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Why does being a Foundation Trust matter?
1 December 2011
Agenda


 What are Foundation Trusts & what can they do?


 The requirements to being authorised as a Foundation Trust


 The ongoing compliance requirements to remaining a Foundation Trust




Appendix: Monitor Compliance Framework details




                                                                        Source: Monitor Compliance Framework
                                                                                                               2
What are Foundation Trusts & what can they do?


NHS foundation trusts are:
   Public institutions
   Are not subject to direction by the Secretary of State for Health
   Are not subject to the performance management requirements of the Department of Health.
   Set their own strategies and make their own decisions within the framework of contracts with their purchasers and other
    bodies’ legal and regulatory regimes.
 Have an independent board of governors which appoints the chair and other non-executive directors, and which also
    approves the appointment of the chief executive.
 Can borrow commercially, retain surpluses and invest to serve local needs
NHS foundation trusts can:
 Improve quality through innovation and adoption of better practices, bringing to England models of care that have worked
    in other countries;
 Invest in new patient care facilities and enter into partnerships with commissioners1to improve the delivery of high quality
    care and develop long-term care facilities;
   Set local pay agreements;
   Form partnerships with the private sector and other hospitals, or specialise in selected services;
   Subject to competition approval, acquire or merge with other service providers; and
   Set local targets in consultation with their members or in contracts with commissioners


                                                                                                          Source: Monitor Compliance Framework
                                                                                                                                                 3
Agenda


 What are Foundation Trusts & what can they do?


 The requirements to being authorised as a Foundation Trust


 The ongoing compliance requirements to remaining a Foundation Trust




Appendix: Monitor Compliance Framework details




                                                                        Source: Monitor Compliance Framework
                                                                                                               4
The requirements to being authorised as a Foundation Trust


In considering applications from NHS Trusts, Monitor look at three areas:


 Is the Trust well governed with the leadership in place to drive future strategy and improve patient care?

 Is the Trust financially viable with a sound business plan?

 Is the Trust legally constituted, with a membership that is representative of its local community?




                                                                                              Source: Monitor Compliance Framework
                                                                                                                                     5
Agenda


 What are Foundation Trusts & what can they do?


 The requirements to being authorised as a Foundation Trust


 The ongoing compliance requirements to remaining a Foundation Trust




Appendix: Monitor Compliance Framework details




                                                                        Source: Monitor Compliance Framework
                                                                                                               6
The requirements to being authorised as a Foundation Trust


Overview of the NHS Foundation Trust application process

                                                                SHA assurance process
                                                                                   Secretary of State
                  SHA-Trust Development Phase                                                                                   Monitor Phase
                                                                                    Support Phase
      SHA works with trusts to develop robust and credible NHS foundation     When SHA is satisfied that trust is      Department of Health advises
      trust applications.                                                      ready, trust formally applies to          Monitor of supported applicants.
      Activities include:                                                      Secretary of State, with SHA full        Trusts formally apply to Monitor.
      1) Pre-consultation:                                                     support.                                 Monitor will carry out its full
           Trust review                                                      Applications Committee considers          assessment process.
           Board review                                                       applications and provides advice to
           Draft business plan and financial model                            Secretary of State which trusts be
           Bespoke support                                                    supported to proceed to Monitor for
      SHA decides that the applicant is now ready to proceed to:               assessment and, if successful,
      2) Public consultation – minimum 12 weeks                                authorisation.
      3) Post consultation:                                                   Final decision by Secretary of State.
           Finalisation of consultation
           Final business plan and fi nancial model
           Historical due diligence sourced and actioned
           Board-to-board practice
           All actions from 1) above, delivered
      4) SHA confirms the trust is ready to move into second phase.

      Timescale:                                                             Timescale:                                Timescale:
      To be determined between SHA and trust, based on trust distance from   Minimum 3-4 weeks from trust              Batching process on application.
      NHS foundation trust ‘readiness’ and the level of development          application to Secretary of State         Three month assessment process..
      required.                                                              support.
      To enable applicants to undertake minimum 12 week public
      consultation and three week historical due diligence.




                                                                                                                                                  Source: Monitor Compliance Framework
                                                                                                                                                                                         7
The ongoing compliance requirements to remaining a Foundation Trust – monitoring & risk
 assessment


                         Monitoring                           Risk assessment

                             Margin                              Finance
Financial:
                             Delivery of plan                    FRR 1 (high)
 Quarterly submission
                             Return on assets                    FRR 2
 Annual plan
                             Return on income                    FRR 3
 Exception reports
                             Liquidity                           FRR 4
                                                                  FRR 5 (low)

                                                                  Governance
                          Service performance                    Red (high)
                                                                 Amber-red
                                                                 Amber-green
                          Third party reports                    Green (low)
Governance:
 Quarterly submission                                       Third party concerns
 Annual plan             Certification failures
 Exception reports
                                                              Triggered governance reviews:
                                                               Quality of plan;
                                                               Certification; and
                          Annual Plan                          Quality governance



                                                                                  Source: Monitor Compliance Framework
                                                                                                                         8
The Annual plan


                 Element                    Description
                                           Three year outlook including vision, strategy, external factors and risks to delivery
                                           Commentary including key assumptions and downside risks
                                           Commentary on any investments that may affect the financial risk rating
   Strategic    Commentary                 Commentary on measures to assess and address risks to quality
                (Appendix C1)              Commentary on identification, analysis and mitigation of significant risks to mandatory services
   overview                                Annual update to schedules 2 and 3 of the Authorisation, and reference to mandatory services agreements listed therein
                                           Commentary on identification, analysis and mitigation of significant risks
                                           Review of major non-financial issues

                                        Certification that:
                                         All significant risks to the Authorisation have been identified
                                         Effective risk and performance management processes are in place, and all issues raised by external assessments and audits
                                            have been addressed
                                         The board is satisfied that plans in place are sufficient to ensure ongoing compliance with all existing targets and national core
                Board statements            standards and with all known targets in [2011-12]
   Governance   (Appendix C3)            Processes and procedures are in place to ensure medical practitioners have met relevant registration and revalidation
                                            requirements
                                         The board is satisfied that it has and will keep in place effective arrangements to monitor and Improve the quality of healthcare
                                            provided to its patients, having regard to Monitor’s Quality Governance Framework (Appendix H), serious incidents and
                                            complaints, and any other information
                                         The board is satisfied that mandatory goods and services can be provided
                                         The trust is registered with the Care Quality Commission and is likely to remain so
                                         The board is satisfied with board roles, structures and organisational capacity

                Membership report        Membership data including present and projected membership by constituency, election turnout rates and stratified
                                            comparisons with eligible groups
                (Appendix C2)
                                         Commentary on membership strategy

                Financial projections    Projections for next three years (income and expenditure; balance sheet; cash flow)
   Finance      (Appendix C5)            Actual results against plan for past year with commentary explaining variances



                                                                                                                                              Source: Monitor Compliance Framework
                                                                                                                                                                                     9
Financial risk rating


                                Description and overrides                                                                  Financial monitoring                                                            Regulatory activity
    Rating 5                        Weighted average of 5 across financial criteria                                       Quarterly/six-monthly monitoring1                                       None

                                    Weighted average of 4 across financial criteria                                       Quarterly monitoring                                                    None
    Rating 4                        Override
                                    Maximum FRR of 4 if authorised within previous 12
                                    months


                                    Weighted average of 3 across financial criteria                                       Quarterly monitoring, however monthly                                   If underperforming significantly from plan
                                    Overrides                                                                                 monitoring in case of deteriorating trend                                (FRR fall of at least 2), request analysis to
                                    FRR = 3 if:                                                                               or recovering from a 2 rating                                            understand
    Rating 3                                                                                                             
                                     One financial criterion scored at ‘2’                                                   Supplementary information if required
                                     Plan submitted either incomplete, with errors or                                       If liquidity <15 days Monitor may require
                                       not on time                                                                            forward liquidity analysis
                                     Plan deficit2 forecast in years 2 or 3
                                    Weighted average of 2 across financial criteria                                      Monthly monitoring                                                        Potential for escalation and consideration
                                    Overrides                                                                            The following may be required:                                                for significant breach
    Rating 2                         FRR = 2 if:                                                                         Supplementary financial information                                     Potential for intervention under section 52
                                     Plan deficit forecast in years 2 and 3                                              Service-line information (previous &                                        of the Act
                                     PDC3 dividend not paid in full                                                        current year)
                                     Unplanned breach of PBC                                                             Remedial plan and updates
                                     Two financial criteria scored at ‘2’                                                Liquidity recovery plan
                                     One financial criterion scored at ‘1’
                                     Weighted average of 1 across financial criteria                                    Monthly monitoring                                                        Potential for escalation and consideration
    Rating 1                         Override                                                                           The following may be required:                                                for significant breach
                                     FRR = 1 if two financial criteria scored at ‘1’                                     Supplementary financial information                                     Potential for intervention under section 52
                                                                                                                          Service-line information (previous &                                        of the Act
                                                                                                                            current year)
                                                                                                                          Remedial plan and updates
1    At Monitor’s discretion, for trusts authorised for at least 2 years, and after four consecutive quarters rated 5 for finance risk and green for governance risk
2    Deficit: defined as an I&E deficit predicted in the annual plan, but after adding back any ‘one-off’ non-recurring revenue, costs or ‘investment adjustments’
3    PDC (Public Dividend Capital), except in those cases where a foundation trust has provided Monitor with a statement from the Department of Health in which it states that it has (pre)agreed to a delay in payment until       specific technical issues are resolved
4    PBC (Prudential Borrowing Code), except in those cases where the trust has approval from Monitor for an exemption to the PBC limit either on Authorisation, as part of the annual pl an submission, or as part of a specific   separate request
5    Assessment of immediate financial risks and suggested mitigating actions

                                                                                                                                                                                                                       Source: Monitor Compliance Framework
                                                                                                                                                                                                                                                                      10
Deriving the financial risk rating



                                                 Weight                                                                                                                               Rating categories
      Financial criteria                                                                              Metric to be scored
                                                  (%)                                                                                                                         5          4           3          2            1

 Achievement of plan                                  10                EBITDA* achieved (% of plan)                                                                       100         85          70         50           <50

 Underlying performance                               25                EBITDA* margin (%)                                                                                  11          9           5          1           <1

                                                             20         Return on Capital Employed** (%)                                                                     6          5           3          -2          <-2
 Financial efficiency                          40
                                                             20         I&E surplus margin net of dividend (%)                                                               3          2           1          -2          <-2

 Liquidity                                            25                Liquidity ratio*** (days)                                                                           60         25          15         10           <10




                                                           Financial risk rating is weighted average of financial criteria scores



*   EBITDA: Earnings before interest, taxes, depreciation and amortisation. EBITDA (and other financial metrics) may be adjusted by Monitor for any ‘one-off’ non-recurring revenue, costs or ‘investment adjustments’
** Defined as EBIT divided by (fixed assets plus current assets less current liabilities). Denominator includes PFI liabilities and finance leases
*** The liquidity ratio is defined as cash plus trade debtors (including accrued income) minus (trade creditors plus other creditors plus accruals) plus unused committed working capital facility (up to a maximum of 30
    days and excluding overdraft agreements) expressed as the number of days operating expenses (excluding depreciation) that could be covered


                                                                                                                                                                                             Source: Monitor Compliance Framework
                                                                                                                                                                                                                                  11
Governance risk rating


               Description                                             Monitoring                                Regulatory activity
               No material concerns:                                Quarterly/6 monthly submissions               N/A
   Green        Governance score less than 1.0                     Exception reporting
                Certifications complete and satisfactory
               Limited concerns surrounding Authorisation          Depending on nature of risk, some              Next steps depend on progress of this work and
               Examples include:                                   additional work/ supplementary                 governance implications identified:
                Moderate CQC concerns                             information may be required to scope the        If no material concerns, or if concerns
                Other third party concerns with potential         issue in question, e.g.:                          addressed → back to Green
 Amber-green       governance implications                          Quality governance review                     If trust continues to fail – e.g. breaching the
                Certification concerns                             CQC input                                       same 1.0-weighted indicator, Monitor may
               Governance score ≥1.0, <2.0, i.e. limited service   Once scoped, approach to address the issue        decide to publicise the issue
               performance concerns                                of concern to be agreed with trust, with
                                                                   specific reporting on progress in resolving
                                                                   issue
               Material concerns surrounding Authorisation
               Examples include:
                                                                   Where trusts have met escalation criteria       Where trusts have met escalation criteria
                                                                   but are not found in significant breach,          but are not found in significant breach,
                Multiple service performance concerns
 Amber-red      Failure to maintain CNST level of 1.0             trusts may be required to set out a plan to       continuing breaches of the Authorisation
                                                                   return to compliance                              may lead to further escalation
                Major CQC concerns, or compliance actions
               Governance score ≥2.0, <4.0, i.e. multiple
               service performance breaches
               Trusts triggering escalation consideration but
               deemed not currently in significant breach

               Either :                                            Foundation trust may be required to:            If found to be in significant breach, Monitor
                Potentially in significant breach, including:      Submit information                                Board will consider use of statutory
                   – Significant governance issues emerging         Initiate third party review                       intervention powers under section 52 of the
    Red                 from CQC review, e.g. enforcement           Attend a formal regulatory meeting to             Act, including for example :
                        actions                                        determine whether breach is                 Changes to board
                   – Governance score ≥4.0                             significant                                 Require adherence to action plan
                   – 3rd successive quarter failure against a      Subsequent requirements to depend on            Require use of external advisors (financial,
                        1.0 weighted governance indicator (see     outcome of any meeting and other                    governance, clinical)
                        Diagram 12)                                evidence, e.g.:                                Monitor will publicise any intervention at the
               or                                                   Detailed action plan                         time it occurs.
                   – Trust in significant breach of                 Delivery updates                             If not found in significant breach → deescalate
                        Authorisation                                                                             to Amber-red until situation addressed

                                                                                                                                  Source: Monitor Compliance Framework
                                                                                                                                                                      12
Deriving the governance risk rating


Monitoring                                 Service performance score                                                    Governance risk rating
1.Performance               National indicators set out in Appendix B
against national            Applicable to all foundation trusts providing services                               Service performance
                                                                                                                                             Governance Risk Rating
measures                    Declared risk of, or actual, failure to meet any indicator= +0.5-1.0                       score of…
                            Three successive quarters’ failure of a 1.0-weighted measure (see
                             Diagram 12): red rating and potential escalation for significant breach                      < 1.0             Green
                                                                                                                          ≥ 1.0
2.Third parties          Care Quality Commission                                                                                            Amber-green
                         Responsive review                                                                                < 2.0
                          Discretionary rating based on nature of triggers                                               ≥ 2.0
                         Prior to, or in the absence of, any formal CQC regulatory action                                                   Amber-red
                          Moderate concerns = +1.0                                                                       < 4.0
                          Major concerns = +2.0
                                                                                                                          ≥ 4.0             Red
                         Following formal CQC regulatory action
                          Compliance action = +2.0
                          Enforcement action = +4.0
                         NHS Litigation Authority                                                              Risk ratings applied quarterly and updated in
                          Failure to maintain, or certify, a minimum published CNST level of 1.0 or have in   real time
                           place appropriate alternative arrangements: +2.0

3. Mandatory              Declared risk of, or actual, failure to deliver mandatory services: +4.0            Override applied to risk rating
services                                                                                                        Nature and duration of override at Monitor’s
                                                                                                                  discretion
4. Other certification    If not covered above, failure to either (i) provide or (ii) subsequently comply
failures                     with annual or quarterly board statements (see Appendices C and D)


5. Other factors          Failure to comply with material obligations in areas not directly monitored by
                             Monitor
                          Includes exception or third party reports
                          Represents a material risk to compliance


                                                                                                                                             Source: Monitor Compliance Framework
                                                                                                                                                                                13
The ongoing compliance requirements to remaining a Foundation Trust – Escalation,
significant breach and intervention


           Escalation triggers                                              Significant breach and intervention
                                                                           Monitor will find a trust in significant breach where:

Monitor will consider escalation where:
                                                             Criteria for significant breach:
 FRR <3                                                      Time critical need for intervention
                                                              Degree the breach is within trust’s control
 Red-rated for governance                                    Ability of trust to address independently
 There are relevant third party concerns                     Financial stability of trust
                                                              Risk to mandatory service(s); and
OR                                                            Effectiveness of trust’s approach to breach to date
 Other major breaches of the Authorisation;
indicate the trust is potentially in significant breach of
its Authorisation                                            Monitor will intervene where:
Escalation is not automatic: Monitor may consider:
                                                              The trust is in significant breach
                                                              No appropriate third party actions are available; and
 Information from the trust or third parties; and/or         Monitor’s Board deems intervention necessary to return the trust to
                                                               compliance at earliest possible opportunity
 Meetings with board or management
in assessing whether the trust is likely to be in
significant breach of its Authorisation                      Intervention may involve:
                                                              Requiring trusts to do, or not do, specific actions in a specific period
                                                              Removing board directors or governors; or
                                                              Appointing interim directors or governors



                                                                                                                                                           14
                                                                                                                        Source: Monitor Compliance Framework
Agenda


 What are Foundation Trusts & what can they do?


 The requirements to being authorised as a Foundation Trust


 The ongoing compliance requirements to remaining a Foundation Trust




Appendix: Monitor Compliance Framework details




                                                                        Source: Monitor Compliance Framework
                                                                                                           15
Monitor Compliance Framework details – (click to link with www)




                                                                  Source: Monitor Compliance Framework
                                                                                                     16

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Why does being a foundation trust matter? | Brendan Farmer

  • 1. Why does being a Foundation Trust matter? 1 December 2011
  • 2. Agenda  What are Foundation Trusts & what can they do?  The requirements to being authorised as a Foundation Trust  The ongoing compliance requirements to remaining a Foundation Trust Appendix: Monitor Compliance Framework details Source: Monitor Compliance Framework 2
  • 3. What are Foundation Trusts & what can they do? NHS foundation trusts are:  Public institutions  Are not subject to direction by the Secretary of State for Health  Are not subject to the performance management requirements of the Department of Health.  Set their own strategies and make their own decisions within the framework of contracts with their purchasers and other bodies’ legal and regulatory regimes.  Have an independent board of governors which appoints the chair and other non-executive directors, and which also approves the appointment of the chief executive.  Can borrow commercially, retain surpluses and invest to serve local needs NHS foundation trusts can:  Improve quality through innovation and adoption of better practices, bringing to England models of care that have worked in other countries;  Invest in new patient care facilities and enter into partnerships with commissioners1to improve the delivery of high quality care and develop long-term care facilities;  Set local pay agreements;  Form partnerships with the private sector and other hospitals, or specialise in selected services;  Subject to competition approval, acquire or merge with other service providers; and  Set local targets in consultation with their members or in contracts with commissioners Source: Monitor Compliance Framework 3
  • 4. Agenda  What are Foundation Trusts & what can they do?  The requirements to being authorised as a Foundation Trust  The ongoing compliance requirements to remaining a Foundation Trust Appendix: Monitor Compliance Framework details Source: Monitor Compliance Framework 4
  • 5. The requirements to being authorised as a Foundation Trust In considering applications from NHS Trusts, Monitor look at three areas:  Is the Trust well governed with the leadership in place to drive future strategy and improve patient care?  Is the Trust financially viable with a sound business plan?  Is the Trust legally constituted, with a membership that is representative of its local community? Source: Monitor Compliance Framework 5
  • 6. Agenda  What are Foundation Trusts & what can they do?  The requirements to being authorised as a Foundation Trust  The ongoing compliance requirements to remaining a Foundation Trust Appendix: Monitor Compliance Framework details Source: Monitor Compliance Framework 6
  • 7. The requirements to being authorised as a Foundation Trust Overview of the NHS Foundation Trust application process SHA assurance process Secretary of State SHA-Trust Development Phase Monitor Phase Support Phase SHA works with trusts to develop robust and credible NHS foundation  When SHA is satisfied that trust is  Department of Health advises trust applications. ready, trust formally applies to Monitor of supported applicants. Activities include: Secretary of State, with SHA full  Trusts formally apply to Monitor. 1) Pre-consultation: support.  Monitor will carry out its full  Trust review  Applications Committee considers assessment process.  Board review applications and provides advice to  Draft business plan and financial model Secretary of State which trusts be  Bespoke support supported to proceed to Monitor for SHA decides that the applicant is now ready to proceed to: assessment and, if successful, 2) Public consultation – minimum 12 weeks authorisation. 3) Post consultation:  Final decision by Secretary of State.  Finalisation of consultation  Final business plan and fi nancial model  Historical due diligence sourced and actioned  Board-to-board practice  All actions from 1) above, delivered 4) SHA confirms the trust is ready to move into second phase. Timescale: Timescale: Timescale: To be determined between SHA and trust, based on trust distance from Minimum 3-4 weeks from trust Batching process on application. NHS foundation trust ‘readiness’ and the level of development application to Secretary of State Three month assessment process.. required. support. To enable applicants to undertake minimum 12 week public consultation and three week historical due diligence. Source: Monitor Compliance Framework 7
  • 8. The ongoing compliance requirements to remaining a Foundation Trust – monitoring & risk assessment Monitoring Risk assessment  Margin Finance Financial:  Delivery of plan  FRR 1 (high)  Quarterly submission  Return on assets  FRR 2  Annual plan  Return on income  FRR 3  Exception reports  Liquidity  FRR 4  FRR 5 (low) Governance Service performance  Red (high)  Amber-red  Amber-green Third party reports  Green (low) Governance:  Quarterly submission Third party concerns  Annual plan Certification failures  Exception reports Triggered governance reviews:  Quality of plan;  Certification; and Annual Plan  Quality governance Source: Monitor Compliance Framework 8
  • 9. The Annual plan Element Description  Three year outlook including vision, strategy, external factors and risks to delivery  Commentary including key assumptions and downside risks  Commentary on any investments that may affect the financial risk rating Strategic Commentary  Commentary on measures to assess and address risks to quality (Appendix C1)  Commentary on identification, analysis and mitigation of significant risks to mandatory services overview  Annual update to schedules 2 and 3 of the Authorisation, and reference to mandatory services agreements listed therein  Commentary on identification, analysis and mitigation of significant risks  Review of major non-financial issues Certification that:  All significant risks to the Authorisation have been identified  Effective risk and performance management processes are in place, and all issues raised by external assessments and audits have been addressed  The board is satisfied that plans in place are sufficient to ensure ongoing compliance with all existing targets and national core Board statements standards and with all known targets in [2011-12] Governance (Appendix C3)  Processes and procedures are in place to ensure medical practitioners have met relevant registration and revalidation requirements  The board is satisfied that it has and will keep in place effective arrangements to monitor and Improve the quality of healthcare provided to its patients, having regard to Monitor’s Quality Governance Framework (Appendix H), serious incidents and complaints, and any other information  The board is satisfied that mandatory goods and services can be provided  The trust is registered with the Care Quality Commission and is likely to remain so  The board is satisfied with board roles, structures and organisational capacity Membership report  Membership data including present and projected membership by constituency, election turnout rates and stratified comparisons with eligible groups (Appendix C2)  Commentary on membership strategy Financial projections  Projections for next three years (income and expenditure; balance sheet; cash flow) Finance (Appendix C5)  Actual results against plan for past year with commentary explaining variances Source: Monitor Compliance Framework 9
  • 10. Financial risk rating Description and overrides Financial monitoring Regulatory activity Rating 5 Weighted average of 5 across financial criteria  Quarterly/six-monthly monitoring1  None Weighted average of 4 across financial criteria  Quarterly monitoring  None Rating 4 Override Maximum FRR of 4 if authorised within previous 12 months Weighted average of 3 across financial criteria  Quarterly monitoring, however monthly  If underperforming significantly from plan Overrides monitoring in case of deteriorating trend (FRR fall of at least 2), request analysis to FRR = 3 if: or recovering from a 2 rating understand Rating 3   One financial criterion scored at ‘2’ Supplementary information if required  Plan submitted either incomplete, with errors or  If liquidity <15 days Monitor may require not on time forward liquidity analysis  Plan deficit2 forecast in years 2 or 3 Weighted average of 2 across financial criteria Monthly monitoring  Potential for escalation and consideration Overrides The following may be required: for significant breach Rating 2  FRR = 2 if:  Supplementary financial information  Potential for intervention under section 52  Plan deficit forecast in years 2 and 3  Service-line information (previous & of the Act  PDC3 dividend not paid in full current year)  Unplanned breach of PBC  Remedial plan and updates  Two financial criteria scored at ‘2’  Liquidity recovery plan  One financial criterion scored at ‘1’  Weighted average of 1 across financial criteria Monthly monitoring  Potential for escalation and consideration Rating 1  Override The following may be required: for significant breach  FRR = 1 if two financial criteria scored at ‘1’  Supplementary financial information  Potential for intervention under section 52  Service-line information (previous & of the Act current year)  Remedial plan and updates 1 At Monitor’s discretion, for trusts authorised for at least 2 years, and after four consecutive quarters rated 5 for finance risk and green for governance risk 2 Deficit: defined as an I&E deficit predicted in the annual plan, but after adding back any ‘one-off’ non-recurring revenue, costs or ‘investment adjustments’ 3 PDC (Public Dividend Capital), except in those cases where a foundation trust has provided Monitor with a statement from the Department of Health in which it states that it has (pre)agreed to a delay in payment until specific technical issues are resolved 4 PBC (Prudential Borrowing Code), except in those cases where the trust has approval from Monitor for an exemption to the PBC limit either on Authorisation, as part of the annual pl an submission, or as part of a specific separate request 5 Assessment of immediate financial risks and suggested mitigating actions Source: Monitor Compliance Framework 10
  • 11. Deriving the financial risk rating Weight Rating categories Financial criteria Metric to be scored (%) 5 4 3 2 1 Achievement of plan 10  EBITDA* achieved (% of plan) 100 85 70 50 <50 Underlying performance 25  EBITDA* margin (%) 11 9 5 1 <1 20  Return on Capital Employed** (%) 6 5 3 -2 <-2 Financial efficiency 40 20  I&E surplus margin net of dividend (%) 3 2 1 -2 <-2 Liquidity 25  Liquidity ratio*** (days) 60 25 15 10 <10 Financial risk rating is weighted average of financial criteria scores * EBITDA: Earnings before interest, taxes, depreciation and amortisation. EBITDA (and other financial metrics) may be adjusted by Monitor for any ‘one-off’ non-recurring revenue, costs or ‘investment adjustments’ ** Defined as EBIT divided by (fixed assets plus current assets less current liabilities). Denominator includes PFI liabilities and finance leases *** The liquidity ratio is defined as cash plus trade debtors (including accrued income) minus (trade creditors plus other creditors plus accruals) plus unused committed working capital facility (up to a maximum of 30 days and excluding overdraft agreements) expressed as the number of days operating expenses (excluding depreciation) that could be covered Source: Monitor Compliance Framework 11
  • 12. Governance risk rating Description Monitoring Regulatory activity No material concerns:  Quarterly/6 monthly submissions  N/A Green  Governance score less than 1.0  Exception reporting  Certifications complete and satisfactory Limited concerns surrounding Authorisation Depending on nature of risk, some Next steps depend on progress of this work and Examples include: additional work/ supplementary governance implications identified:  Moderate CQC concerns information may be required to scope the  If no material concerns, or if concerns  Other third party concerns with potential issue in question, e.g.: addressed → back to Green Amber-green governance implications  Quality governance review  If trust continues to fail – e.g. breaching the  Certification concerns  CQC input same 1.0-weighted indicator, Monitor may Governance score ≥1.0, <2.0, i.e. limited service Once scoped, approach to address the issue decide to publicise the issue performance concerns of concern to be agreed with trust, with specific reporting on progress in resolving issue Material concerns surrounding Authorisation Examples include: Where trusts have met escalation criteria  Where trusts have met escalation criteria but are not found in significant breach, but are not found in significant breach,  Multiple service performance concerns Amber-red  Failure to maintain CNST level of 1.0 trusts may be required to set out a plan to continuing breaches of the Authorisation return to compliance may lead to further escalation  Major CQC concerns, or compliance actions Governance score ≥2.0, <4.0, i.e. multiple service performance breaches Trusts triggering escalation consideration but deemed not currently in significant breach Either : Foundation trust may be required to:  If found to be in significant breach, Monitor  Potentially in significant breach, including:  Submit information Board will consider use of statutory – Significant governance issues emerging  Initiate third party review intervention powers under section 52 of the Red from CQC review, e.g. enforcement  Attend a formal regulatory meeting to Act, including for example : actions determine whether breach is  Changes to board – Governance score ≥4.0 significant  Require adherence to action plan – 3rd successive quarter failure against a Subsequent requirements to depend on  Require use of external advisors (financial, 1.0 weighted governance indicator (see outcome of any meeting and other governance, clinical) Diagram 12) evidence, e.g.: Monitor will publicise any intervention at the or  Detailed action plan time it occurs. – Trust in significant breach of  Delivery updates If not found in significant breach → deescalate Authorisation to Amber-red until situation addressed Source: Monitor Compliance Framework 12
  • 13. Deriving the governance risk rating Monitoring Service performance score Governance risk rating 1.Performance  National indicators set out in Appendix B against national  Applicable to all foundation trusts providing services Service performance Governance Risk Rating measures  Declared risk of, or actual, failure to meet any indicator= +0.5-1.0 score of…  Three successive quarters’ failure of a 1.0-weighted measure (see Diagram 12): red rating and potential escalation for significant breach < 1.0 Green ≥ 1.0 2.Third parties Care Quality Commission Amber-green Responsive review < 2.0  Discretionary rating based on nature of triggers ≥ 2.0 Prior to, or in the absence of, any formal CQC regulatory action Amber-red  Moderate concerns = +1.0 < 4.0  Major concerns = +2.0 ≥ 4.0 Red Following formal CQC regulatory action  Compliance action = +2.0  Enforcement action = +4.0 NHS Litigation Authority Risk ratings applied quarterly and updated in  Failure to maintain, or certify, a minimum published CNST level of 1.0 or have in real time place appropriate alternative arrangements: +2.0 3. Mandatory  Declared risk of, or actual, failure to deliver mandatory services: +4.0 Override applied to risk rating services  Nature and duration of override at Monitor’s discretion 4. Other certification  If not covered above, failure to either (i) provide or (ii) subsequently comply failures with annual or quarterly board statements (see Appendices C and D) 5. Other factors  Failure to comply with material obligations in areas not directly monitored by Monitor  Includes exception or third party reports  Represents a material risk to compliance Source: Monitor Compliance Framework 13
  • 14. The ongoing compliance requirements to remaining a Foundation Trust – Escalation, significant breach and intervention Escalation triggers Significant breach and intervention Monitor will find a trust in significant breach where: Monitor will consider escalation where: Criteria for significant breach:  FRR <3  Time critical need for intervention  Degree the breach is within trust’s control  Red-rated for governance  Ability of trust to address independently  There are relevant third party concerns  Financial stability of trust  Risk to mandatory service(s); and OR  Effectiveness of trust’s approach to breach to date  Other major breaches of the Authorisation; indicate the trust is potentially in significant breach of its Authorisation Monitor will intervene where: Escalation is not automatic: Monitor may consider:  The trust is in significant breach  No appropriate third party actions are available; and  Information from the trust or third parties; and/or  Monitor’s Board deems intervention necessary to return the trust to compliance at earliest possible opportunity  Meetings with board or management in assessing whether the trust is likely to be in significant breach of its Authorisation Intervention may involve:  Requiring trusts to do, or not do, specific actions in a specific period  Removing board directors or governors; or  Appointing interim directors or governors 14 Source: Monitor Compliance Framework
  • 15. Agenda  What are Foundation Trusts & what can they do?  The requirements to being authorised as a Foundation Trust  The ongoing compliance requirements to remaining a Foundation Trust Appendix: Monitor Compliance Framework details Source: Monitor Compliance Framework 15
  • 16. Monitor Compliance Framework details – (click to link with www) Source: Monitor Compliance Framework 16