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RESPONSE TO NORTHERN HEALTH AND SOCIAL SERVICES BOARD DRAFT
EQUALITY SCHEME
SCOPE AND REMIT
This response has been completed on behalf of The Putting
Children First Campaign and will focus specifically on the
Board's implementation of the statutory equality duty in the
context of children and young people. These comments should
however be read in the context of the other equality duties
which will also apply to children and young people eg children
with a disability and children without, children of different
religious beliefs, sex, race, sexual orientation or young
people with dependants and without
The comments made in this response are endorsed by member
organisations, some of whom may make separate submissions
relating to their own sphere of work.
GENERAL COMMENTS
The Childcare sector wholeheartedly welcomes this legislation
bringing in a new statutory duty with regard to equality of
opportunity. In relation to both consultation and equality
of opportunity in respect of children and young people we
believe that this legislation offers many opportunities and
challenges for better government. We believe that if properly
implemented it should result in children's issues being much
more visible in government and specifically in the work of
the Board, which takes a lead role in many aspects of policy
and practice affecting children and young people.
We trust that the Board will implement the proposed amendments
to their scheme which we have outlined in this response to
ensure their scheme is fully compatible with the legislative
requirements and guidelines in respect of promoting equality
of opportunity between persons of different ages which as
outlined in the guidelines refers to young as well as old.
FUNCTIONS AND POLICIES OF THE PUBLIC AUTHORITY
There is a lack of clarity in relation to the specific functions,
duties and powers of the Board and the draft plan refers consistently
to the carrying out of functions and duties( Para 2.3) when
in fact the Draft Guidance makes it clear at Section 2.10
that functions includes powers and duties and that the phrase
carrying out embraces a wide range of activity. It would be
helpful if the Board provided a clear statement outlining
its functions, duties and powers and explaining the interaction
with the Trusts in a clearer manner .
It is also essential that the Board outlines the steps that
will be taken to ensure that the statutory duty will be met
by the Trusts. We are concerned that unless this matter is
specifically addressed in the scheme that responsibility for
ensuring equality of opportunity for children's services will
be passed from one agency to another specifically in relation
to the allocation of resources to Trusts.
We would expect to see a clear statement in the Scheme
to clarify the interaction between Boards and Trusts and the
DHSS PS.
ORGANISATIONAL ARRANGEMENTS
It is essential that one point of contact is identified
for complaints . We question the appropriateness of using
the same administrative arrangements which are used presently
for the Board's complaints procedures as this could lead inevitably
to confusion. Whilst we acknowledge that you have addressed
this issue at Section 4.5 of your scheme , a separate system
should be set up particularly as a clear link will have to
be established between letters of complaint to the Board and
the complaints procedure set out at Appendix 2 section 10
of the guidelines. Nomination of a key member of staff would
be helpful with an address for complaints to be referred to.
CONSULTATION
We welcome the inclusion of a commitment to consultation
with children and young people at Section 4.3 but suggest
that this section should be expanded to take into account
fully th guiding principles at page 33 of the Equality Commission's
Guidelines, by making specific reference to a commitment to
provide information in a way which is accessible in terms
of language, format, times and venues of meetings.
The obligation to consult children and young people extends
beyond children's services planning and may also be relevant
in other areas of the Board's work eg hospital services and
mental health and the commitment to consult is therefore incorrectly
restrictive at Section 4.3
The Board is referred to Page 33 of The Guidance and we
suggest that further information is required in relation to
consultation procedures in order for the Board to comply with
Guidelines eg a statement in relation to timescales for consultation
and a statement that the Board will consider appropriate methods
of consultation, a commitment to ensuring accessibility of
information and full participation of different groups.
A commitment is required in the scheme to consultation
with children and young people.
POLICY SCREENING AND ASSESSMENT
We note that the Board has not yet concluded its policy screening
exercise and that it is intended that a detailed report on
this exercise will be submitted to The Equality Commission.
A commitment is required under the Guidelines at page 37 to
consultation with those affected by your policies as part
of this procedure, publication of the outcome of this consultation
procedure and to providing a detailed breakdown of all policies
which will be subject to impact assessment and also all those
which will not with reasons. These matters should all be covered
in your Scheme. Details of consultees should also be included.
There must be a commitment to consultation with children and
young people in this regard.
In relation to proposed policies again arrangements should
be specified in relation to proposed consultation arrangements
with specific reference to children and young people in the
context of impact assessments.
What is the timescale for the screening exercise to take
place? What efforts are currently being made to collect and
analyse relevant information and data at present which will
inform the screening process?
IMPACT ASSESSMENTS
We note the reference to influence of Departmental policy
on your timescales for impact assessment and advise that we
have already expressed alarm in our response to the Draft
DHSS and PS Scheme in relation to the priorities afforded
to children and young people .It has been indicated that equality
impact assessments in relation to personal social services
for children and young people will not take place until Year
5 which is totally unacceptable and shows a poor commitment
to children's rights enshrined in the UN Convention On The
Rights Of The Child. This situation must be addressed as a
matter of urgency .
We object to the imposition of a charge for information
in relation to impact assessments as we believe that this
will be a barrier to accessibility and is not provided for
in the Guidelines.(see specifically 4.4 Guidelines)
PUBLIC ACCESS TO INFORMATION
We welcome the recognition of the particular needs of children
and young people in accessing information at Section 7.1 but
we would welcome a statement in accordance with Section 4(2)
c of the Guidance confirming the manner in which the information
will be made accessible ie will the Board produce young people's
summaries of the policies and proposed policies which are
subject to impact assessment?
CONCLUSION
We welcome the Board's commitment to consulting with children
and young people in relation to policies and proposed policies
which are relevant to them. We reiterate that the Board's
screening procedures and impact assessments must be mindful
of the fact that the area of children's services will NOT
be the only area in which a duty to consult with children
and young people and we recommend that a statement be incorporated
into your scheme confirming the Board's commitment to consult
with children and young people directly in relation to policies
which affect them. We trust that the Board will see fit to
incorporate our suggested amendments to ensure that in future
legislative requirements are complied with and that children's
rights are adequately protected.
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