Providers of National Disability Insurance Scheme (NDIS) services must ensure that all NDIS participants can adequately access supports.
Access to Supports in the NDIS Practice Standards
Access to supports is a requirement of the NDIS Practice Standards under Core Module 3: Provision of Supports.
This Practice Standard aims to ensure that NDIS participants can access supports that appropriately meet their needs, goals and preferences (NDIS 2021).
Access to Supports Quality Indicators
Clearly Defined and Documented Supports
Providers must ensure that the following key information is clearly defined and documented:
- The services that are available
- Any criteria for accessing these services
- Any costs that are involved in accessing these services.
(WAAMH 2021)
This information must be provided to participants before they sign a service agreement with the provider (NDS 2021). Furthermore, it is crucial that this information is delivered in a way that the participant is able to understand, taking into account:
- The participant’s preferred language
- The participant’s preferred method of communication
- The participant’s preferred format of communication
- Terminology that the participant is most likely to understand.
(NDIS 2021; WAAMH 2021)
Examples of how to clearly define and document supports include:
- Using wording in access/eligibility policies that does not exclude potential participants
- Partnering with other providers so that participants can be referred to more appropriate services for their needs if required
- Publishing information about eligibility, intake processes and costs on the organisation’s website or in brochures
- Engaging interpreters if required.
(WAAMH 2021; Lifestyle Centred Services 2020)
Reasonable Adjustments to the Support Delivery Environment
Providers are expected to make and monitor reasonable adjustments to their support delivery environment in order to ensure that it is fit for purpose and responsive to the needs of participants (WAAMH 2021). These adjustments should support participants’:
- Health
- Privacy
- Dignity
- Quality of life
- Independence.
(NDIS 2021)
Furthermore, these adjustments should be continuously monitored in order to ensure that they are meeting their required purposes (WAAMH 2021).
Aspects of the support delivery environment that may require consideration include:
- Physical layout
- Safety (e.g. furniture, size of rooms, exits)
- Privacy
- Sound (e.g. quiet waiting areas, music)
- Visual appeal (e.g. colour, artwork, plants)
- Comfort (e.g. welcoming environment, seating arrangements).
(WAAMH 2021)
Consider obtaining feedback from participants related to how the service delivery environment could be adjusted to better suit their needs (WAAMH 2021).
Withdrawal of Supports
Participants should be appropriately informed about the circumstances under which supports may be stopped or withdrawn (WAAMH 2021).
This quality indicator is underpinned by the concept of dignity of risk; participants should be afforded the right to undertake reasonable risks, and all NDIS participants should have their rights to autonomy and self-determination respected (WAAMH 2021; Lifestyle Centred Services 2020).
In some cases, participants might make choices that the provider believes are too risky to support. Despite this, providers should not deny access to required supports just because they are deemed ‘too risky’ (NDS 2021).
Maintaining an appropriate balance between dignity of risk and duty of care is essential.
In order to ensure dignity of risk, providers should:
- Train and educate staff on how to ensure dignity of risk while upholding their duty of care.
- Acknowledge that participants are experts in their own lives and work alongside them.
- Consider a gradual approach to withdrawing services rather than doing so suddenly (e.g. implementing a warning or traffic light system). This provides participants with the ability to exercise control and choice within a defined area.
- Establish a code of conduct.
- Develop policies and procedures related to supported decision-making and risk enablement.
(WAAMH 2021; NDS 2020)
While supports should not be withdrawn solely based on risks taken by participants, the reasons for which they might be stopped should be clearly defined and understood by participants. Examples of situations in which supports might be discontinued include:
- Failure by participants to adhere to the terms of their service agreement
- Failure by participants to adhere to the provider’s policies and procedures
- Failure by participants to communicate and provide information about changes to their care needs
- Failure to adhere to workplace health and safety requirements
- Communication issues between the participant and provider
- Failure by participants to pay for services.
(Lifestyle Centred Services 2020)
Topics
References
- Lifestyle Centred Services 2020, Policy and Procedure: Access to Supports, Lifestyle Centred Services, viewed 25 July 2024, https://www.lifestylecentred.com.au/wp-content/uploads/2020/03/Access-to-Supports.pdf
- National Disability Services 2020, NDIS Practice Standards Interpretive Guide, NDS, viewed 25 July 2024, https://www.nds.org.au/images/resources/NDIS-Practice-Standards-Interpretive-Guide_singlepages.pdf
- NDIS Quality and Safeguards Commission 2021, NDIS Practice Standards: NDIS Practice Standards and Quality Indicators, Australian Government, viewed 25 July 2024, https://www.ndiscommission.gov.au/sites/default/files/2024-05/ndis-practice-standards-and-quality-indicatorsfinal1_1.pdf
- Western Australian Association for Mental Health 2021, Readiness Workbook: NDIS Practice Standards & Quality Indicators, WAAMH, viewed 25 July 2024, https://waamh.org.au/assets/documents/sector-development/ndis-qsc-sector-readiness/waamh-ndis-readiness-workbook-interactive-final-1-.pdf