Recently updated on May 15th, 2020
(England, Wales and Northern Ireland)
Freedom of Information Publication Scheme
(England, Wales and Northern Ireland)
The Freedom of Information Act 2000 aims to promote a culture of openness and accountability amongst public authorities (in this case dentists who provide NHS treatment) by providing people with rights of access to information held by them.
- Every dentist working under the NHS must make certain information available through a publication scheme to anyone who asks for it
- The Information Commissioner’s Office (ICO) has published guidance which is provided unedited in pages 2-4 of this document
- The ICO provides a model template on which the template below is based
- The user remains responsible to ensure that their final version complies with the legislation
- The information contained in the publication scheme must be published, or made public. The manner or format in which that information will be made available should be specified within each class (e.g. by hard copy, via memory stick, via a website or via CD Rom)
- Much of the information covered by the scheme will be available at no charge as it will already be available in the practice (e.g. in the practice leaflet) or on the practice website. However, where a practice will charge for information the cost must be reasonable and included in the scheme
- Dentists should also consider appropriate ways of publishing their schemes other than on the internet and take into account the needs of disabled people. If you have a website, the model scheme should be available online and easy to find. Otherwise, make sure it is publicised in another way, for example by announcing the new scheme in a newsletter or on a public notice board
- Changes to the Freedom of Information Act have added a requirement for practices to publish ‘data-sets’, upon request, in an electronic format that can be re-used, unless it would not be appropriate to do so. For more information see the ICO guidance on page 3 of this document
- It would not be appropriate for a practice to publish a ‘data-set’ if publication would breach data protection requirements or patient confidentiality
- A practice must publish information in accordance with its publication scheme
- A practice must perform periodic review of its publication scheme
Guidelines
Having read through this module you will need to elect a publication scheme leader who could be the practice manager. This person is the point of contact for information enquiries and is responsible for keeping the scheme up to date. Once the publication scheme leader has modified and completed the template to suit the practice situation, s/he should produce several copies of the document and keep them at reception for easy access by the members of the public. A few copies in a large print should be made available for visually impaired people. You can also upload the completed version to your website for download.
Further information
Publication scheme guidance – ICO website
Telephone the ICO: 0303 123 1113
Freedom of Information Act 2000
Guide to information provided by NHS dentists under the model publication scheme (England, Wales and Northern Ireland)
Introduction
The Freedom of Information Act 2000 (FOIA) requires all public authorities to adopt and maintain a publication scheme. In 2008 the Information Commissioner’s Office (ICO) introduced a single generic model publication scheme, for adoption by all public authorities that are subject to FOIA.
The model publication scheme commits a public authority to ‘produce and publish the method by which the specific information will be available so that it can be easily identified and accessed by members of the public’. This is a very general scheme based on the principle that all public authorities need to recognise the public interest in the transparency of the services provided for and paid for by the general public. It is a commitment to make information easily available to the public.
Dentists providing dental services under contracts with the NHS in England, Wales and Northern Ireland are public authorities in respect of information relating to those services.
Note: The publication scheme is only for information held as a public authority.
The Model publication scheme is available on the ICO website. Further details are available in ICO guidance: Using the definition documents.
The model scheme must be adopted in full, unedited and promoted alongside the guide to information. Public authorities are not required to inform the ICO that they have adopted the scheme; we will assume they have done so unless we hear otherwise.
A public authority is in breach of FOIA if it has not adopted the model scheme or is not publishing in accordance with it.
To assist dentists, we have produced this template guide to information. The template will help them to draw up their guide to information, indicating what information they will provide, how it will be provided and whether any charge will be made for its provision. They should consider expanding elements of it to provide greater explanation and additional information, where this can be done. For example, if there are specific plans for the provision of NHS services these could be detailed. It is not necessary to submit the guide completed by the practice to the ICO for approval.
This and the model scheme document itself form the basis of the publication scheme commitment by NHS dentists.
Information included in the guide to information
The template lists the information we think that dentists should hold and make available within each class. When completed, this will provide a list of all the information the dentist will make routinely available, explain how it can be accessed and whether or not a charge will be made for it. Dentists must:
- state how the specific information can be obtained and if there is a cost involved;
- complete the relevant columns in the template guide; and
- ensure the public can access the completed guide and the information listed in it.
The guide, like the model scheme document itself, does not need further approval by the Information Commissioner.
Dentists should note that they are not expected to routinely publish all information; for example, where they do not hold it or where it is publicly available elsewhere or is exempt. We list such circumstances below.
We would expect dentists to make the information in the guide available unless:
- they do not hold the information;
- the information is exempt under one of the FOIA exemptions or Environmental Information Regulations 2004 (EIR) exceptions, or its release is prohibited under another statute;
- the information is readily and publicly available from an external website; such information may have been provided either by the dentist or on their behalf. The dentist must provide a direct link to that information;
- the information is archived, out of date or otherwise inaccessible; or
- it would be impractical or resource-intensive to prepare the material for routine release.
If the information is only held by another public authority, the dentist should provide details of where to obtain it.
For guidance on responding to requests for personal data, please refer to the Subject Access code of practice.
Datasets: publishing datasets for re-use
The law requires public authorities, including dentists, to publish under their publication scheme any dataset they hold that has been requested, together with any updated versions, unless they are satisfied that it is not appropriate to do so. So far as reasonably practicable, they must publish it in an electronic form that is capable of re-use.
FOIA requires public authorities, including dentists, to publish under their publication scheme any dataset they hold that has been requested, together with any updated versions, unless they are satisfied that it is not appropriate to do so.
For the purpose of this guide to information, a dataset is a collection of factual raw data held electronically that has been obtained or recorded in connection with providing NHS dentistry. The dataset provisions are about making information that is released under FOIA available for re-use. Dentists do not have to publish in their publication schemes any information that would be exempt from disclosure in response to a FOIA request eg patient records.
If dentists are making a dataset routinely available under their publication scheme, then so far as reasonably practicable, they must publish it in an electronic form that is capable of re-use. If the dataset or any part of it is a relevant copyright work and the dentist is the only owner of the copyright, they must make it available for re-use under the terms of a specified licence. The Datasets Code of Practice recommends that public authorities make datasets available for re-use under the Open Government Licence.
The term ‘dataset’ is defined in section 11(5) of FOIA. The terms ‘relevant copyright work’ and ‘specified licence’ are defined in section 19(8) of FOIA. The ICO has published guidance on the dataset provisions in FOIA. This explains what is meant by “not appropriate” and “capable of re-use”.
Fees and charging
Information available through a dentist’s publication scheme should be readily available at a low cost or at no cost to the public. If a dentist does charge for this information, we expect the charges to be justifiable, clear and kept to a minimum.
Charges may be made for activities such as printing, photocopying and postage as well as information that the dentist is legally authorised to charge for. Anyone requesting information must be informed of any charge before the information is provided. Dentists may ask for payment before providing the information. Guidance on our website: Charging for information in a publication scheme provides more details.
If the dentist charges a fee for licensing the re-use of datasets, they should state in the guide to information how this is calculated and whether the charge is made under the Re-use Fees Regulations or under other legislation. The dentist cannot charge a re-use fee if they make the datasets available for re-use under the Open Government Licence.
FOI requests and the publication scheme
It is important to note that a publication scheme simply sets out the information that is routinely available. Information that is not listed in the guide to information can still be requested and should be made available unless it can be legitimately withheld.
Information to be published | How the information can be obtained (e.g. hard copy, website) |
Cost |
Class 1 – Who we are and what we do
(Organisational information, structures, locations and contacts) This will be current information only |
Claremont dental practice is located in Seaford, East Sussex and provides service to the patients in order to maintain good oral hygiene. We aim to offer all kind of services which can help in well being of the patients. We also refer patients to specialists when needed Claremont Dental Practice , 1-3 Terminus Buildings, Seaford , BN25 1NT Tel no: 01323 897502 |
|
Who’s who in the practice | Team member information is available on the practice website at https://claremontdental.org/ | No charge |
Contact details for the practice (named contacts where possible with telephone number and email address (if used)) |
Contact details are available on the practice website at https://claremontdental.org/ and in the practice information leaflet. Contact details Claremont Dental Practice , 1-3 Terminus Buildings, Seaford , BN25 1NT Tel no: 01323 897502 Email: cd@claremontdental.org |
No charge |
Opening hours | Our current opening hours are available [on the practice website at https://claremontdental.org/ and in the practice information leaflet. | No charge |
Class 2 – What we spend and how we spend it(Financial information relating to projected and actual income and expenditure, procurement, contracts and financial audit) Current and previous financial year as a minimum |
We have information about:
We have NHS contract which given by Local area trust and we derive income from this NHS contract and in return we are to see a set number of patients and provide a number of UDA (units of dental activity). |
|
Details on NHS funding received by the practice and the cost of operating the NHS contract. We would expect dentists to consider publishing as much information as possible, including as much detail as possible. |
The value of our GDS/PDS contract with the NHS and targets are available from Dr Samatha Ravipati.
|
10p per photocopy £4 per CD £4 per memory stick |
Total annual expenditure on the provision of our contracted services (since most practices also provide care to patients on a private basis, the costs have been apportioned) | The practice provides both NHS and private treatment to patients. Information regarding the annual costs to the practice to deliver our NHS services is available from Dr S Ravipati
|
10p per photocopy £4 per CD £4 per memory stick |
Audit of NHS income, if held |
The practice is not audited and no information is held. | |
Class 3 – What our priorities are and how we are doing(Strategies and plans, performance indicators, audits, inspections and reviews) Current and previous year as a minimum |
||
Plans for the development and provision of NHS services |
The practice has a strategic action plan in place with objectives to develop our NHS service | 10p per photocopy £4 per CD £4 per memory stick |
Performance data including performance against targets |
Information regarding targets and our performance against them is available from Dr Samatha Ravipati.
|
10p per photocopy £4 per CD £4 per memory stick |
Practice inspection. Inspection reports by regulators [for England: the Care Quality Commission (CQC); Wales: Healthcare Inspectorate Wales; or Northern Ireland: the Regulation and Quality Improvement Authority (RQIA)] |
Our latest CQC/RQIA/HIW inspection report from 2018 is available on the https://www.cqc.org.uk/location/1-4965592228 | No Charge |
Class 4 – How we make decisions(Decision making processes and records of decisions) Current and previous year as a minimum |
||
Records of decisions made in the practice/firm affecting the provision of NHS services. |
The practice carries out an annual management review each year. As a small company management decisions are not always recorded. Information may be available from Dr S Ravipati |
10p per photocopy £4 per CD £4 per memory stick |
Class 5 – Our policies and procedures(Current written protocols, policies and procedures for delivering our services and responsibilities) Current information only. Here we have listed the policies we would expect practices to have. |
||
Policies and procedures about customer service | Our Patient experience policy (M 233-PEX) is available from reception. | 10p per photocopy £4 per CD £4 per memory stick |
Policies and procedures about employment of staff |
Information available from reception includes, but is not limited to:
|
10p per photocopy £4 per CD £4 per memory stick |
Equality and diversity policy | Our Equality, dignity and human right policy (M 233-EQD) is available from reception. | 10p per photocopy £4 per CD £4 per memory stick |
Health and safety policy | Our Health and safety policy (M 250C) is available from reception. | 10p per photocopy £4 per CD £4 per memory stick |
Infection control policy | Our Infection control policy (M 257A) and procedures (M 257B) are available from reception. | 10p per photocopy £4 per CD £4 per memory stick |
Radiation protection checklist | Information from our Radiation protection folder is available from [ Samatha Ravipati ]. | 10p per photocopy £4 per CD £4 per memory stick |
Complaints procedures (including those covering requests for information and operating the publication scheme) | Our complaints procedure [England and Northern Ireland: (G 110C)is displayed in reception and on the Practice website. Copies are available from reception. | No charge |
Records management policies (records retention, destruction and archive) | Our Record management policy (M 233-REM) is available from reception. | 10p per photocopy £4 per CD £4 per memory stick |
Confidentiality and data protection policies | Our Confidentiality (M 233-CON) and Data protection (M 233-DPT) policies are available from reception. | 10p per photocopy £4 per CD £4 per memory stick |
Policies and procedures for handling requests for information | Requests for information are covered in our Data protection policy (M 233-DPT), which is available from reception. | 10p per photocopy £4 per CD £4 per memory stick |
Practice information leaflet | Our practice information leaflet is available at reception. | No charge |
Class 6 – Lists and RegistersCurrently maintained lists and registers only |
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Any publicly available register or list (if any are held this should be publicised; in most circumstances existing access provisions will suffice). | None held | |
Class 7 – The services we offer(Information about the services we offer, including leaflets, guidance and newsletters produced for the public) Current information only |
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The services provided under contract to the NHS |
Information about the services we offer is outlined in on the practice website at www.Claremontdental.org in the practice information leaflet.
|
No charge |
Charges for any of these services |
Information regarding charges for NHS services is displayed on posters in reception, in our practice information leaflet, which is available from reception and on the practice website at www.Claremontdental.org |
No charge |
Information leaflets |
We have a range of leaflets, free of charge and available at reception, including:
|
No charge |
Out of hours arrangements
|
Information about out-of-hours emergency care is available in the practice information leaflet, which is available from the practice reception and published on the practice website. It is also displayed in front of our practice. | No charge |
Our Info
Claremont Dental Practice,
1-3 Terminus Buildings,
Claremont Road,BN25 1NT
Tel: 01323 897502
E-mail: cd@claremontdental.org
© 2020 Claremont Dental Practice.
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