quality by June 2006. 46 Submission No. 33, Western Australian Council for Safety and Quality in Health Care and the Office of Safety and Quality in Health Care (Department of Health), pp. 8-9. - 48 - Priority 4 Finalise key elements of Council’s work (the new national body and Council in the interim) 4.1 Provide advice on reforming and streamlining accreditation by June 2006. 4.2 Provide advice on implementation of Open Disclosure Standard, including evaluation of pilots, by December 2006. 4.3 Develop an implementation plan for the Credentialling Standard by June 2006. Process for identifying future national priorities Within the first 12 months of its operation, the new national body should conduct the first of a series of regular priority setting processes involving all members of the Stakeholder Reference Group. 6.4 Conclusions The Review Team believes that the priorities for national action should both build on the valuable work of Council and allow a refocusing of the agenda on measurable improvement in safety and quality across the continuum of care. The first step would be to establish a new national body to lead and coordinate the safety and quality agenda. Its priorities will be to: • • develop a National Strategic Framework for Improving the Safety and Quality of Health Care to guide and coordinate national action; and prepare a national report on the state of safety and quality. Critical pieces of work from the current safety and quality agenda need to be brought to fruition: • • • • • National Minimum Data Set for Safety and Quality; accreditation; Open Disclosure; credentialling; and full implementation of all Council recommendations agreed to by Health Ministers. Recognising that the national safety and quality body is just a part of broader governance arrangements, the Review Team believes that jurisdictions should, as a priority, review their own safety and quality arrangements. In doing so, jurisdictions need to ensure that they have appropriate mechanisms for safety and quality governance and that they have the capacity to work with and implement agreed recommendations from the national body. It is this concerted action across the health system which has the potential to transform health care safety and quality in Australia. - 49 - 7. Enhancing the role of accreditation Key Points • • • • Accreditation is an important driver for safety and quality improvement. Translating nationally agreed safety and quality improvement policies and standards into accreditation standards is an important mechanism for implementation of those policies and standards. Stakeholders have legitimate concerns regarding the current processes of accreditation of health care services. A priority for the new national body should be to provide Ministers with a plan to transform accreditation arrangements. 7.1 Context At the request of AHMAC, the Review Team considered the current processes of accreditation of health care services (for the health system as a whole) and their impact on the safety and quality of health care provision. The Review Team was assisted by a background paper prepared by the Council which outlined the key issues identified through Council’s extensive work on accreditation.47 This work included a literature review,48 consultation paper,49 and a report on stakeholder consultation,50 all of which were provided to the Review. Other useful information was gathered through the consultation process and from information provided by a number of jurisdictions. 7.2 Stakeholder views and concerns about current accreditation processes In its background paper, the Council identified the following stakeholder concerns with current accreditation arrangements. These concerns were reiterated in the Review consultation process: Development of defined standards • Standards are developed independently by the various organisations that also assess against them. This has resulted in considerable duplication of, and potential gaps in, standards and requires many organisations to demonstrate compliance against multiple sets of standards that are directed at the same outcome. 47 The Council background paper was prepared at the request of the Review Team and is available on the Review website at www.health.gov.au/safetyandqualityreview 48 Australian Council for Safety and Quality in Health Care. Standards Setting and Accreditation Literature Review and Report, July 2003. 49 Australian Council for Safety and Quality in Health Care. Standard Setting and Accreditation Systems in Health: Consultation Paper, July 2003. 50 Australian Council for Safety and Quality in Health Care. Standard Setting and Accreditation Systems in Health Consultation, August 2004. - 50 - • • Standards are usually only accessible to organisations that are members of the standardsetting body. Standards should be accessible to all stakeholders, including the general public. The process for developing standards is not always transparent. Assessment of compliance with standards • Accreditation survey processes vary in their rigour and reliability. • Many health care organisations are required to undergo repeated accreditation surveys by different organisations, where an organisation-wide approach would be more efficient and appropriate. The outcome of accreditation surveys is not always transparent to stakeholders and, in particular, there is no robust and/or consistent method of responding to organisations which are found through accreditation surveys to pose an unacceptable safety and quality risk. This concern also pertains to the appropriate management of the results of assessment. • Appropriate management of results of assessment • 7.3 Accreditation data is a potentially rich source of information about safety and quality issues in the health care system and, if used optimally, will inevitably drive system-wide improvement. The optimal effects of accreditation can only be achieved if processes are applied across all systems, rather than by the piecemeal adoption of ideas and/or standards. Current status of Council’s work on accreditation reform The Council’s 2003 Consultation Paper, outlining a set of principles for accreditation reform, was endorsed by Health Ministers in July 2003. These principles, which aimed to address the stakeholder concerns listed above, are: Development of defined standards • • • Standards against which compliance is assessed are capable of adaptation to varying health environments – but are firm and credible. Effective consumer engagement occurs throughout the accreditation system. Standard setting and accreditation processes are externally validated. Assessment of compliance with standards • • • Surveying against standards is credible, robust, and consistent. Assessment options are flexible. Stakeholder confidence in the rigour of accreditation systems is enhanced, and the reliability of responses to significant non-compliance is increased. Accreditation processes encompass both assessment of compliance with minimum standards, and encouragement of continuous improvement. - 51 - Appropriate management of results of assessment • • • Responsibility for taking action on accreditation outcomes is clearly defined. Information learned from accreditation is used for system-wide improvement. Accreditation processes and outcomes are transparent. Resource allocation and/or research • Accreditation of health care services is supported. Varying regulatory and funding options for achieving greater national consistency are utilised to encourage the accreditation of health care services. The administration of accreditation is efficient. The direct and indirect relationship between accreditation and safety and quality in health care is evaluated through research. • • Council’s Consultation Paper also proposed the creation of a national body, the National Health Accreditation Advisory Council, to advise governments and coordinate national efforts on accreditation issues. This had some support from stakeholders, although concerns were raised that a national framework would create another layer of bureaucracy and lead to less adaptable standards.51 Council has yet to advise Ministers on its proposed way forward regarding the recommendations in the consultation paper. It did, however, recommend to AHMC in July 2004 that all hospitals be required to participate in a process of assessment, including periodic external review, of their systems that support the delivery of safe, high quality health care and report the outcomes of these processes to the relevant authority. Ministers subsequently agreed to an implementation plan developed by AHMAC for the above Council recommendation. The plan proposed ongoing consultation between jurisdictions, accreditation bodies and industry to identify ways of ensuring the robustness of accreditation and review systems and opportunities for integration and streamlining. It also stated the need to develop processes whereby the outcomes of accreditation/review for public hospitals can be made available to jurisdictions. 7.4 Review Team’s view 7.4.1 Impact of accreditation The Review Team is of the view that accreditation is an important driver for safety and quality improvement, which is widely used internationally in the health sector and in other industries, and notes that Australia’s health accreditation processes are highly regarded internationally. The Review Team also supports the view of many stakeholders that accreditation is an important implementation tool for policies and standards developed by the national safety and quality body and endorsed by Health Ministers. Currently there is no direct mechanism to support the incorporation of such policies and standards (eg credentialling) into relevant accreditation standards. A recent study in the United States concluded that the main driver of 51 Ibid. - 52 - safety and quality initiatives in US hospitals was accreditation (specifically the Joint Commission on Accreditation of Healthcare Organizations – JCAHO).52 7.4.2 Reform of current accreditation processes The Review Team notes that there are different accreditation/standard setting bodies (and processes) for different parts of the health care system. Examples include: • • • • ACHS/QIC/ISO for general hospital and organisation accreditation; RACGP/AGPAL/QPA for general practice; Aged Care Standards and Accreditation Agency for residential aged care; and National Pathology Accreditation Council/National Association of Testing Authorities (NATA) for laboratories. The above are mostly separate bodies working in separate domains – closely aligned in some settings, but not in others. For example, most residential aged care is provided by the private or not-for-profit sector and is not associated with hospitals. However, as cited by stakeholders, there are examples of duplication where facilities are required to be assessed by multiple accreditation bodies and/or meet the additional requirements of regulators/funders. Any attempt to address this issue needs to recognise that the approaches of accreditation agencies are also backed by different statutes, incentives and self-regulatory measures. Examples include: • • • • residential aged care and pathology laboratories through Commonwealth legislation; hospitals through State/Territory legislation/regulation; health purchaser-provider agreements between private hospitals and health funds; and the Practice Incentive Program for general practice. Reform of accreditation arrangements would thus require the coordinated action of multiple levels of government and other stakeholders. It may also lead to there being a smaller number of accreditation agencies which can accredit across the health system according to robust standards. The Review Team believes the new national safety and quality body should advise Ministers, by June 2006, on the best way to reform and streamline accreditation arrangements. The Review Team is not convinced that the model of a National Health Accreditation Advisory Council, as recommended in Council’s Consultation Paper, is the best way forward. However, Ministers do need advice on the best ways to reduce the burden for health services in meeting the accreditation requirements of multiple agencies and address the other concerns identified above. The new national safety and quality body should identify alternative models and notes that there is an international exemplar (JCAHO in the United States), where all accreditation can be conducted by one entity in a streamlined manner, with sanctions imposed by relevant funders/purchasers at their discretion. 52 Devers K, Pham H & Liu G (2004), ‘What is Driving Hospitals’ Patient-Safety Efforts?’ Health Affairs, 23(2), pp. 103-115. - 53 - A mechanism is also needed for jurisdictions to consider, as a group and with other relevant peak bodies, how polices and standards (eg credentialling) can be translated into accreditation standards. Until such time as the new body is established, the Council should progress this work. 7.5 Conclusions The Review Team proposes that Ministers be provided with a plan to transform accreditation arrangements, to enhance the role of accreditation in both quality improvement and in the implementation of agreed national standards. In developing this plan, the national body (and Council in the interim) should engage with multiple stakeholders, including jurisdictions, accreditation bodies and the wider health industry. The plan should be consistent with the principles outlined in this Chapter and the AHMAC implementation plan, and should recommend: • • • • • whether a national accreditation body is necessary and, if so, what its role and function should be; the best mechanism to review existing standards that apply to the health sector, to determine opportunities for streamlining and reducing duplication; the best way to translate nationally agreed safety and quality improvement policies and standards into accreditation standards as a mechanism for implementation; ways to address issues relating to the rigour and robustness of survey processes; and the development of a mechanism to ensure appropriate action is taken in the event that an unacceptable threat to the safety and quality of care is identified by an accreditation agency. Recommendation 16 – Accreditation A priority for the new safety and quality body (and Council in the interim) should be to provide Health Ministers with a plan to transform accreditation arrangements, by June 2006. - 54 - Appendix 1 Australian Council for Safety and Quality in Health Care membership as at May 2005 NAME ROLE PROFESSIONAL CAPACITY Members Professor Bruce Barraclough AO Chair of Council Chair – Institute for Clinical Excellence; Past President, Royal Australasian College of Surgeons, Chair of Professor and Director of Cancer Services for the Executive Northern Sydney Area Health Service Professor Chris Baggoley Member Chair, National Institute of Clinical Studies Professor Lesley Barclay AO Member School for Social and Policy Research, Institute of Advanced Studies, Charles Darwin University, NT Dr Jenny Bartlett Executive Member Chief Clinical Adviser, Department of Human Services, Victoria Dr Beverley Anne Brand Member Deputy Secretary Department of Health and Human Services Tasmania Dr David Brand Member Client Solutions Dr Heather Buchan Member Chief Executive Officer, National Institute of Clinical Studies Mr Dermot Casey Executive Member Executive Director Office of the Safety and Quality Council Associate Professor Kaye Challinger Executive Member Director, Acute Services, Central Northern Adelaide Health Services Ms Marie Colwell Member Director, Asoka Systems Pty Ltd Dr Paul Dugdale Member Chief Health Officer, ACT Health Ms Christine Gee Member Chief Executive Officer, Toowong Private Hospital Professor John Horvath AO Member Chief Medical Officer, Australian Government - 55 - Professor Clifford Hughes AO Member Head, Cardio-Thoracic Surgical Unit, Royal Prince Alfred Hospital Ms Betty Johnson AO Executive Member National Secretary, Older Women’s Network Australia Dr Dorothy Jones Member Director, Office of the Safety and Quality of Health Care, Health Department of Western Australia Professor Brendon Kearney AM Member Director, Institute of Medical and Veterinary Science Dr Len Notaras AM Member Director, Clinical and Medical Services Royal Darwin Hospital Ms Jane Phelan Member Consumer, with an extensive background in journalism Professor Paddy Phillips Executive Member Department of Medicine, Flinders Medical Centre Ms Maureen Robinson Member Executive Manager, Development Australian Council on Healthcare Standards Professor Bill Runciman Member Head, Department of Anaesthesia and Intensive Care, Royal Adelaide Hospital Clinical Associate Professor Bryant Stokes AM Member Department of Neurosurgery Saint John of God Hospital Dr Mark Waters Executive Member Senior Executive Director, Innovation and Workforce Reform Directorate, Department of Health, Queensland Dr Heather Wellington Executive Member Phillips Fox Principal Consultant, HPA Consulting Pty Ltd Dr Ross Wilson Member Director, NSH Centre for Healthcare Royal North Shore Hospital Dr John Youngman Member Safety and Quality expert - 56 - Appendix 2 List of Council achievements The following is taken from Council’s submission to the Review.53 Some highlights Supporting health care practitioners • Conducted a national workshop and gained endorsement by Health Ministers of a National Strategy to Reduce Health Care Associated Infection (HCAI), one of the leading causes of adverse events. There is national agreement to key HCAI definitions and production of clinical guides for health professionals to reduce health care associated infection. • Funded over 120 local projects to improve patient safety across Australia in two rounds of the Safety Innovations in Practice Program (SIIP). Another 50 being funded in SIIP Mark III, as Council continues to foster innovation in safety and quality improvement at the local level. • Produced the National Report on Qualified Privilege, consulted with jurisdictions and developed guidelines for improved administration of qualified privilege schemes, to help achieve a balance between clinician participation in quality assurance activities and public access to health information. • Conducted national workshops to instruct Australian trainers on root cause analysis methodology, which identifies factors contributing to adverse incidents. • Produced the Ensuring Correct Site, Correct Site, Correct Procedure Protocol to help prevent procedures being carried out on the wrong patient or body part, an event that can cause serious harm and distress to patients. • National Framework for Education on Patient Safety is being developed to build the required skills, knowledge and behaviour in respect to patient safety. It recognises education as a foundation element for redesigning systems and facilitating a sustainable culture of safety and quality in health care. System redesign • Medication Safety Innovations Awards Program provided funding for 16 local level projects testing innovative interventions to reduce harm from medication use. The program aims to ensure sustainable improvement that can be applied more widely. • In the Medication Safety Breakthrough Collaborative, 100 clinical teams from across Australia participating in two waves of collaborative action to reduce harm from medication use by 50% in participating facilities. • The first High-Risk Medication Alert on Intravenous Potassium Chloride released in October 2003 with another alert on Vincristine in development. This gives the Council the capacity for prompt action to publicise information on known hazards that can lead to catastrophic patient outcomes. 53 Submission No. 53, ACSQHC, pp. 7-9 - 57 - • A National Common Inpatient Medication Chart is being trialled in 30 sites across Australia, to reduce medication error, one of the most common causes of unintended harm to patients. Awareness and understanding • Helped spread the safety and quality message by sponsoring the Australasian Conference on Safety and Quality in Perth in 2003 and Canberra in 2004, including support for international patient safety experts to speak at the Conferences and 19 scholarships for health workers and consumers to attend. • Organised the world class 1st Asia Pacific Forum on Quality Improvement in Health Care and provided scholarships for the 2nd and 3rd Asia Pacific Forums in Singapore and New Zealand. • Council members delivered hundreds of patient safety presentations to thousands of people throughout Australia, contributing to wider safety and quality knowledge. • Charting the Safety and Quality of Health Care in Australia, based on that developed by the US Commonwealth Fund, assembled data to provide health care providers, policy makers and consumers with a comprehensive overview of what is known about the safety and quality of the Australian health care system. Consumer participation • Produced, launched and distributed more than 60,000 copies of ’10 tips for safer health care’ to help consumers understand health care safety and become more actively involved in their health care. It has been translated into 15 languages, and agreed by Health Ministers that all public patients will receive a copy of the booklet at or before the time of admission. • The Open Disclosure Standard: A National Standard for open communication in public and private hospitals was endorsed by Health Ministers as a national standard in July 2003. It aims to encourage greater openness about adverse events through acknowledging when things go wrong and providing reassurance to patients and their carers that lessons will be learned. A national trial is underway. • The Consumer Adverse Medicine Events (AME) Line, a national system for consumers to report adverse events, was launched nationally in October 2003 as an initial 18-month trial. This is an important way of identifying common adverse drug events enabling learning and preventative action. Data and information • A national core set of sentinel events has been agreed with jurisdictions and a national report is being developed to measure and learn from events that cause death or serious harm to patients. Research • Forged a partnership with the National Health and Medical Research Centre resulting in a Centre of Research Excellence (CRE) in Patient Safety. Council will invest $2 million over 5 years into this Centre to build a body of knowledge on what works in health care. - 58 - Appendix 3 Public submissions to the Review No. Organisation Author 1 Individual Dr Kerry Breen 2 Monash University Dept of Epidemiology & Preventive Medicine Professors John McNeil and Just Stoelwinder 3 The Voluntary Euthanasia Society of Victoria Dr Rodney Syme 4 Individual Dr John Youngman 5 Northern Yorke Peninsula Health Service 6 Lyell McEwin Health Service Dr Claire Hale 8 Pharmaceutical Society of Australia Kerry Deans 9 The Royal Australasian College of Physicians 10 Individual Margaret Ryan 11 Pharmaceutical Health & Rational Use of Medicines Professor Ric Day 12 University of WA Faculty of Medicines & Dentistry Professor Louis Landau 13 Joint Accreditation System of Australia & New Zealand Tony Craven 14 Risk Management Working Party (incorporating AMA/CPMC/MIIAA/MIPS) Dr Christopher Cain 16 Neurosurgical Society of Australasia Glenn McCulloch 17 Individual Diana Aspinall 19 Monash University Faculty of Medicine, Nursing & Health Sciences Dr Brendan Flanagan 20 Australian Society of Cardio-Vascular Perfusionists Darryl McMillan 21 Monash University Monash Institute of Health Services Research Professor Don Campbell 22 RWM Consultancy Rollo Manning 23 National Institute of Clinical Studies Dr Heather Buchan 24 Australian Association of Occupational Therapists - 59 - 25 Australian Private Hospitals Association 26 Private Hospitals Association of Queensland Inc 27 The Health Information Management Association of Australia 28 Victorian Medication Safety Committee/Victorian Therapeutics Advisory Group/Victorian Drug Usage Advisory Committee 29 NSW Therapeutic Advisory Group Karen Kaye 30 The Australian Council on Healthcare Standards BW Johnston 32 Individuals Martin Fletcher & Dr Vin McLoughlin 33 WA Council for Safety & Quality in Health Care and Office of Safety & Quality in Health Care (Dept of Health WA) 34 Australasian Association for Quality in Health Care Sandy Thomson 35 Riverland Health Authority Nino DiSisto 36 Australian Society for Geriatric Medicine Professor Leon Flicker 37 Royal College of Nursing, Australia 38 Australian and New Zealand College of Anaesthetists 40 Australian Red Cross Blood Service 41 Queensland Health 42 The Royal College of Pathologists of Australasia Dr Debra Graves 43 Australian Pharmaceutical Advisory Council Dr John Aloizos 46 Department of Health and Human Services Tasmania 47 Australian Institute of Health and Welfare Richard Madden 48 General Practice & Primary Health Care NT Kathy Bell 49 National Health and Medical Research Council 50 Faculty of Medicine, Dentistry & Health Science, Uni of Melbourne Assoc Prof Geoff McColl 52 Centre for Health Service Development, Uni of Wollongong Assoc Prof Roy Harvey 53 Australian Council for Safety & Quality in Health Care - 60 - Dr Robert Hetzel 54 The Health Care Consumers’ Association of the ACT Inc 55 Department of Health & Community Services NT 56 Statistical Information Management Committee 57 Royal Australasian College of Surgeons 58 Australasian College of Physical Scientists & Engineers in Medicine Assoc Prof Lyn Oliver 59 Australian Bureau of Statistics Susan Linacre 60 Australian Association of Pathology Practices Inc Dr Michael Guerin 61 Breast Cancer Network Australia 62 Office of Health Review (WA) 63 Australian Medical Association 64 Consumers’ Health Forum of Australia 65 The Royal Australian College of General Practitioners 66 Australian Nursing Federation 67 Medical Industry Association of Australia 69 Policy & Planning (Health) Australian National University 70 Department of Health & Ageing 73 Australian Nursing and Midwifery Council 74 Individuals 76 Department of Health SA 77 The Royal College of Pathologists of Australasia (addendum to Submission 42) Dr Debra Graves 78 Australian Healthcare Association Prue Power 79 NSW Department of Health 80 National Blood Authority Dr Ric Marshall Eamon Ryan Professor Michael Kidd Brian Vale Betty Johnson and Jane Phelan - 61 - Appendix 4 List of workshop attendees Name Organisation Professor Bruce Barraclough Chair, ACSQHC Dr David Brand ACSQHC Dr Heather Wellington ACSQHC Ms Betty Johnson ACSQHC Ms Christine Gee ACSQHC Professor Bryant Stokes ACSQHC Ms Maureen Robinson ACSQHC Professor Lesley Barclay ACSQHC Dr Len Notaras ACSQHC Dr Anne Brand ACSQHC Dr Jenny Bartlett ACSQHC Professor Paddy Phillips ACSQHC Professor Clifford Hughes ACSQHC Mr Dermot Casey ACSQHC Dr Mark Waters ACSQHC Dr Wayne Ramsey ACT Health Associate Professor Angela Magarry ACT Health Dr Glen Power Affinity Health Ms Marisa Vecchio AGPAL/QIP Ms Amanda Adrian Amanda Adrian and Associates Mrs Dianna Aspinall Arthritis NSW Dr Sally McCarthy Australasian College of Emergency Medicine Dr Christine Jorm Australian and New Zealand College of Anaesthetists Ms Christine Dennis Australian Association for Quality in Health Care Ms Janet Angel Australian Association of Gerontology Dr Susan Ogle Australian Association of Gerontology Ms Nicola Ballenden Australian Consumers’ Association Mr Brian Johnston Australian Council on Healthcare Standards Ms Heather McDonald Australian Council on Healthcare Standards Ms Prue Power Australian Healthcare Association Ms Jenny Hargreaves Australian Institute of Health and Welfare Ms Carmel McQuellin Australian Nursing and Midwifery Council Ms Ged Cowin Australian Nursing Federation - 62 - Name Organisation Dr John Aloizos Chair, Australian Pharmaceutical Advisory Council Dr Leon Clark Australian Private Hospitals Association Mr Paul Mackey Australian Private Hospitals Association Associate Professor Neil Boyce Australian Red Cross Blood Service Dr Amanda Thomson Australian Red Cross Blood Service Dr Catherine Yelland Australian Society for Geriatric Medicine Professor Allan Carmichael Committee of Deans of Australian Medical Schools Dr Andrew Child Committee of Presidents of Medical Colleges Ms Helen Hopkins Consumers’ Health Forum of Australia Mr Ian Yates COTA National Seniors Mrs Penny Parker Department of Health and Community Services NT Professor Brendon Kearney Executive Director of Statewide Services Department of Human Services SA Professor John McNeil Department of Epidemiology and Preventive Medicine, Monash University Dr Joanne Ramadge Aged Care Clinical Adviser Australian Government Department of Health and Ageing Dr Peter McIsaac Medical Adviser, Information and Communications Division Australian Government Department of Health and Ageing Mr Peter Callanan Australian Government Department of Health and Ageing Ms Lisa McGlynn Assistant Secretary, Budget and Performance Branch Australian Government Department of Health and Ageing Ms Margaret Lyons First Assistant Secretary, Health Services Improvement Division Australian Government Department of Health and Ageing Dr Cathy Balding Department of Human Services Vic Ms Megan Baratta Department of Human Services Vic Ms Jennifer Blyton Australian Government Department of Veterans’ Affairs Dr Claire Hale Lyell McEwin Health Service Mr Glenn Street Medical Industry Association of Australia Ms Denise Hutchins Ministry of Health NZ Ms Gillian Bohm Ministry of Health NZ Mr Rollo Manning Mirrijini Consultancy Professor Donald Campbell Monash Institute of Health Services Research Professor Dick Smallwood Chair, National Blood Authority Ms Nicole Fields National Blood Authority Professor Allan Pettigrew CEO, National Health and Medical Research Council Adjunct Professor Belinda Moyes National Nursing and Nursing Education Taskforce - 63 - Name Organisation Professor Katherine McGrath Deputy Director General, Health System Performance NSW Health Ms Karen Kaye NSW Therapeutic Advisory Group Ms Kirsty Cheyne-Macpherson Office of the Safety and Quality Council Mr David Duncan OT Australia National Ms Jan Erven OT Australia National Ms Roberta Lauchlan Pharmaceutical Health and Rational Use of Medicines Committee Ms Jenny Bergin Pharmacy Guild of Australia Ms Lucy Fisher Private Hospitals Association of Queensland Dr John Holmes Professional Services Review Dr Roger Boyd Royal Australasian College of Medical Administrators Dr Pam Montgomery Royal Australasian College of Surgeons Mr Ian Watts Royal Australian College of General Practitioners Mrs Elizabeth Foley Royal College of Nursing, Australia Ms Rosemary Bryant Royal College of Nursing, Australia Dr Tamsin Waterhouse Royal College of Pathologists of Australasia Dr Sue Page Rural Doctors Association of Australia Ms Deniza Mazevska Statistical Information Management Committee Mr Mark Brandon The Aged Care Standards and Accreditation Agency Ltd - 64 - Appendix 5 Consultation meeting participants Figures in brackets indicate the number of individuals who attended. Sydney - 28 February 2005 NSW Health (5), national bodies (5) and state based stakeholders (10): NSW Health NSW Clinical Excellence Commission Ambulance Service of NSW Greater Southern Area Health Service Greater Western Area Health Service Hunter/New England Area Health Service Justice Health Service South Eastern Sydney/Illawarra Area Health Service Sydney South West Area Health Service The Children's Hospital at Westmead Aged Care Standards and Accreditation Agency Arthritis NSW Australian Council on Healthcare Standards Medical Industry Association of Australia Sydney - Australian Council for Safety & Quality in Health Care - 1 March 2005 20 members and executive of the Council and 2 members of the secretariat attended. Some individual members also attended state based meetings or met separately with the Review Team. Canberra - 3 and 4 March 2005 ACT Health (6), Australian Government (14), national bodies (28) and state based stakeholders (4): ACT Health Australian Association of Pathology Practices Australian Divisions of General Practice Australian Healthcare Association (apology) Australian Health Insurance Association Australian Institute of Health and Welfare Australian Medical Association Australian Nursing and Midwifery Council Australian Nursing Federation Australian Pharmaceutical Advisory Council Australian Private Hospitals Association Calvary Health Care Canberra Hospital Consumers’ Health Forum of Australia Department of Health & Ageing Department of Veterans’ Affairs General Practice Registrars Australia (apology) National Blood Authority National Health & Medical Research Council - 65 - Office of the Community & Health Services Complaints Commissioner Pharmaceutical Health and Rational Use of Medicines Committees Royal Australasian College of Physicians Royal College of Nursing, Australia Women’s and Children’s Hospitals of Australasia Perth - 8 March 2005 Department of Health WA (24) WA Council for Safety and Quality in Health Care (12) Melbourne - 9 March 2005 Department of Human Services (6), national bodies (16) and state based stakeholders (14): Department of Human Services Victorian Quality Council Australian Red Cross Blood Service Faculty of Medicine, Nursing & Health Sciences, Monash University Royal Australasian College of General Practitioners Brian Collopy Australian Society of Geriatric Medicine National Nursing and Nursing Education Taskforce Australian Association of Occupational Therapists Medibank Private Affinity Health National Institute of Clinical Studies Southern Health St Vincent’s Health Royal Children’s Hospital Northern Health Victorian Surgical Consultative Committee Health Services Commissioner, Victoria Medical Practitioners’ Board, Victoria Victorian Consultative Committee on Anaesthetic Mortality & Morbidity Health Issues Centre Victorian State Committee, Royal Australian College of Physicians Hobart - 10 March 2005 Department of Health & Human Services (10) and state based stakeholders (10): Department of Health & Human Services Australian Health Workforce Officials Committee Secretariat North West Regional Hospital Nursing Board of Tasmania Health Complaints Commission Royal Hobart Hospital Medical Council of Tasmania - 66 - Adelaide - 11 March 2005 Department of Health SA (9), state based stakeholders (46), national bodies (1): Department of Health South Australia Association of Quality in Health Care (SA) Inc Australian Healthcare Association Australian Red Cross Blood Service Children, Youth and Women’s Health Service Chiropractors Board Consumers Association of South Australia Flinders Medical Centre Flinders University Glenside Campus Mental Health Service Health Consumers Alliance Hills Mallee Southern Joanna Briggs Institute Lyell McEwin Health Service Medical Board of South Australia Mid North Regional Health Service Inc Minter Ellison Modbury Public Hospital Noarlunga Health Services Nurses Board of South Australia Royal Adelaide Hospital Royal District Nursing Service SA Ombudsman The Queen Elizabeth Hospital University of Adelaide University of South Australia Wakefield Health Whyalla Hospital & Health Services Women’s & Children’s Hospital Brisbane - 17 March 2005 Queensland Health (3) Queensland Health’s Safety & Quality Council (23) Darwin - 18 March 2005 Department of Health & Community Services (12) and state based stakeholders (4): Department of Health & Community Services (including Chair and Secretariat of Acute Care Quality Committee, Chair of NT Safety and Quality Council and NT State Quality Officials’ Forum representative) Australasian Association for Quality in Health Care/Professional Development and Credentialling Committee Representative General Practice and Primary Health Care NT Charles Darwin University (also NT Safety and Quality Council representative) Professional Licensing Board NT - 67 - Acronyms ACHS ACSQHC AGPAL/QIP AHMAC AHMC AIHW AMA ANZCA CEO COAG COTA CPMC HCAI ISO JCAHO MIIAA MIPS NATA NEHTA NHIG NHMRC NICS NWC PHARM QIC QPA RACGP RACP RACS RCNA SIMC SQOF - 68 - Australian Council on Healthcare Standards Australian Council for Safety and Quality in Health Care Australian General Practice Accreditation Ltd/Quality in Practice Australian Health Ministers’ Advisory Council Australian Health Ministers’ Conference Australian Institute for Health and Welfare Australian Medical Association Australian and New Zealand College of Anaesthetists Chief Executive Officer Council of Australian Governments Councils on the Ageing Committee of Presidents of Medical Colleges Health Care Associated Infections International Organization for Standardization Joint Commission on Accreditation of Healthcare Organizations (USA) Medical Indemnity Insurers Association of Australia Medical Indemnity Protection Society National Association of Testing Authorities, Australia National E-Health Transition Authority National Health Information Group National Health and Medical Research Council National Institute of Clinical Studies National Water Commission Pharmaceutical Health And Rational use of Medicines Quality Improvement Council Quality Practice Accreditation Royal Australian College of General Practitioners Royal Australasian College of Physicians Royal Australasian College of Surgeons Royal College of Nursing, Australia Statistical Information Management Committee State Quality Officials’ Forum Bibliography Australian Council for Safety and Quality in Health Care (2000), Safety First: Report to the Australian Health Ministers’ Conference 27 July 2000. 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