North Yorkshire Council
Housing and Leisure Overview and Scrutiny Committee
2nd September 2024
Housing Revenue Account Policy Timetable
Report of the Corporate Director Community Development
1.0 PURPOSE OF REPORT
1.1 To present to the Committee the Policy Framework for Landlord Services and Housing Standards, a key component in our Housing Improvement Programme to meet the requirements of the Social Housing (Regulations) Act 2023 and demonstrate compliance with the Consumer Standards set by the Regulator for Social Housing.
1.2 The Framework sets out the Policies, Procedures and Standards which will be required in order to deliver a harmonised landlord service to our tenants.
1.3 The report sets out the proposed consultation principles, adoption timetable and decision level, in order to ensure that the Framework is compiled as effectively and transparently as possible.
1.4 The Committee are asked to consider the documents and the proposed timetable and agree which policy reviews they would like to include in their work plan.
2.0 SUMMARY
2.1 Prior to Local Government Reorganisation the stockholding authorities of Harrogate, Richmondshire and Selby each had a portfolio of tenancy and property management policies, standards, and procedures which define the relationship between landlord and tenant and the landlord’s approach to property management and maintenance. As North Yorkshire Council move forward as a landlord there is a need to harmonise policy across the Housing Revenue Account functions, to align with the new consumer standards in terms of Safety and Quality, Tenure, Neighbourhood and Community and to promote Transparency, Influence and Accountability. Fundamentally, to document our relationship with our customers and to outline clearly to tenants what service they can expect from North Yorkshire Council.
2.2 The framework will support greater transparency when it comes to compliance and performance monitoring. It will also enable tenants and Elected Members to have new, focussed input into policy development going forward and in-turn provide greater assurance around service delivery.
2.3 Pace and efficiency is required to ensure that harmonisation is achieved as soon as possible, whilst not detracting from the quality of the policy development. Therefore to expediate decision making a set of policy development principles are proposed to ensure that all policy development, consultation and decision reports are conducted to an agreed standard.
3.0 BACKGROUND
3.1 Across the three legacy stockholding authorities there are currently over 50 separate adopted policies and many other procedure documents directly relevant to the delivery of our HRA services. These policies vary in their stipulations, meaning North Yorkshire tenants in different localities can expect different levels of service. There are also gaps in policy where no agreement has been or where policy documents are outdated. It is also clear where policy has been developed in isolation or as a reaction to a particular event, resulting in an overall HRA policy framework which is inconsistent and lacks alignment to core regulatory compliance standards.
3.2 The Regulator for Social Housing’s Consumer Standards require that all Registered Providers should provide service delivery policies to tenants in an open and accessible manner. Appendix A
3.3 Work has already commenced to harmonise some high priority policies (Allocations Policy , Anti social Behaviour Policy and Domestic Abuse) however, the decision making process is currently lengthy and uncoordinated. A clear, prioritised policy framework is required.
4.0 THE HRA POLICY FRAMEWORK
4.1 The proposed policy framework (Appendix B) has been collated, mapping out the core documents underpinning our service to tenants, the key drivers of our policy development and with a clear commitment that our policy approach will be based upon the needs of our customers and developed in consultation with our tenants.
4.2 The policy library (Appendix C) has been collated based upon good practice from peer organisations and an assessment of policies which are held by the legacy authorities and currently in place. The list is not exhaustive and it should be recognised that additional policy may be required however to ease bureaucracy the first consideration will always be adding to an existing policy document rather than creating a new one, as long as this does not affect the clarity or accessibility of the policy for customers.
4.3 The policies and procedures within the framework, of which there are 65 have been prioritised on a high, medium, low basis based upon the requirements of the Consumer Standards, where there is currently no policy, or conflicting policy in place and the level of risk exposed by not having a harmonised policy in place.
4.4 The documents have been separated into 10 distinct work packages along similar themes so that as they progress through the decision-making process it makes sense for them to be considered together, allowing those scrutinising and adopting the policies to see linkages. An indicative timescale for adoption of the documents has been given.
4.5 Transparency in decision making is central to the revised Consumer Standards. Therefore the policy framework includes detail on the approval route for all documents within it.
4.6 To ensure that all policy development is conducted in a standardised way a policy development checklist (Appendix D) has been created. The checklist supports officers to develop policy and also promotes transparency in the process, data based decision making and consultation principles.
4.7 As part of our drive to promote transparency, all policy documents, once adopted, will be published online alongside the associated Equality Impact Assessments and Decision Records. In order to ensure that information on landlord services is accessible to all the documents will be provided in EasyRead format as standard and alternative formats available upon request. The policy library will also be maintained, with clear policy review dates scheduled and all policy development documentation retained for the required period.
4.8 Data based decision making is a critical tool in the Council’s ability to demonstrate service improvement and delivery being driven by the specific needs and vulnerabilities of its tenants. The Housing Service is on a journey to improving the data it holds on both its customers and its housing assets and then how it uses that data to inform policy development. We will also use feedback from tenants, gained via the Tenant Satisfaction Survey, Complaints data and feedback from our responsive repairs service to prioritise any amendments to policy or procedures where we see trends in policy failure or gaps in policy resulting in dissatisfaction.
4.9 Established consultation principles are important to ensure that our residents are given the opportunity to shape and scrutinise policy development and service delivery. North Yorkshire Council has an Engagement Promise Our engagement promise | North Yorkshire Council which sets out the general engagement principles the council will adhere too. Further to this, the Housing Service will adopt a Tenant Voice Strategy with an aim: ‘To listen and engage Tenants and use their insight to influence and improve services, including tenant satisfaction’.
4.10 It is proposed that all key policy documents are subject to tenant scrutiny and consultation with the wider tenant population via online survey, focus groups and customer journey mapping activities.
4.11 A tenant communication plan will be drawn up to ensure that consultation activity with tenants is coordinated, in line with the work packages and timelines identified, so as not to over burden tenants with engagement activity but to allow their voice to be heard in service improvement.
4.12 The Tenant Satisfaction Survey will be used to ensure that policy implementation is having a positive impact on levels of satisfaction and complaints data will be analysed to identify any trends or common areas for dissatisfaction.
4.13 Elected Member involvement is critical to good governance and demonstrating effective oversight of Landlord Services and Housing Standards policy. Good practice involves Overview and Scrutiny involvement in policy review both at its formative stages, for example via task and finish work and at pre-decision stage providing comment to the decision maker prior to adoption.
6.0 CONTRIBUTION TO COUNCIL PRIORITIES
6.1 Adoption of an agreed HRA Policy framework aligns with the council priority : To ensure that our council housing stock remains decent and continues to improve, with an ambition to become an exemplar social landlord.
7.0 ALTERNATIVE OPTIONS CONSIDERED
7.1 Not to adopt a harmonised HRA Policy Framework and to retain the status quo is not recommended. The current position is disjointed, not aligned to any regulatory requirements, confusing for tenants and leaves the Council and its tenants open to risk.
7.2 As a registered provider of social housing, it is a legal requirement to comply with the Regulator of Social Housing’s consumer standards. Transparency, Influence and Accountability are central to the new requirements.
7.3 North Yorkshire Council has already self-referred to the Regulator indicating that it is non-compliant with a number of requirements across the consumer standards. Failing to adopt a policy framework and promote transparency in decision making could create a risk of additional non-compliance and further undermine the organisations’ credibility.
9.0 FINANCIAL IMPLICATIONS
9.1 There are no financial implications of adopting the proposed HRA Policy Framework. There may be financial implications associated with the adoption of some of the policies within the framework and these will be identified to consultees on a case by case basis as part of the policy drafting, consultation and sign off elements of the policy development checklist.
10.0 LEGAL IMPLICATIONS
10.1 It is a requirement of the Regulator of Social Housing Transparency, Influence and Accountability standard for a Registered provider, ‘to provide tenants with accessible information about tenants’ rights in respect of registered providers’ legal obligations and relevant regulatory requirements that registered providers must meet in connection with the homes, facilities or landlord services they provide to tenants’ and ‘to take tenant’s views into account in their decision making about how landlord services are delivered and communicate how tenant’s views have been considered.’
10.2 Therefore, having an agreed, transparent HRA Policy Framework covering all aspects of our homes, facilities and landlord services with clear lines of decision making authority, auditable development processes and timescales for review with policy development and consultation principles is best practice and allows us to meet the requirements of the Regulator and for the benefit of our tenants.
11.0 EQUALITIES IMPLICATIONS
11.1 An initial Equalities Impact Assessment screening form has been completed and reviewed internally.
11.2 No detrimental effects were identified by the Equalities Impact Assessment screening form. There may be equalities implications associated with the adoption of some of the policies within the framework and these will be identified to consultees on a case by case basis as part of the policy drafting, consultation and sign off elements of the policy development checklist.
12.0 CLIMATE CHANGE IMPLICATIONS
12.1 A climate change impact assessment screening form has been completed acknowledging that there are no significant impacts.
13.0 CONCLUSIONS
13.1 The Overview and Scrutiny Committee are presented with the proposed HRA Policy Framework covering Housing Standards. This is a key component in our Housing Improvement Programme as we strive to meet the requirements of the Social Housing (Regulations) Act 2023 and demonstrate compliance with the Consumer Standards set by the Regulator for Social Housing.
13.2 The Framework sets out the Policies, Procedures and Standards which will be required in order to deliver a harmonised landlord service to our tenants. The report sets out the proposed consultation principles, adoption timetable and delegations in order to ensure that the Framework is compiled as quickly, effectively and transparently as possible.
14.0 REASONS FOR RECOMMENDATIONS
14.1 In order to ensure that the Overview and Scrutiny Committee have effective oversight of and the opportunity to contribute to the development of policies, to promote transparency, to expedite decision making and to ensure that a harmonised HRA Policy Framework is agreed, in place and communicated to tenants as soon as possible.
15.0
15.1 |
RECOMMENDATION(S)
The Overview and Scrutiny Committee is asked to: i) Provide feedback on which policy reviews they would like included on their work plan, either at policy formation or pre-decision stage. ii) Establish a Housing Policy Task and Finish Group to deal with the more in-depth policy reviews required.
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Nic Harne
Corporate Director – Community Development
County Hall
Northallerton
2nd September 2024
Report Author – Vicky Young, Service Improvement Manager
Presenter of Report – Andrew Rowe, Assistant Director Housing
BACKGROUND DOCUMENTS: None
APPENDICES:
Appendix A – RSH Consumer Standards – Transparency, Influence and Accountability
Appendix B – HRA Policy Framework
Appendix C – HRA Policy Library
Appendix D – Policy Development Checklist
Appendix E - Initial equality impact assessment screening form
Note: Members are invited to contact the author in advance of the meeting with any detailed queries or questions.