Sample Improvement Plan
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A complete, KLOE-mapped improvement plan generated from a real Inadequate inspection report. Every CQCLogic plan looks like this — but tailored to your specific findings.
Inspector findings summary: CQC identified significant concerns around medicines management, safeguarding processes, care planning, and governance oversight. A Warning Notice was issued under Regulation 12 (Safe care and treatment) and Regulation 17 (Good governance).
Hartwell Grange — Full Improvement Plan
23 prioritised actions across 5 CQC domains · 30/60/90-day roadmap
Inspector findings: CQC found that medicines were not managed safely, with multiple recording errors on MAR charts and expired stock identified in the medicines room. Staff had not received up-to-date safeguarding training and one safeguarding incident had not been reported to the local authority.
Regulations: Regulation 12 (Safe care and treatment) · Regulation 13 (Safeguarding) · Warning Notice issued
Conduct an immediate medicines audit across all residents
Review all MAR charts for the past 30 days, remove any expired stock, reconcile discrepancies, and produce a written report for the registered manager.
Implement weekly MAR chart checks by a senior member of staff
Introduce a rolling weekly medicines check completed by a registered nurse or senior carer. Document each check on a standard audit form and retain in the governance file.
Ensure all outstanding safeguarding referrals are submitted to the local authority
Identify any incidents in the past 6 months that may have required a safeguarding referral. Complete and submit outstanding referrals and document the decision-making process for each.
Deliver mandatory safeguarding refresher training to all staff
Book and complete a CQC-recognised safeguarding training course for every member of staff. Ensure training records are updated and retained. Agency staff must be included.
Introduce a medicines competency assessment for all staff who administer medicines
Assess every medicines-trained member of staff against a written competency framework. Those who do not meet the standard should be suspended from administering medicines until reassessed.
Inspector findings: Care plans did not always reflect people's current needs. Mental Capacity Act assessments were not completed consistently, and best interest decisions were not recorded. Staff demonstrated limited awareness of the MCA in day-to-day practice.
Regulations: Regulation 9 (Person-centred care) · Regulation 11 (Need for consent)
Review and update all care plans to reflect current assessed needs
Conduct a structured care plan review for every resident. Ensure each plan includes a current risk assessment, communication preferences, and is signed off by the key worker and resident or their representative.
Complete MCA assessments for all residents who lack or may lack capacity
Identify every resident for whom capacity may be in question. Complete a formal MCA assessment for each, document the outcome, and ensure best interest decisions are recorded in line with the MCA Code of Practice.
Introduce a monthly care plan review cycle
Implement a structured monthly review process for all care plans. Assign each resident a named key worker responsible for initiating the review and updating the plan.
Deliver MCA and DoLS training to all staff
Ensure all staff complete up-to-date MCA and DoLS training. Include practical scenario-based elements. Retain certificates and update the training matrix.
Audit care plan quality on a quarterly basis
Introduce a quarterly care plan quality audit completed by the registered manager or deputy. Results to be discussed at governance meetings and documented.
Inspector findings: Most residents and relatives spoke positively about staff. However, CQC observed that people were not always treated with dignity during personal care, and some residents reported feeling rushed. Relatives were not consistently involved in care planning.
Regulations: Regulation 9 (Person-centred care) · Regulation 10 (Dignity and respect)
Deliver dignity and respect training to all care staff
Implement mandatory dignity in care training for every care worker. Include scenarios specific to personal care routines. Evidence completion on the training matrix.
Establish a structured process for involving relatives in care planning
Introduce a six-monthly care review meeting for each resident that includes the resident, a family member or representative where appropriate, and the key worker. Document each meeting.
Introduce a dignity champion role within the staff team
Identify and appoint a member of staff as Dignity Champion. Provide additional training and create a role description. The Dignity Champion should lead monthly reflective practice sessions with the team.
Conduct quarterly resident and relative satisfaction surveys
Implement a structured quarterly survey for residents and relatives. Analyse results, share findings with residents at house meetings, and document any actions taken in response.
Inspector findings: CQC found no effective system for recording, investigating, or learning from complaints. Two complaints made in the previous 12 months had not been acknowledged or investigated. There was no evidence of learning from incidents to improve practice.
Regulations: Regulation 16 (Receiving and acting on complaints) · Regulation 17 (Good governance)
Acknowledge and investigate all outstanding complaints immediately
Contact all complainants whose complaints have not been acknowledged. Issue written acknowledgements within 48 hours. Appoint an investigator for each complaint and set a response deadline of no more than 28 days.
Implement a compliant complaints policy and procedure
Review and update the complaints policy in line with CQC guidance. Ensure it includes timescales, who to contact, the right to refer to the Local Government and Social Care Ombudsman, and is accessible to residents and relatives.
Introduce a formal incident reporting and learning system
Implement a written incident reporting form and log. All incidents must be reported within 24 hours, investigated by a senior member of staff, and discussed at the next team meeting.
Create a monthly complaints and compliments log for governance review
Record all complaints, concerns, and compliments received each month. Present a summary at the monthly governance meeting. Identify themes and document improvement actions.
Introduce quarterly learning from incidents reports
Produce a quarterly report summarising all incidents, complaints, and near misses. Identify patterns, document learning, and share outcomes with staff at team meetings.
Inspector findings: There was no effective governance framework in place. Audits were not completed, or completed but not acted on. The registered manager had limited oversight of the service and was unable to demonstrate how quality was monitored. Staff morale was low and there was a high turnover of staff.
Regulations: Regulation 17 (Good governance) · Regulation 18 (Staffing) · Warning Notice issued
Establish a monthly governance meeting with a formal agenda and action log
Schedule and hold a monthly governance meeting attended by the registered manager, deputy, and senior staff. The agenda must include: complaints, incidents, audits, staffing, training, and CQC compliance. Produce written minutes with named action owners.
Implement a rolling audit schedule covering all key risk areas
Create a 12-month audit calendar covering: medicines, care plans, infection control, H&S, fire safety, and MCA. Assign each audit to a named member of staff. Ensure audit outcomes are recorded and acted upon.
Produce and submit a written improvement plan to CQC
Draft a formal improvement plan addressing each concern raised in the inspection report. The plan must include named action owners, timescales, and measurable outcomes. Submit to CQC within 28 days of the inspection report date.
Conduct a full staffing review and address identified gaps
Review current staffing levels against dependency tool scores and minimum safe staffing guidance. Identify gaps and implement a recruitment or agency cover plan immediately. Document the review and any actions taken.
Introduce an annual staff survey and respond to findings
Design and distribute an anonymous staff survey covering: workload, management support, training, communication, and morale. Analyse results, share a summary with staff, and produce an action plan in response.
Establish a quality assurance dashboard reviewed at each governance meeting
Create a single-page dashboard summarising: audit completion rates, complaint numbers, incident rates, training compliance, and staffing fill rate. Review at every governance meeting and retain as evidence of oversight.
30/60/90-day roadmap
Your path from Inadequate to Good
Every plan includes a sequenced roadmap so you know exactly what to do, and when.
- ✓Medicines audit & MAR reconciliation
- ✓Safeguarding referrals submitted
- ✓All complaints acknowledged
- ✓Governance meetings established
- ✓Improvement plan submitted to CQC
- ✓Staffing review completed
- ✓All care plans reviewed & updated
- ✓MCA assessments completed
- ✓All mandatory training complete
- ✓Dignity champion appointed
- ✓Complaints policy updated
- ✓Medicines competency assessments
- ✓Monthly audit cycle running
- ✓Resident satisfaction surveys live
- ✓Quality dashboard in place
- ✓Quarterly learning reports started
- ✓Care plan review cycle embedded
- ✓Staff survey completed & actioned
Free download
Download the full Hartwell Grange sample plan
The complete 23-action improvement plan as a formatted PDF — the same quality and layout you will receive for your own service.
- ✓All 5 domains with full action detail
- ✓30/60/90-day roadmap and timeline
- ✓Evidence requirements per action
- ✓Regulation references for each action
- ✓CQC domain score dashboard
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Your plan will be completely different — and that’s the point
Mapped to your findings
We pull your actual inspection report from the CQC register. Every action addresses a specific concern raised by your inspector, not a generic template.
Regulation-referenced
Every action is linked to the relevant CQC regulation and quality statement, so you always know the “why” behind each task.
Inspector-ready evidence
Each action includes specific evidence requirements — so when the inspector returns, you know exactly what to show them and where to find it.
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