Statutory Duty of Candour
Recommendation
A statutory duty of candour should now be enacted in Northern Ireland so that: (i) Every healthcare organisation and everyone working for them must be open and honest in all their dealings with patients and the public. (ii) Where death …
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A statutory duty of candour should now be enacted in Northern Ireland so that: (i) Every healthcare organisation and everyone working for them must be open and honest in all their dealings with patients and the public. (ii) Where death or serious harm has been or may have been caused to a patient by an act or omission of the organisation or its staff, the patient (or duly authorised representative) should be informed of the incident and given a full and honest explanation of the circumstances. (iii) Full and honest answers must be given to any question reasonably asked about treatment by a patient (or duly authorised representative). (iv) Any statement made to a regulator or other individual acting pursuant to statutory duty must be truthful and not misleading by omission. (v) Any public statement made by a healthcare organisation about its performance must be truthful and not misleading by omission. (vi) Healthcare organisations who believe or suspect that treatment or care provided by it, has caused death or serious injury to a patient, must inform that patient (or duly authorised representative) as soon as is practicable and provide a full and honest explanation of the circumstances. (vii) Registered clinicians and other registered healthcare professionals, who believe or suspect that treatment or care provided to a patient by or on behalf of any healthcare organisation by which they are employed has caused death or serious injury to the patient, must report their belief or suspicion to their employer as soon as is reasonably practicable.
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Published evidence summary
The Department of Health in Northern Ireland accepted the recommendation for a statutory duty of candour in March 2018, stating that legislation was being prepared following a public consultation held in 2020-2021 as part of broader healthcare reforms (Govt response, 2018-03-01). However, independent evidence from February 2026 indicates that Northern Ireland remains the only part of the UK without such a duty, eight years after the recommendation, with no Bill having been introduced by the Department (Independent evidence, 2026-02-06). A search on `legislation.gov.uk` for "Hyponatraemia Inquiry" returned no results.
Northern Ireland Executive
(Primary)
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Criminal Liability for Candour Breach
Recommendation
Criminal liability should attach to breach of this duty and criminal liability should attach to obstruction of another in the performance of this duty.
Published evidence summary
Criminal liability for breach of the duty of candour has not been introduced, and no legislation exists to attach criminal sanctions to candour failures in Northern Ireland, as confirmed by independent evidence from the NI Assembly and Department of Health NI in February 2026. This is due to the absence of a statutory duty of candour itself. The Department of Health NI's Implementation Programme updates (January 2024) had previously indicated this recommendation was 'In Progress' as part of a wider review.
Northern Ireland Executive
(Primary)
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Guidance on Statutory Duty of Candour
Recommendation
Unequivocal guidance should be issued by the Department to all Trusts and their legal advisors detailing what is expected of Trusts in order to meet the statutory duty.
Published evidence summary
The Department of Health NI's IHRD Implementation Programme (March 2018) is overseeing this recommendation (Official government response, https://www.health-ni.gov.uk/topics/ihrd-implementation-programme). While the government accepted the development of guidance in conjunction with statutory duty of candour legislation, independent evidence from the Department of Health NI (February 2026) states that the guidance cannot be issued because the statutory duty itself has not been enacted in Northern Ireland. A non-statutory 'Being Open Framework' exists, but this is not the statutory guidance required by the recommendation, and a search of legislation.gov.uk for 'Hyponatraemia Inquiry' returned no results. The government's progress tracker (January 2024) marked this as 'In Progress'.
Department of Health NI
(Primary)
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Trust Awareness of Duty of Candour
Recommendation
Trusts should ensure that all healthcare professionals are made fully aware of the importance, meaning and implications of the duty of candour and its critical role in the provision of healthcare.
Published evidence summary
The Department of Health NI established an Implementation Programme for the Inquiry into Hyponatraemia-related Deaths (IHRD) in March 2018 (health-ni.gov.uk). The government stated in March 2018 that a 'Being Open Framework' was implemented across HSC Trusts, with training provided to staff on candour principles. A February 2026 update from HSC Trusts and the Department of Health NI confirmed the implementation of this non-statutory framework and staff training, but noted that a statutory duty of candour remains unimplemented, meaning compliance relies on goodwill rather than legal obligation. The recommendation was listed as 'In Progress' in a January 2024 Department of Health NI update.
HSC Trusts
(Primary)
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Employment Contracts and Duty of Candour
Recommendation
Trusts should review their contracts of employment, policies and guidance to ensure that, where relevant, they include and are consistent with the duty of candour.
Published evidence summary
The Department of Health NI's Implementation Programme updates (January 2024) indicate that HSC Trusts are reviewing their employment contracts and policies to ensure consistency with the duty of candour requirements, with this action currently 'In Progress'. The government response (March 2018) also noted that prototypes were progressing to determine the most appropriate way to operate an IME service in Northern Ireland, with learning to inform future proposals.
HSC Trusts
(Primary)
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Support for Candour Compliance
Recommendation
Support and protection should be given to those who properly fulfil their duty of candour.
Published evidence summary
The Department of Health (NI) established an IHRD Implementation Programme to address the inquiry's recommendations. The government's response (2018-03-01) stated that guidance was updated and incorporated into health and social care training and policies, with support mechanisms established for staff raising concerns, including protections within the 'Being Open Framework'. A Department of Health NI update (2024-01-31) indicates this action is completed, but no specific published framework or guidance document has been identified.
HSC Trusts
(Primary)
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Monitoring Candour Compliance
Recommendation
Trusts should monitor compliance and take disciplinary action against breach.
Published evidence summary
The Department of Health Northern Ireland established an Implementation Programme in March 2018 to address the Inquiry's recommendations (health-ni.gov.uk). The government response from March 2018 stated that a 'Being Open Framework' was implemented and support mechanisms for staff raising concerns were established, with compliance monitoring mechanisms under development as part of a duty of candour framework. A progress update from January 2024 indicates that this recommendation is 'In Progress'. No further specific details on the monitoring mechanisms or their implementation have been publicly identified since the establishment of the programme.
HSC Trusts
(Primary)
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RQIA Compliance Review Powers
Recommendation
Regulation and Quality Improvement Authority ('RQIA') should review overall compliance and consideration should be given to granting it the power to prosecute in cases of serial non-compliance or serious and wilful deception.
Published evidence summary
The Department of Health NI's 2018 response indicated that the RQIA's remit was under review, with consideration for expanded oversight powers, but prosecution powers had not been granted. Despite a January 2024 progress update stating 'Completed', independent evidence from February 2026 indicates that RQIA's remit remains limited, prosecution powers for serial non-compliance have not been granted, and fundamental regulatory reform requiring legislation has not occurred.
Department of Health NI
(Primary)
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Leadership Development
Recommendation
The highest priority should be accorded the development and improvement of leadership skills at every level of the health service including both executive and non-executive Board members.
Published evidence summary
The Department of Health NI's 2018 government response stated that leadership development programmes were implemented across the Health and Social Care (HSC) system, with training provided to Board members, and review processes strengthened. However, the Department's Implementation Programme updates indicate that this recommendation was still 'In Progress' as of January 2024 (Department of Health NI Implementation Programme, 2024-01-31; Gov.uk, 2018-03-01). Specific details of these programmes or their outcomes are not publicly available.
Department of Health NI
(Primary)
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Age-Appropriate Hospital Settings
Recommendation
Health and Social Care ('HSC') Trusts should publish policy and procedure for ensuring that children and young people are cared for in age-appropriate hospital settings.
Published evidence summary
Health and Social Care (HSC) Trusts have published policies and procedures to ensure children and young people are cared for in age-appropriate hospital settings (Govt response, 2018-03-01). The Department of Health NI's Implementation Programme reported this recommendation as completed by January 2024, a status confirmed by independent evidence in February 2026, which noted that practical paediatric care standards, including age-appropriate settings, have generally been implemented across HSC Trusts.
HSC Trusts
(Primary)
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Patient Transfer Protocol
Recommendation
There should be protocol to specify the information accompanying a patient on transfer from one hospital to another.
Published evidence summary
HSC Trusts have developed and implemented protocols specifying the information that accompanies a patient on transfer from one hospital to another (Govt response, 2018-03-01). The Department of Health NI's Implementation Programme reported this as completed by January 2024, and independent evidence from February 2026 confirmed that transfer protocols are among the practical paediatric care standards generally implemented across HSC Trusts.
HSC Trusts
(Primary)
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Senior Paediatric Responsibility
Recommendation
Senior paediatric medical staff should hold overall patient responsibility in children's wards accommodating both medical and surgical patients.
Published evidence summary
Arrangements are in place for senior paediatric medical staff to hold overall patient responsibility in children's wards accommodating both medical and surgical patients (Govt response, 2018-03-01). The Department of Health NI's Implementation Programme reported this as completed by January 2024, and independent evidence from February 2026 confirmed that senior paediatric oversight is among the practical paediatric care standards generally implemented across HSC Trusts.
HSC Trusts
(Primary)
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Foundation Doctors in Children's Wards
Recommendation
Foundation doctors should not be employed in children's wards.
Published evidence summary
The recommendation to not employ foundation doctors in children's wards was accepted in principle by the government in March 2018, with a review in the context of workforce planning and consideration of Royal College concerns regarding de-skilling impacts (Govt response, 2018-03-01). The Department of Health NI's Implementation Programme reported this as "In Progress" as of January 2024. While independent evidence from February 2026 generally confirmed the implementation of practical paediatric care standards across HSC Trusts for recommendations 10-20, it did not specifically list the non-employment of foundation doctors as "now in place."
HSC Trusts
(Primary)
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Clinician Competence Assessment
Recommendation
The experience and competence of all clinicians caring for children in acute hospital settings should be assessed before employment.
Published evidence summary
Competence assessment processes for all clinicians caring for children in acute hospital settings have been incorporated into recruitment procedures for paediatric roles across HSC Trusts (Govt response, 2018-03-01). The Department of Health NI's Implementation Programme reported this as completed by January 2024, aligning with independent evidence from February 2026 which confirmed the general implementation of practical paediatric care standards across HSC Trusts.
HSC Trusts
(Primary)
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Consultant Notification on Admission
Recommendation
A consultant fixed with responsibility for a child patient upon an unscheduled admission should be informed promptly of that responsibility and kept informed of the patient's condition, to ensure senior clinical involvement and leadership.
Published evidence summary
Protocols have been implemented across HSC Trusts to ensure that a consultant fixed with responsibility for a child patient upon an unscheduled admission is promptly informed of that responsibility and kept informed of the patient's condition (Govt response, 2018-03-01). The Department of Health NI's Implementation Programme reported this as completed by January 2024, a status supported by independent evidence from February 2026 which confirmed the general implementation of practical paediatric care standards, including consultant-led ward rounds, across HSC Trusts.
HSC Trusts
(Primary)
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Bedside Display of Responsible Staff
Recommendation
The names of both the consultant responsible and the accountable nurse should be prominently displayed at the bed in order that all can know who is in charge and responsible.
Published evidence summary
Name boards displaying the names of both the consultant responsible and the accountable nurse have been implemented at bedsides in children's wards across HSC Trusts (Govt response, 2018-03-01). The Department of Health NI's Implementation Programme reported this as completed by January 2024, a status explicitly confirmed by independent evidence from February 2026, which stated that bedside name displays are now in place as part of practical paediatric care standards.
HSC Trusts
(Primary)
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Recording Changes in Accountability
Recommendation
Any change in clinical accountability should be recorded in the notes.
Published evidence summary
The requirement to record any change in clinical accountability has been incorporated into clinical documentation standards across HSC Trusts (Govt response, 2018-03-01). The Department of Health NI's Implementation Programme reported this as completed by January 2024, a status supported by independent evidence from February 2026 which confirmed that care plan documentation is now in place as part of practical paediatric care standards.
HSC Trusts
(Primary)
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On-Call Consultant Display
Recommendation
The names of all on-call consultants should be prominently displayed in children's wards.
Published evidence summary
Information regarding all on-call consultants is prominently displayed in children's wards across HSC Trusts (Govt response, 2018-03-01). The Department of Health NI's Implementation Programme reported this as completed by January 2024, a status supported by independent evidence from February 2026 which confirmed the general implementation of practical paediatric care standards across HSC Trusts.
HSC Trusts
(Primary)
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Senior Lead Nurse in Children's Wards
Recommendation
To ensure continuity, all children's wards should have an identifiable senior lead nurse with authority to whom all other nurses report. The lead nurse should understand the care plan relating to each patient, be visible to both patients and staff …
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To ensure continuity, all children's wards should have an identifiable senior lead nurse with authority to whom all other nurses report. The lead nurse should understand the care plan relating to each patient, be visible to both patients and staff and be available to discuss concerns with parents. Such leadership is necessary to reinforce nursing standards and to audit and enforce compliance. The post should be provided in addition to current staffing levels.
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Published evidence summary
Senior lead nurse roles were established in children's wards across Health and Social Care (HSC) Trusts, as stated in the government's March 2018 response. The Department of Health NI's Implementation Programme updates (January 2024) reported this recommendation as completed.
HSC Trusts
(Primary)
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Consultant-Led Ward Rounds
Recommendation
Children's ward rounds should be led by a consultant and occur every morning and evening.
Published evidence summary
Consultant-led ward rounds were implemented in children's wards across Health and Social Care (HSC) Trusts, as confirmed by independent evidence from HSC Trusts in February 2026. The Department of Health NI's Implementation Programme updates (January 2024) also reported this recommendation as completed, aligning with the government's initial March 2018 response.
HSC Trusts
(Primary)
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Nurse Attendance at Clinical Interactions
Recommendation
The accountable nurse should, insofar as is possible, attend at every interaction between a doctor and child patient.
Published evidence summary
The government's March 2018 response stated that guidance was issued on nurse attendance during clinical interactions with child patients. However, the Department of Health NI's Implementation Programme updates (January 2024) indicated that this recommendation was still 'In Progress', nearly six years after its acceptance. No specific details or publication of this guidance are provided in the available evidence.
HSC Trusts
(Primary)
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Parental Knowledge in Care Plans
Recommendation
Clinicians should respect parental knowledge and expertise in relation to a child's care needs and incorporate the same into their care plans.
Published evidence summary
Parental involvement in care planning was promoted through policy and training, as stated in the government's March 2018 response. The Department of Health NI's Implementation Programme updates (January 2024) reported this recommendation as completed.
HSC Trusts
(Primary)
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Care Plan Availability at Bedside
Recommendation
The care plan should be available at the bed and the reasons for any change in treatment should be recorded.
Published evidence summary
Care plans were made available at the bedside and documentation standards were updated, as stated in the government's March 2018 response. The Department of Health NI's Implementation Programme updates (January 2024) reported this recommendation as completed.
HSC Trusts
(Primary)
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Blood Test Result Documentation
Recommendation
All blood test results should state clearly when the sample was taken, when the test was performed and when the results were communicated and in addition serum sodium results should be recorded on the Fluid Balance Chart.
Published evidence summary
Blood test documentation standards were updated and serum sodium recording on fluid balance charts was implemented across Health and Social Care (HSC) Trusts, as confirmed by independent evidence from HSC Trusts in February 2026. The Department of Health NI's Implementation Programme updates (January 2024) also reported this recommendation as completed, aligning with the government's initial March 2018 response.
HSC Trusts
(Primary)
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Drug Prescription Documentation
Recommendation
All instances of drug prescription and administration should be entered into the main clinical notes and paediatric pharmacists should monitor, query and, if necessary, correct prescriptions. In the event of correction the pharmacist should inform the prescribing clinician.
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All instances of drug prescription and administration should be entered into the main clinical notes and paediatric pharmacists should monitor, query and, if necessary, correct prescriptions. In the event of correction the pharmacist should inform the prescribing clinician.
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Published evidence summary
Prescribing documentation standards were updated and paediatric pharmacist oversight was implemented across Health and Social Care (HSC) Trusts, as confirmed by independent evidence from HSC Trusts in February 2026, which noted the implementation of clinical documentation standards (recommendations 24-29). The Department of Health NI's Implementation Programme updates (January 2024) also reported this recommendation as completed, aligning with the government's initial March 2018 response.
HSC Trusts
(Primary)
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Recording Clinical Discussions
Recommendation
Clinical notes should always record discussions between clinicians and parents relating to patient care and between clinicians at handover or in respect of a change in care.
Published evidence summary
Documentation standards were updated to require the recording of clinical discussions between clinicians and parents, and between clinicians at handover or for changes in care, across Health and Social Care (HSC) Trusts. Independent evidence from HSC Trusts in February 2026 confirmed the implementation of clinical documentation standards (recommendations 24-29). The Department of Health NI's Implementation Programme updates (January 2024) also reported this recommendation as completed, aligning with the government's initial March 2018 response.
HSC Trusts
(Primary)
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Electronic Patient Information Systems
Recommendation
Electronic patient information systems should be developed to enable records of observation and intervention to become immediately accessible to all involved in care.
Published evidence summary
The Encompass electronic care record system was rolled out across all five Northern Ireland Health and Social Care (HSC) Trusts by May 2025, providing a single digital health and social care record for all NI citizens, as confirmed by independent evidence from the Department of Health NI and HSC in February 2026. The South Eastern Trust went live in November 2023, Belfast Trust in June 2024, Northern Trust in November 2024, and Southern and Western Trusts in May 2025. The Department of Health NI's Implementation Programme updates (January 2024) had previously indicated this recommendation was 'In Progress'.
Department of Health NI
(Primary)
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Informed Consent Documentation
Recommendation
Consideration should be given to recording and/or emailing information and advices provided for the purpose of obtaining informed consent.
Published evidence summary
The Department of Health NI established an Implementation Programme for the Inquiry into Hyponatraemia-related Deaths (IHRD) in March 2018 to take forward 120 actions for 96 recommendations (Official government response, https://www.health-ni.gov.uk/topics/ihrd-implementation-programme). The government's progress tracker (January 2024) indicates that informed consent processes have been reviewed and updated, and the recommendation is marked as completed. No specific documentation detailing the updated processes or the recording/emailing of information for informed consent has been identified in the provided sources.
HSC Trusts
(Primary)
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Record Keeping Audit
Recommendation
Record keeping should be subject to rigorous, routine and regular audit.
Published evidence summary
The Department of Health NI's IHRD Implementation Programme (March 2018) oversees the progress of recommendations (Official government response, https://www.health-ni.gov.uk/topics/ihrd-implementation-programme). The government's progress tracker (January 2024) reports that record keeping audit programmes have been established across Health and Social Care (HSC) Trusts, and this recommendation is marked as completed. No specific details or documentation of these audit programmes have been identified in the provided sources.
HSC Trusts
(Primary)
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Confidential Reporting of Clinical Concerns
Recommendation
Confidential on-line opportunities for reporting clinical concerns should be developed, implemented and reviewed.
Published evidence summary
The Department of Health NI's IHRD Implementation Programme (March 2018) oversees this recommendation (Official government response, https://www.health-ni.gov.uk/topics/ihrd-implementation-programme). The government's progress tracker (January 2024) states that confidential reporting mechanisms have been established and marks the recommendation as completed. Independent evidence from the Department of Health NI and HSC Trusts (February 2026) confirms that confidential reporting mechanisms are established and Serious Adverse Incident (SAI) reporting training has been provided. A public consultation on a major redesign of the SAI process, including a new Regional Framework for Learning and Improvement from Patient Safety Incidents, was open from March to June 2025, but the new framework had not been formally adopted as of February 2026.
HSC Trusts
(Primary)
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SAI Reporting Understanding
Recommendation
Trusts should ensure that all healthcare professionals understand what is expected of them in relation to reporting Serious Adverse Incidents ('SAIs').
Published evidence summary
The Department of Health NI's IHRD Implementation Programme (March 2018) is managing this recommendation (Official government response, https://www.health-ni.gov.uk/topics/ihrd-implementation-programme). The government's progress tracker (January 2024) indicates that Serious Adverse Incident (SAI) reporting training has been provided to healthcare professionals across Health and Social Care (HSC) Trusts, and the recommendation is marked as completed. This is corroborated by independent evidence from the Department of Health NI and HSC Trusts (February 2026) which also noted that SAI reporting training was provided.
HSC Trusts
(Primary)
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SAI Reporting as Disciplinary Offence
Recommendation
Failure to report an SAI should be a disciplinary offence.
Published evidence summary
The Department of Health NI's IHRD Implementation Programme (March 2018) is overseeing this recommendation (Official government response, https://www.health-ni.gov.uk/topics/ihrd-implementation-programme). The government's progress tracker (January 2024) reports that failure to report a Serious Adverse Incident (SAI) has been incorporated into Health and Social Care (HSC) Trust disciplinary policies, and the recommendation is marked as completed. No specific documentation of these updated disciplinary policies has been identified in the provided sources.
HSC Trusts
(Primary)
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CEO Responsibility for Investigations
Recommendation
Compliance with investigation procedures should be the personal responsibility of the Trust Chief Executive.
Published evidence summary
The Department of Health NI's IHRD Implementation Programme (March 2018) is managing this recommendation (Official government response, https://www.health-ni.gov.uk/topics/ihrd-implementation-programme). The government's progress tracker (January 2024) states that Chief Executive accountability for Serious Adverse Incident (SAI) investigations has been established in Health and Social Care (HSC) Trust governance frameworks, and the recommendation is marked as completed. No specific documentation of these governance frameworks has been identified in the provided sources.
HSC Trusts
(Primary)
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Independent SAI Investigation
Recommendation
The most serious adverse clinical incidents should be investigated by wholly independent investigators (i.e. an investigation unit from outside Northern Ireland) with authority to seize evidence and interview witnesses.
Published evidence summary
The Department of Health NI's IHRD Implementation Programme (March 2018) is overseeing this recommendation (Official government response, https://www.health-ni.gov.uk/topics/ihrd-implementation-programme). The government accepted the recommendation in principle, stating that independent investigation arrangements were strengthened but a fully independent external unit was not yet established. The government's progress tracker (January 2024) marked this as 'In Progress'. Independent evidence from the Department of Health NI (February 2026) confirms that while investigation arrangements have been strengthened, the fully independent external investigation unit from outside Northern Ireland, with authority to seize evidence and interview witnesses, as specifically called for by the recommendation, has not been established.
Department of Health NI
(Primary)
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Non-Cooperation as Disciplinary Offence
Recommendation
Failure to co-operate with investigation should be a disciplinary offence.
Published evidence summary
The Department of Health NI's IHRD Implementation Programme (March 2018) is managing this recommendation (Official government response, https://www.health-ni.gov.uk/topics/ihrd-implementation-programme). The government's progress tracker (January 2024) reports that failure to co-operate with an investigation has been incorporated into Health and Social Care (HSC) Trust investigation procedures and employment policies, and the recommendation is marked as completed. No specific documentation of these updated procedures or policies has been identified in the provided sources.
HSC Trusts
(Primary)
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Separation of Investigation and Litigation
Recommendation
Trust employees who investigate and accident should not be involved with related Trust preparation for inquest or litigation.
Published evidence summary
The Department of Health NI's IHRD Implementation Programme (March 2018) is overseeing this recommendation (Official government response, https://www.health-ni.gov.uk/topics/ihrd-implementation-programme). The government's progress tracker (January 2024) states that the separation of investigation and litigation roles has been implemented in Health and Social Care (HSC) Trust procedures, and the recommendation is marked as completed. No specific documentation of these updated procedures has been identified in the provided sources.
HSC Trusts
(Primary)
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Family Involvement in SAI Investigations
Recommendation
Trusts should seek to maximise the involvement of families in SAI investigations and in particular: (i) Trusts should publish a statement of patient and family rights in relation to all SAI processes including complaints. (ii) Families should be given the …
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Trusts should seek to maximise the involvement of families in SAI investigations and in particular: (i) Trusts should publish a statement of patient and family rights in relation to all SAI processes including complaints. (ii) Families should be given the opportunity to become involved in setting the terms of reference for an investigation. (iii) Families should, if they so wish, engage with the investigation and receive feedback on progress. (iv) A fully funded Patient Advocacy Service should be established, independent of individual Trusts, to assist families in the process. It should be allowed funded access to independent expert advice in complex cases. (v) Families in cases of SAI related child death should be entitled to see relevant documentation, including all records, written communication between healthcare professionals and expert reports. (vi) All written Trust communication to parents or family after a SAI related child death should be signed or co-signed by the chief executive. (vii) Families should be afforded the opportunity to respond to the findings of an investigation report and all such responses should be answered in writing. (viii) Family GPs should, with family consent, receive copies of feedback provided. (ix) Families should be formally advised of the lessons learned and the changes effected. (x) Trusts should seek, and where appropriate act upon, feedback from families about adverse clinical incident handling and investigation.
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Published evidence summary
The Department of Health NI established an Implementation Programme for the Inquiry into Hyponatraemia-related Deaths (IHRD) in March 2018, which includes 120 actions for 96 recommendations (health-ni.gov.uk). Family involvement protocols have been established, and an SAI rights statement was developed, with an SAI Engagement Platform providing a mechanism for ongoing engagement, according to a February 2026 update from HSC Trusts and the Department of Health NI. However, this update also noted that a fully funded independent Patient Advocacy Service, as recommended, has not been clearly established.
HSC Trusts
(Primary)
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Multi-Disciplinary Peer Review
Recommendation
Investigations should be subject to multi-disciplinary peer review.
Published evidence summary
The Department of Health NI established an Implementation Programme for the Inquiry into Hyponatraemia-related Deaths (IHRD) in March 2018 (health-ni.gov.uk). The government stated in March 2018 that multi-disciplinary review processes were incorporated into Serious Adverse Incident (SAI) investigation procedures. A Department of Health NI implementation programme update from January 2024 indicates this recommendation is completed.
HSC Trusts
(Primary)
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Investigation Team Reconvening
Recommendation
Investigation teams should reconvene after an agreed period to assess both investigation and response.
Published evidence summary
The Department of Health NI established an Implementation Programme for the Inquiry into Hyponatraemia-related Deaths (IHRD) in March 2018 (health-ni.gov.uk). The government stated in March 2018 that follow-up review processes were established for Serious Adverse Incident (SAI) investigations. A Department of Health NI implementation programme update from January 2024 indicates this recommendation is completed.
HSC Trusts
(Primary)
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SAI Learning Informing Clinical Audit
Recommendation
Learning and trends identified in SAI investigations should inform programmes of clinical audit.
Published evidence summary
The Department of Health NI established an Implementation Programme for the Inquiry into Hyponatraemia-related Deaths (IHRD) in March 2018 (health-ni.gov.uk). The government stated in March 2018 that learning from Serious Adverse Incident (SAI) investigations was incorporated into clinical audit programmes. A Department of Health NI implementation programme update from January 2024 indicates this recommendation is completed.
HSC Trusts
(Primary)
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Publication of External Investigation Reports
Recommendation
Trusts should publish the reports of all external investigations, subject to considerations of patient confidentiality.
Published evidence summary
The Department of Health NI established an Implementation Programme for the Inquiry into Hyponatraemia-related Deaths (IHRD) in March 2018 (health-ni.gov.uk). The government stated in March 2018 that publication policies for external investigation reports were implemented. However, a Department of Health NI implementation programme update from January 2024 indicates this recommendation is still 'In Progress'. No specific details about these policies or examples of published reports are provided in the available evidence.
HSC Trusts
(Primary)
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Sharing New Investigation Information
Recommendation
In the event of new information emerging after finalisation of an investigation report or there being a change in conclusion, then the same should be shared promptly with families.
Published evidence summary
The Department of Health NI established an Implementation Programme for the Inquiry into Hyponatraemia-related Deaths (IHRD) in March 2018 (health-ni.gov.uk). The government stated in March 2018 that procedures were established for sharing new information with families after investigation completion. A Department of Health NI implementation programme update from January 2024 indicates this recommendation is completed.
HSC Trusts
(Primary)
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GP Notification of Death Circumstances
Recommendation
A deceased's family GP should be notified promptly as to the circumstances of death to enable support to be offered in bereavement.
Published evidence summary
The Department of Health NI established an Implementation Programme for the Inquiry into Hyponatraemia-related Deaths (IHRD) in March 2018 (health-ni.gov.uk). The government stated in March 2018 that GP notification procedures were established for Serious Adverse Incident (SAI)-related deaths. A Department of Health NI implementation programme update from January 2024 indicates this recommendation is completed.
HSC Trusts
(Primary)
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Post-Mortem Limitation Authorisation
Recommendation
Authorisation for any limitation of a post-mortem examination should be signed by two doctors acting with the written and informed consent of the family.
Published evidence summary
The Department of Health NI established an Implementation Programme for the Inquiry into Hyponatraemia-related Deaths (IHRD) in March 2018 (health-ni.gov.uk). The government stated in March 2018 that post-mortem authorisation procedures were updated to require dual sign-off with family consent. A Department of Health NI implementation programme update from January 2024 indicates this recommendation is completed.
HSC Trusts
(Primary)
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Post-Mortem Documentation Checklist
Recommendation
Check-list protocols should be developed to specify the documentation to be furnished to the pathologist conducting a hospital post-mortem.
Published evidence summary
The Department of Health NI established an Implementation Programme for the Inquiry into Hyponatraemia-related Deaths (IHRD) in March 2018 (health-ni.gov.uk). The government stated in March 2018 that checklist protocols were developed for hospital post-mortem documentation. A Department of Health NI implementation programme update from January 2024 indicates this recommendation is completed.
HSC Trusts
(Primary)
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Clinician Attendance at Post-Mortem Discussions
Recommendation
Where possible, treating clinicians should attend for clinico-pathological discussions at the time of post-mortem examination and thereafter upon request.
Published evidence summary
The Department of Health NI's Implementation Programme updates (January 2024) indicate that guidance was issued on clinician attendance at clinico-pathological discussions. This action, which aims to ensure treating clinicians attend post-mortem discussions where possible, is considered completed.
HSC Trusts
(Primary)
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Post-Mortem Reporting Standards
Recommendation
In providing post-mortem reports pathologists should be under a duty to: (i) Satisfy themselves, insofar as is practicable, as to the accuracy and completeness of the information briefed them. (ii) Work in liaison with the clinicians involved. (iii) Provide preliminary …
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In providing post-mortem reports pathologists should be under a duty to: (i) Satisfy themselves, insofar as is practicable, as to the accuracy and completeness of the information briefed them. (ii) Work in liaison with the clinicians involved. (iii) Provide preliminary and final reports with expedition. (iv) Sign the post-mortem report. (v) Forward a copy of the post-mortem report to the family GP.
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Published evidence summary
The Department of Health NI's Implementation Programme updates (January 2024) indicate that post-mortem reporting standards were updated to align with the inquiry's requirements. These updated standards include duties for pathologists regarding accuracy, liaison with clinicians, expedition of reports, signing reports, and forwarding copies to families, and this action is considered completed.
HSC Trusts
(Primary)
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Mortality Meeting Recording and Audit
Recommendation
The proceedings of mortality meetings should be digitally recorded, the recording securely archived and an annual audit made of proceedings and procedures.
Published evidence summary
The Department of Health NI's Implementation Programme updates (January 2024) indicate that procedures for mortality meeting recording and annual audit of proceedings were implemented. These procedures ensure that the proceedings of mortality meetings are digitally recorded, securely archived, and audited annually, and this action is considered completed.
HSC Trusts
(Primary)
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Multi-Trust Mortality Meeting Engagement
Recommendation
Where the care and treatment under review at a mortality meeting involves more than one hospital or Trust, video conferencing facilities should be provided and relevant professionals from all relevant organisations should, in so far as is practicable, engage with …
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Where the care and treatment under review at a mortality meeting involves more than one hospital or Trust, video conferencing facilities should be provided and relevant professionals from all relevant organisations should, in so far as is practicable, engage with the meeting.
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Published evidence summary
The Department of Health NI's Implementation Programme updates (January 2024) indicate that video conferencing facilities were provided to enable engagement in multi-Trust mortality meetings. This provision facilitates relevant professionals from all involved organisations to participate when care and treatment under review involve more than one hospital or Trust, and this action is considered completed.
HSC Trusts
(Primary)
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HSCB Notification of Inquests
Recommendation
The Health and Social Care ('HSCB') should be notified promptly of all forthcoming healthcare related inquests by the Chief Executive of the Trust(s) involved.
Published evidence summary
The Department of Health NI's Implementation Programme updates (January 2024) indicate that inquest notification procedures were established between HSC Trusts and the Health and Social Care Board (HSCB). These procedures ensure that the HSCB is promptly notified of all forthcoming healthcare-related inquests by the Chief Executive of the involved Trust(s), and this action is considered completed.
HSC Trusts
(Primary)
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Independence of Coroner Witness Statements
Recommendation
Trust employees should not record or otherwise manage witness statements made by Trust staff and submitted to the Coroner's office.
Published evidence summary
The Department of Health NI's Implementation Programme updates (January 2024) indicate that procedures were updated to ensure the separation of HSC Trust involvement from the management of witness statements submitted to the Coroner's office. This means Trust employees no longer record or manage witness statements made by Trust staff for the Coroner, and this action is considered completed.
HSC Trusts
(Primary)
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Inquest Duties Protocol
Recommendation
Protocol should detail the duties and obligations of all healthcare employees in relation to healthcare related inquests.
Published evidence summary
The Department of Health NI's Implementation Programme updates (January 2024) indicate that protocols were developed to detail the duties and obligations of all healthcare employees in relation to healthcare-related inquests. This action is considered completed.
HSC Trusts
(Primary)
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Legal Privilege Disclosure to Coroner
Recommendation
In the event of a Trust asserting entitlement to legal privilege in respect of an expert report or other document relevant to the proceedings of an inquest, it should inform the Coroner as to the existence and nature of the …
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In the event of a Trust asserting entitlement to legal privilege in respect of an expert report or other document relevant to the proceedings of an inquest, it should inform the Coroner as to the existence and nature of the document for which privilege is claimed.
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Published evidence summary
The Department of Health NI's Implementation Programme updates (January 2024) indicate that guidance was issued regarding legal privilege assertions and disclosure obligations to the Coroner. This guidance ensures that if a Trust claims legal privilege for an expert report or document relevant to an inquest, it informs the Coroner of the document's existence and nature, and this action is considered completed.
HSC Trusts
(Primary)
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Bereavement Counselling Services
Recommendation
Professional bereavement counselling for families should be made available and should fully co-ordinate bereavement information, follow-up service and facilitated access to family support groups.
Published evidence summary
The Department of Health NI's Implementation Programme updates (January 2024) indicate that professional bereavement counselling and support services were established across HSC Trusts. These services aim to provide bereavement information, follow-up support, and facilitated access to family support groups, and this action is considered completed.
HSC Trusts
(Primary)
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Board Member Training on Patient Safety
Recommendation
Trust Chairs and Non-Executive Board Members should be trained to scrutinise the performance of Executive Directors particularly in relation to patient safety objectives.
Published evidence summary
The Department of Health (NI) established an IHRD Implementation Programme to address the inquiry's recommendations. As part of this programme, the HSC Board Member Handbook was published on 18 May 2021, developed by the Duty of Quality workstream to assist Boards in scrutinising safety and quality, and induction training programmes for Trust Board members were established (HSC Trusts / Department of Health NI, 2026-02-06; health-ni.gov.uk).
HSC Trusts
(Primary)
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Board Member Induction Training
Recommendation
All Trust Board Members should receive induction training in their statutory duties.
Published evidence summary
The Department of Health (NI) established an IHRD Implementation Programme to address the inquiry's recommendations. As part of this programme, induction training programmes for Trust Board members were established (HSC Trusts / Department of Health NI, 2026-02-06, as cited for IHRD-55; health-ni.gov.uk).
HSC Trusts
(Primary)
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Clinical Training for Guidelines
Recommendation
Specific clinical training should always accompany the implementation of important clinical guidelines.
Published evidence summary
The Department of Health (NI) established an IHRD Implementation Programme to address the inquiry's recommendations. The government's response (2018-03-01) stated that training was incorporated into clinical guideline implementation processes, and a Department of Health NI update (2024-01-31) indicates this action is completed. No further specific details about the training or guidelines have been publicly identified.
HSC Trusts
(Primary)
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Paediatric Fluid Management Training
Recommendation
HSC Trusts should ensure that all nurses caring for children have facilitated access to e-learning on paediatric fluid management and hyponatraemia.
Published evidence summary
The Department of Health (NI) established an IHRD Implementation Programme to address the inquiry's recommendations. The government's response (2018-03-01) stated that e-learning on paediatric fluid management and hyponatraemia was made available to nursing staff, and a Department of Health NI update (2024-01-31) indicates this action is completed. No further specific details about the e-learning have been publicly identified.
HSC Trusts
(Primary)
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Post-Mortem Request Form Training
Recommendation
There should be training in the completion of the post-mortem examination request form.
Published evidence summary
The Department of Health (NI) established an IHRD Implementation Programme to address the inquiry's recommendations. The government's response (2018-03-01) stated that training was provided on post-mortem examination request form completion, and a Department of Health NI update (2024-01-31) indicates this action is completed. No further specific details about the training have been publicly identified.
HSC Trusts
(Primary)
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Coroner Communication Training
Recommendation
There should be training in the communication of appropriate information and documentation to the Coroner's office.
Published evidence summary
The Department of Health (NI) established an IHRD Implementation Programme to address the inquiry's recommendations. The government's response (2018-03-01) stated that training was provided on communication with the Coroner's office, and a Department of Health NI update (2024-01-31) indicates this action is completed. No further specific details about the training have been publicly identified.
HSC Trusts
(Primary)
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Paediatric Communication Training
Recommendation
Clinicians caring for children should be trained in effective communication with both parents and children.
Published evidence summary
The Department of Health (NI) established an IHRD Implementation Programme to address the inquiry's recommendations. The government's response (2018-03-01) stated that communication skills training was provided for clinicians caring for children, and a Department of Health NI update (2024-01-31) indicates this action is completed. No further specific details about the training have been publicly identified.
HSC Trusts
(Primary)
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Adverse Incident Communication Training
Recommendation
Clinicians caring for children should be trained specifically in communication with parents following an adverse clinical incident, which training should include communication with grieving parents after a SAI death.
Published evidence summary
The Department of Health (NI) established an IHRD Implementation Programme to address the inquiry's recommendations. The government's response (2018-03-01) stated that specific training was provided on communication with families following adverse incidents, including after a Serious Adverse Incident (SAI) death. A Department of Health NI update (2024-01-31) indicates this action is completed, but no specific details about the training have been publicly identified.
HSC Trusts
(Primary)
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Evaluation of Parental Involvement
Recommendation
The practice of involving parents in care and the experience of parents and families should be routinely evaluated and the information used to inform training and improvement.
Published evidence summary
The Department of Health (NI) established an IHRD Implementation Programme to address the inquiry's recommendations. The government's response (2018-03-01) stated that parental involvement evaluation mechanisms were established, and a Department of Health NI update (2024-01-31) indicates this action is 'In Progress'. No further specific details about these mechanisms or their current status have been publicly identified.
HSC Trusts
(Primary)
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Parental Involvement in Training
Recommendation
Parents should be involved in the preparation and provision of any such training programme.
Published evidence summary
The Department of Health Northern Ireland established an Implementation Programme in March 2018 to address the Inquiry's recommendations, including the involvement of parents in the development of relevant training programmes (health-ni.gov.uk). A progress update from January 2024 indicates that this recommendation is currently 'In Progress' within the programme. No further specific details on parental involvement in training programmes have been publicly identified since the establishment of the programme.
HSC Trusts
(Primary)
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SAI Investigator Training
Recommendation
Training in SAI investigation methods and procedures should be provided to those employed to investigate.
Published evidence summary
The Department of Health Northern Ireland established an Implementation Programme in March 2018 to address the Inquiry's recommendations (health-ni.gov.uk). A progress update from January 2024 indicates that the provision of SAI investigation training to designated investigators is 'Completed'. No specific details on the content or delivery of this training have been publicly identified since the establishment of the programme.
HSC Trusts
(Primary)
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Time for SAI Learning
Recommendation
Clinicians should be afforded time to consider and assimilate learning feedback from SAI investigations and within contracted hours.
Published evidence summary
The Department of Health Northern Ireland established an Implementation Programme in March 2018 to address the Inquiry's recommendations (health-ni.gov.uk). A progress update from January 2024 indicates that the incorporation of protected time for learning from SAI investigations into practice is 'In Progress'. No further specific details on how this protected time is being incorporated have been publicly identified since the establishment of the programme.
HSC Trusts
(Primary)
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Informing Teaching Authorities
Recommendation
Should findings from investigation or review imply inadequacy in current programmes of medical or nursing education then the relevant teaching authority should be informed.
Published evidence summary
The Department of Health Northern Ireland established an Implementation Programme in March 2018 to address the Inquiry's recommendations (health-ni.gov.uk). A progress update from January 2024 indicates that mechanisms for informing teaching authorities of relevant investigation findings are 'Completed'. No specific details on these established mechanisms have been publicly identified since the establishment of the programme.
HSC Trusts
(Primary)
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Using Investigations for Training
Recommendation
Information from clinical incident investigations, complaints, performance appraisal, inquests and litigation should be specifically assessed for potential use in training and retraining.
Published evidence summary
The Department of Health Northern Ireland established an Implementation Programme in March 2018 to address the Inquiry's recommendations (health-ni.gov.uk). A progress update from January 2024 indicates that the assessment of information from investigations and complaints for training purposes is 'Completed'. No specific details on how this information is being assessed or used in training have been publicly identified since the establishment of the programme.
HSC Trusts
(Primary)
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Executive Director Responsibilities
Recommendation
Trusts should appoint and train Executive Directors with specific responsibility for: (i) Issues of Candour. (ii) Child Healthcare. (iii) Learning from SAI related patient deaths.
Published evidence summary
The Department of Health Northern Ireland established an Implementation Programme in March 2018 to address the Inquiry's recommendations (health-ni.gov.uk). A progress update from January 2024 indicates that Executive Director responsibilities for candour, child healthcare, and SAI learning have been 'Completed'. No specific details on the appointments or training of these Executive Directors have been publicly identified since the establishment of the programme.
HSC Trusts
(Primary)
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Board Meeting Minutes Preservation
Recommendation
Effective measures should be taken to ensure that minutes of board and committee meetings are preserved.
Published evidence summary
The Department of Health Northern Ireland established an Implementation Programme in March 2018 to address the Inquiry's recommendations (health-ni.gov.uk). A progress update from January 2024 indicates that board and committee meeting minutes preservation procedures have been 'Completed'. No specific details on the strengthened procedures have been publicly identified since the establishment of the programme.
HSC Trusts
(Primary)
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Children's Healthcare Governance
Recommendation
All Trust Boards should ensure that appropriate governance mechanisms are in place to assure the quality and safety of the healthcare services provided for children and young people.
Published evidence summary
The Department of Health Northern Ireland established an Implementation Programme in March 2018 to address the Inquiry's recommendations (health-ni.gov.uk). A progress update from January 2024 indicates that governance mechanisms for children's healthcare services have been 'Completed' across Trusts. No specific details on these established governance mechanisms have been publicly identified since the establishment of the programme.
HSC Trusts
(Primary)
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Candour in Trust Communications
Recommendation
All Trust publications, media statements and press releases should comply with the requirement for candour and be monitored for accuracy by a nominated non-executive Director.
Published evidence summary
The Department of Health Northern Ireland established an Implementation Programme in March 2018 to address the Inquiry's recommendations (health-ni.gov.uk). A progress update from January 2024 indicates that non-executive Director oversight of Trust communications is 'In Progress'. No further specific details on the implementation of this oversight or its monitoring have been publicly identified since the establishment of the programme.
HSC Trusts
(Primary)
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GMC Code in Employment Contracts
Recommendation
General Medical Council ('GMC') 'Good Medical Practice' Code requirements should be incorporated into contracts of employment for doctors.
Published evidence summary
The Department of Health NI established an Implementation Programme in March 2018 to address the inquiry's recommendations, including the incorporation of GMC 'Good Medical Practice' requirements into doctors' employment contracts. A progress update from January 2024 indicates this action was completed under the programme.
HSC Trusts
(Primary)
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Professional Codes in Employment Contracts
Recommendation
Likewise, professional codes governing nurses and other healthcare professionals should be incorporated into contracts of employment.
Published evidence summary
The Department of Health NI's Implementation Programme, established in March 2018, included actions to incorporate professional codes for nurses and other healthcare professionals into their employment contracts. This action was reported as completed in a January 2024 progress update from the programme.
HSC Trusts
(Primary)
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Independent Disciplinary Action
Recommendation
Notwithstanding referral to the GMC, or other professional body Trusts should treat breaches of professional codes and/or poor performance as disciplinary matters and deal with them independently of professional bodies.
Published evidence summary
As part of the Department of Health NI's Implementation Programme, established in March 2018, Trust disciplinary procedures were updated to address breaches of professional codes and poor performance independently of professional bodies. A January 2024 progress update from the programme indicates this action was completed.
HSC Trusts
(Primary)
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Publication of Clinical Standards
Recommendation
Clinical standards of care, such as patients might reasonably expect, should be published and made subject to regular audit.
Published evidence summary
The Department of Health NI's Implementation Programme, established in March 2018, included actions for the publication of clinical standards of care and the establishment of regular audit programmes. A January 2024 progress update from the programme indicates this action was completed.
HSC Trusts
(Primary)
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Trust Compliance Officer
Recommendation
Trusts should appoint a compliance officer to ensure compliance with protocol and direction.
Published evidence summary
The Department of Health NI's Implementation Programme, established in March 2018, included actions for Trusts to appoint compliance officers to ensure adherence to protocols and directions. A January 2024 progress update from the programme indicates this action was completed, with compliance roles established within Trust governance structures.
HSC Trusts
(Primary)
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Clinical Guidelines Audit
Recommendation
Implementation of clinical guidelines should be documented and routinely audited.
Published evidence summary
As part of the Department of Health NI's Implementation Programme, established in March 2018, processes were established for documenting and routinely auditing the implementation of clinical guidelines. A January 2024 progress update from the programme indicates this action was completed.
HSC Trusts
(Primary)
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Reporting Clinical Practice Changes
Recommendation
Trusts should bring significant changes in clinical practice to the attention of the HSCB with expedition.
Published evidence summary
The Department of Health NI's Implementation Programme, established in March 2018, included actions to establish procedures for Trusts to bring significant changes in clinical practice to the attention of the HSCB with expedition. A January 2024 progress update from the programme indicates this action was completed.
HSC Trusts
(Primary)
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Healthcare Data Analysis
Recommendation
Trusts should ensure health care data is expertly analysed for patterns of poor performance and issues of patient safety.
Published evidence summary
The Department of Health NI's Implementation Programme, established in March 2018, included actions to enhance healthcare data analysis capabilities across Trusts for identifying patterns of poor performance and patient safety issues. A January 2024 progress update from the programme indicates this action is 'In Progress'. No further published evidence has been identified since January 2024.
HSC Trusts
(Primary)
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Board Awareness of SAI Reports
Recommendation
Trusts should ensure that all internal reports, reviews and related commentaries touching upon SAI related deaths within the Trust are brought to the immediate attention of every Board member.
Published evidence summary
As part of the Department of Health NI's Implementation Programme, established in March 2018, procedures were established to ensure that all internal reports, reviews, and related commentaries touching upon SAI-related deaths within a Trust are brought to the immediate attention of every Board member. A January 2024 progress update from the programme indicates this action was completed.
HSC Trusts
(Primary)
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Policy on Learning from SAI Deaths
Recommendation
Each Trust should publish policy detailing how it will respond to and learn from SAI related patient deaths.
Published evidence summary
The Department of Health NI's Implementation Programme updates indicate that this recommendation was completed by January 2024, with HSC Trusts having published policies on responding to and learning from SAI-related deaths (Department of Health NI Implementation Programme, 2024-01-31; Gov.uk, 2018-03-01). While the government states policies are published, specific links to these documents are not provided in the available evidence.
HSC Trusts
(Primary)
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SAI Deaths in Annual Reports
Recommendation
Each Trust should publish in its Annual Report, details of every SAI related patient death occurring in its care in the preceding year and particularise the learning gained therefrom.
Published evidence summary
The Department of Health NI's 2018 government response stated that SAI-related death reporting was incorporated into Trust annual reports. However, the Department's Implementation Programme updates indicate that this recommendation was still 'In Progress' as of January 2024 (Department of Health NI Implementation Programme, 2024-01-31; Gov.uk, 2018-03-01). No specific examples of such reporting in annual reports are provided.
HSC Trusts
(Primary)
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Trust Board Review of IHRD Report
Recommendation
All Trust Boards should consider the findings and recommendations of this Report and where appropriate amend practice and procedure.
Published evidence summary
The Department of Health NI's 2018 government response indicated that HSC Trust Boards had considered the IHRD Report findings and initiated implementation programmes. The Department's Implementation Programme updates confirmed this recommendation as completed by January 2024 (Department of Health NI Implementation Programme, 2024-01-31; Gov.uk, 2018-03-01). No specific details of amended practices or procedures resulting from these considerations are publicly available.
HSC Trusts
(Primary)
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Deputy CMO for Children's Healthcare
Recommendation
The Department should appoint a Deputy Chief Medical Officer with specific responsibility for children's healthcare.
Published evidence summary
As of February 2026, the Department of Health NI has not appointed a Deputy Chief Medical Officer with specific responsibility for children's healthcare. The role has remained under consideration within the Department's restructuring for eight years since the government accepted the recommendation in March 2018 (Department of Health NI, Independent evidence, 2026-02-06; Gov.uk, 2018-03-01).
Department of Health NI
(Primary)
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Expand RQIA Remit and Resources
Recommendation
The Department should expand both the remit and resources of the RQIA in order that it might (i) maintain oversight of the SAI process (ii) be strengthened in its capacity to investigate and review individual cases or groups of cases, …
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The Department should expand both the remit and resources of the RQIA in order that it might (i) maintain oversight of the SAI process (ii) be strengthened in its capacity to investigate and review individual cases or groups of cases, and (iii) scrutinise adherence to duty of candour.
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Published evidence summary
The Department of Health NI's 2018 government response indicated that the RQIA's remit and resources were under review, with some expanded oversight already implemented. However, the Department's Implementation Programme updates show that this recommendation was still 'In Progress' as of January 2024 (Department of Health NI Implementation Programme, 2024-01-31; Gov.uk, 2018-03-01). Specific details of the expanded oversight or full resource expansion are not publicly detailed.
Department of Health NI
(Primary)
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Independent Medical Examiner
Recommendation
The Department should now institute the office of Independent Medical Examiner to scrutinise those hospital deaths not referred to the Coroner.
Published evidence summary
The Department of Health NI has piloted an Independent Medical Examiner (IME) service in Northern Ireland hospitals, with prototypes progressing since 2018 to inform proposals for a full service. However, as of February 2026, the service is not statutory and has not been fully rolled out, requiring legislative change; Northern Ireland is explicitly excluded from the statutory medical examiner provisions implemented in England and Wales from September 2024 (Department of Health NI, Independent evidence, 2026-02-06; Gov.uk, 2018-03-01).
Department of Health NI
(Primary)
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Child Death Overview Panel
Recommendation
The Department should engage with other interested statutory organisations to review the merits of introducing a Child Death Overview Panel.
Published evidence summary
As of February 2026, no Child Death Overview Panel has been established in Northern Ireland, despite the Department of Health NI's 2018 statement that engagement on the matter was ongoing. A statutory duty placed on the Safeguarding Board for Northern Ireland in 2011 to review child deaths has never been commenced (Department of Health NI, Independent evidence, 2026-02-06; Gov.uk, 2018-03-01).
Department of Health NI
(Primary)
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Patient Concern Organisation
Recommendation
The Department should consider establishing an organisation to identify matters of patient concern and to communicate patient perspective directly to the Department.
Published evidence summary
The Department of Health NI's 2018 government response stated that establishing an organisation for patient concerns was under consideration as part of a broader patient engagement strategy. The Department's Implementation Programme updates indicate that this recommendation was still 'In Progress' as of January 2024 (Department of Health NI Implementation Programme, 2024-01-31; Gov.uk, 2018-03-01). No specific organisation has been publicly identified as established for this purpose.
Department of Health NI
(Primary)
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Clinical Guidance Dissemination Protocol
Recommendation
The Department should develop protocol for the dissemination and implementation of important clinical guidance, to include: (i) The naming of specific individuals fixed with responsibility for implementation and audit to ensure accountability. (ii) The identification of specific training requirements necessary …
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The Department should develop protocol for the dissemination and implementation of important clinical guidance, to include: (i) The naming of specific individuals fixed with responsibility for implementation and audit to ensure accountability. (ii) The identification of specific training requirements necessary for effective implementation.
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Published evidence summary
The Department of Health NI's 2018 government response indicated that protocol development for clinical guidance dissemination was progressing. The Department's Implementation Programme updates show that this recommendation was still 'In Progress' as of January 2024, with no specific protocol publicly identified as developed or implemented (Department of Health NI Implementation Programme, 2024-01-31; Gov.uk, 2018-03-01).
Department of Health NI
(Primary)
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Synchronise Patient Safety Systems
Recommendation
The Department, HBSC, PHA, RQIA and HSC Trusts should synchronise electronic patient safety incident and risk management software systems, codes and classifications to enable effective oversight and analysis of regional information.
Published evidence summary
The Department of Health NI established an Implementation Programme in March 2018 to take forward the 96 recommendations, including the synchronisation of electronic patient safety incident and risk management software systems (Department of Health NI: IHRD Implementation Programme). A progress update from January 2024 indicates that work on synchronising these systems across organisations is ongoing under this programme, but no specific synchronised systems have been publicly identified.
Department of Health NI
(Primary)
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Review Healthcare Standards
Recommendation
The Department should review healthcare standards in light of the findings and recommendations of this report and make such changes as are necessary.
Published evidence summary
The Department of Health NI stated in its March 2018 government response that healthcare standards were reviewed in light of the Hyponatraemia Inquiry's findings and recommendations (Department of Health NI: IHRD Implementation Programme). As of January 2024, the implementation status, based on Department of Health NI Implementation Programme updates, indicates this work is still in progress, but no specific updated standards or changes have been publicly identified.
Department of Health NI
(Primary)
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Review Trust Responses
Recommendation
The Department should review Trust responses to the findings and recommendations of this Report.
Published evidence summary
The Department of Health NI is reviewing Trust responses to the Hyponatraemia Inquiry's recommendations through its established Implementation Programme (Department of Health NI: IHRD Implementation Programme). A progress update from January 2024 indicates that this review process remains in progress, but no specific outcomes or actions resulting from the review have been detailed.
Department of Health NI
(Primary)
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Clinical Negligence Litigation Reform
Recommendation
The interests of patient safety must prevail over the interests engaged in clinical negligence litigation. Such litigation can become an obstacle to openness. A government committee should examine whether clinical negligence litigation as it presently operates might be abolished or …
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The interests of patient safety must prevail over the interests engaged in clinical negligence litigation. Such litigation can become an obstacle to openness. A government committee should examine whether clinical negligence litigation as it presently operates might be abolished or reformed and/or whether appropriate alternatives can be recommended.
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Published evidence summary
The Northern Ireland Executive accepted this recommendation in principle in March 2018, stating it was 'under consideration' and that no government committee had been established to examine clinical negligence litigation reform (Department of Health NI: IHRD Implementation Programme). As of February 2026, independent evidence confirms that no such committee has been established, indicating no progress on this recommendation in eight years (Independent evidence, 2026-02-06).
Northern Ireland Executive
(Primary)
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Legal Privilege Protocol
Recommendation
Given that the public is entitled to expect appropriate transparency from a publically funded service, the Department should bring forward protocol governing how and when legal privilege entitlement might properly be asserted by Trusts.
Published evidence summary
The Department of Health NI accepted this recommendation in March 2018, stating that the development of a protocol governing how and when legal privilege entitlement might properly be asserted by Trusts was progressing (Department of Health NI: IHRD Implementation Programme). As of January 2024, the implementation status, based on Department of Health NI Implementation Programme updates, indicates this protocol development remains in progress, but no specific protocol has been publicly identified.
Department of Health NI
(Primary)
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Healthcare Litigation Standards
Recommendation
The Department should provide clear standards to govern the management of healthcare litigation by Trusts and the work of Trust employees and legal advisors in this connection should be audited.
Published evidence summary
The Department of Health NI accepted this recommendation in March 2018, indicating that standards to govern the management of healthcare litigation by Trusts were under development (Department of Health NI: IHRD Implementation Programme). A progress update from January 2024 states that this work remains in progress, but no specific standards have been publicly identified or enacted as legislation (legislation.gov.uk).
Department of Health NI
(Primary)
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