The Quality and Purpose of Care Standard
This chapter provides guidance on the use of surveillance and monitoring equipment in the Home. It sets out the requirements which must be met under Ofsted national guidance.
The Home must also include local information specific to the individual Home, as detailed in Section 9, Local Information Specific to the Home.
Please note: The guidance for Secure Children's Homes, schools and family centres may be different.
This chapter was updated in November 2022.
The Home aims to provide a positive home environment in which children can live and learn and where relationship-based practice is promoted.
All staff should:
In line with Ofsted guidance, the Home’s providers and managers will ensure that the Home provides a positive environment where children can flourish, with staff who work positively and confidently with children, and who find the least intrusive way to support and empower children and keep them safe.
See: Positive Environments Where Children Can Flourish
It is important therefore that managers and providers carefully consider the specific purpose and role of any surveillance and monitoring used in the Home, including whether there are other, less intrusive, ways and means to keep children safe.
Children and young people are at the centre of practice within the Home, and they should be informed (as early as possible after admission) about any monitoring and surveillance systems in use and the reasons for having it in the Home, as well as the safeguards in place regarding confidentiality and the retention of images.
The Children's Homes (England) Regulations (2015) regulation 24 states:
Surveillance and Monitoring in Residential Childcare Settings (Ofsted, October 2019) provides that:
Work mobile phones and other work devices used for surveillance activity must only be used for monitoring purposes inside the Home. They should not be used to store data recorded for surveillance if taken outside the Home.
Staff should have regular updated training on handling information gathered by surveillance. This should include:
These principles are based on the Home Office Surveillance Camera Code of Practice which provides guiding principles which if followed enable an organisation to demonstrate that the operation of its surveillance camera systems is to a lawful and ethical standard. Relevant authorities such as the police and local authorities are required by law to have regard to the code. However, all operators of surveillance camera systems are encouraged to voluntarily adopt its principles.
When considering any use of surveillance and monitoring in the Home, it is important to balance the rights and freedoms of children, visitors and staff with the need for and purpose of the surveillance.
The Human Rights Act 1998; Data Protection Act 2018; Protection of Freedoms Act 2012 (POFA) (which regulates surveillance systems) and the Freedom of Information Act 2000 (FOIA) provide a framework to enable this balance to be achieved, and it is important that all guidance and regulations are adhered to.
The Surveillance Camera Buyers Toolkit suggests completing the following prior to installation and use of a surveillance system:
Statement of Need
This should consider what is the purpose of the surveillance/monitoring, and could that purpose be achieved by other means? Is a surveillance/monitoring system the most appropriate solution?
Risk Assessment
This should consider what are the risks to data subjects raised by the deployment of surveillance cameras? Is the impact on individuals’ rights and freedoms proportionate to the problem you are addressing? Can the risks be reduced to an acceptable level?
Data Protection Impact Assessment
One specific area of risk which arises with any surveillance camera system is the risk of interfering with people’s privacy. Whenever you capture someone’s image on your system you are processing their personal data. The collection and storage of data that can be used to identify an individual must be processed fairly and within the law. Processing such personal data can only be done lawfully by following the requirements of data protection legislation which is regulated by the Information Commissioner (ICO). Under the General Data Protection Regulation and the Data Protection Act 2018 most surveillance cameras will require a Data Protection Impact Assessment (DPIA). This should be started at an early stage before installing a surveillance camera system.
Guidance: Data Protection Impact Assessments for Surveillance Cameras contains DPIA guidance and a DPIA template which can be used by organisations to conduct data protection impact assessments for their surveillance cameras or surveillance camera systems.
This is not a one-off exercise. Privacy impact should be reviewed regularly and whenever fundamental changes are made to the system (such as when cameras are added, removed or their view repositioned).
If you decide to process personal data through a surveillance camera system you will be a controller under data protection law. As a controller you will be responsible for completing a DPIA. In doing so, these are some of the important factors to consider:
Under the Data Protection Act 2018 and GDPR, if you are unable to mitigate the privacy risks adequately you have to submit your DPIA to the ICO for review.
The Home Office Surveillance Camera Code of Practice draws on and reinforces data protection obligations in relation to video surveillance.
See also information from the Information Commissioner’s Office on Data Protection Impact Assessments.
Good practice includes consulting with anyone who may be affected by the surveillance before you proceed; this should form part of your Data Protection Impact Assessment.
Once you start to operate your system, you must inform people that they are under surveillance. The Surveillance Camera Buyers Toolkit contains an example of a Privacy Notice to inform people about surveillance.
Right to be Informed (Information Commissioner’s Office) sets out that:
Surveillance and monitoring devices include CCTV (both with and without voice-recording); listening devices; location trackers on personal electronic equipment; door sensors; noise sensors and movement alarms.
Some equipment, such as listening devices, can be used to monitor individuals, (for example where there are health or emotional well-being concerns). Note that audio-recording is considered as being particularly intrusive and so should be avoided unless there is a clear reason for it.
Other equipment may capture activity in the environment, for example body-worn cameras, exit alarms, noise sensors and movement-activated mats.
Note: baby monitors are included within the Ofsted guidance as a listening device unless they are being used to monitor the welfare of a baby when adults are not present, e.g. when a baby is sleeping during the day. A parent may choose to use their personal mobile phone as a baby monitor when the baby is sleeping, and this is acceptable. Nevertheless, it should not be used to monitor another person's activity.
CCTV: is closed-circuit television system on a private network. Footage is monitored mainly for surveillance and security purposes. The system uses strategically placed cameras that send the images to monitors placed elsewhere.
If a setting uses CCTV to monitor places of public access, such as the exterior of a building, there should be clear notices alerting the public to its presence and the reason for its use. The notice should include contact details in order to enable a person to access and review any images of them (this is called a subject access request (SAR)).
Where external monitoring systems are installed, care must be taken to ensure that this does not extend to cover beyond the Home and its grounds. Where the Home has immediate neighbours, guidance recommends that neighbours should be involved and listened to. Surveillance/monitoring systems which covered neighbouring properties, albeit unintentionally, could be found to be infringing the privacy of neighbours. This could be CCTV cameras and also features such as ‘smart’ doorbell cameras. Care should be taken to check the range of any such devices, and it should be noted that such devices are likely to capture audio footage at a greater range than video footage, therefore care must be exercised if audio capture is enabled on external devices.
For further information see Domestic CCTV systems - Guidance for People Using CCTV (ICO)
CCTV must not be used to replace or supplement staffing.
Monitoring of personal electronic devices: this includes monitoring the use of a child's own laptop, desktop, tablet, mobile phone or any other personal electronic device. This must be carried out with their permission.
It is permissible to monitor online activity if it relates to the use of filters and monitoring the effectiveness of those filters to protect children from exposure to inappropriate online material and contact. This activity must be included in the Home's written policy and procedure.
(Please note: online filters should not be used as substitute for on-going discussions with children in the Home about their online activity and how they can keep safe. See also: Safe Use of the Internet, Social Media and Photographs Procedure).
Covert Surveillance: Important note - only a court can sanction covert surveillance. This is where the monitoring of an individual is carried out in a way they are not aware of. This might include equipment such as hidden cameras and /or listening devices or secretly following the person. The Regulation of Investigatory Powers Act 2000 governs the use of covert surveillance by public bodies.
All Looked After Children will have Care Plans and Placement Plans. Children living in the Home will also have a risk assessment. These plans:
When CCTV or audio monitoring is used for the protection of children, staffing levels must be sufficient so that the images or alarms can be continually monitored and immediate action taken to safeguard children without reducing the quality of care provided in the Home.
All staff must be trained in the use and purpose of monitoring and surveillance systems e.g. setting door alarm systems.
All staff must be aware of the purpose and function of such systems and how they positively relate to each individual child.
Staff should have regular updated training on handling information gathered by monitoring or surveillance. This should include:
The Home must also include local information specific to the individual Home, covering the following:
Surveillance and Monitoring in Residential Childcare Settings (Ofsted)
Home Office Surveillance Camera Code of Practice and A Guide to the 12 Principles.
Surveillance Camera Buyers Toolkit - this guide is intended for anyone in any organisation up to and including small and medium sized enterprises buying a surveillance camera system who wants to maximise their chance of success (and minimise risk) by observing the principles of good practice.