SPM Development Services Limited
Assessment Policy
May 2025
Reviewed and Updated: September 2025
Next Review: September 2026, or sooner if statutory guidance changes.
Purpose and Scope
This policy sets out how SPM Development Services Ltd will safeguard and promote the
welfare of children and young people. It applies to all staff, contractors, volunteers, and
anyone working on behalf of the organisation. Our duty is to comply with Keeping Children
Safe in Education (KCSIE 2025), Working Together to Safeguard Children (2023), the
Alternative Provision Guidance (2024), the Prevent Duty (2023), the Children Missing
Education statutory guidance (2024), and the Data Protection Act 2018/UK GDPR.
Our Principles
• The welfare of children is paramount.
• Children should never experience abuse of any kind.
• We work in partnership with parents, carers, local authorities, and other
professionals.
• All children, regardless of protected characteristics, have equal rights to protection.
• Some children, including those with additional vulnerabilities (such as children in
kinship care, children with social workers, and gender-questioning children), may
need additional safeguards.
• Children with special educational needs and disabilities (SEND), including those
with Education, Health and Care Plans (EHCPs), may face additional safeguarding
challenges and barriers to disclosing concerns.
Designated Safeguarding Lead (DSL)
SPM Development Services Ltd has a Designated Safeguarding Lead (DSL):
DSL: Simon Piper-Masha
Email: simon@spmdevelopmentservices.co.uk | Tel: 07787 530009
The DSL is the main point of contact for safeguarding concerns and liaises with partner
organisations, local authority safeguarding teams, and the Local Authority Designated
Officer (LADO) when appropriate. DSL training is renewed at least every two years.
Reporting Concerns and Disclosures
All concerns, suspicions, or disclosures must be reported to the DSL immediately. Staff must
never promise confidentiality, must avoid leading questions, and must report using the
child’s own words wherever possible.
Step-by-step procedure:
• Listen carefully, remain calm, and avoid interrupting.
• Reassure the child but do not promise confidentiality.
• Record the disclosure using the child’s exact words where possible.
• Do not investigate or ask leading questions.
• Report to the DSL as soon as practically possible.
• Complete the safeguarding concern form and forward to the DSL.
Staff are expected to complete safeguarding records promptly, factually, and in the required
format so that accurate records can be maintained.
If the DSL is not available, staff must contact the partner organisation’s DSL or the local
authority safeguarding team.
Low-Level Concerns
In line with Part 4 of KCSIE 2025, SPM Development Services Ltd maintains a framework for
managing low-level concerns. All concerns, no matter how small, about staff behaviour will
be recorded, reviewed by the DSL, and acted upon appropriately. Patterns of low-level
concerns will be monitored to ensure early intervention.
Allegations Against Staff
Any allegation that a member of staff or contractor has harmed a child, may have harmed a
child, or otherwise poses a risk of harm must be reported immediately to the DSL. The DSL
will contact the LADO within 24 hours and follow Part 4 of KCSIE 2025.
If the allegation is against the DSL, the whistleblowing policy must be followed and the
concern reported to the commissioning organisation or LADO directly.
SPM recognises its duty of care to staff and will provide appropriate support during any
investigation.
Safer Recruitment
SPM follows safer recruitment procedures in line with KCSIE 2025. This includes:
• Enhanced DBS with children’s barred list check for all staff in regulated activity.
• Online searches as part of pre-employment checks.
• Verification of identity, right to work, qualifications, and employment history with
explanations for gaps.
• At least two satisfactory references obtained before appointment.
• Overseas checks where relevant.
• Section 128 check where applicable.
• Prohibition from teaching list check where applicable.
• Risk assessments for staff with any criminal history.
• A single central record of all recruitment and vetting checks.
Staff Training and Prevent Duty
All staff will complete safeguarding training at induction and receive annual updates, with
formal refresher training at least every two years.
In addition, all staff must complete Prevent awareness training. The DSL will also complete
the Prevent referrals training, as required by the Prevent Duty Guidance (2023).
Attendance and Children Missing Education (CME)
As an alternative provision provider commissioned by local authorities, SPM records
attendance at every session. Absences are reported promptly to commissioners. Persistent
absence or missing education will be escalated in line with the 2024 statutory guidance
‘Working Together to Improve School Attendance’ and the Children Missing Education
guidance.
Lone Working and Home Visits
Tutors working in pupils’ homes must:
• Ensure a parent or carer is present unless otherwise risk assessed.
• Work in communal areas with doors open.
• Follow SPM’s lone-working protocol, including check-in/out systems and dynamic risk
assessments.
• Report any risks, incidents, or safeguarding concerns immediately to the DSL.
Online Safety and Cyber Security
SPM is committed to safe online tutoring. Staff must:
• Use SPM-approved platforms only.
• Not share personal contact details with pupils.
• Follow the staff online code of conduct.
• Report online safeguarding concerns in the same way as in-person concerns.
• Adhere to DfE’s Cyber Security Standards to protect data and systems.
Additional expectations:
• Tutors must dress and behave appropriately during online sessions.
• Pupils must have a parent/guardian present in the home during online sessions.
• No recording, screenshots, or sharing of online sessions is permitted.
• Parents/guardians are expected to provide a safe, quiet, and appropriate environment for
online tutoring.
Staff Code of Conduct
All staff must follow SPM’s Code of Conduct, including:
• Treating all pupils with respect.
• Avoiding being alone with pupils where possible.
• Not promising confidentiality.
• Not sharing personal contact details or social media.
• Challenging unacceptable behaviour and reporting concerns immediately.
• Maintaining professional boundaries at all times.
• Never being under the influence of alcohol or substances when working.
• Following safeguarding procedures in the event of any concern or disclosure.
Anti-Bullying, Whistleblowing and Complaints
SPM has clear policies on anti-bullying, whistleblowing, and complaints. All staff must be
familiar with these and understand how they link to safeguarding practice. If staff feel
unable to raise safeguarding concerns internally, or if concerns are not addressed, they may
contact the Local Authority Designated Officer (LADO) or the NSPCC whistleblowing
helpline for advice.
Data Protection and Record Keeping
All records are kept securely in compliance with the Data Protection Act 2018 and UK
GDPR. Safeguarding concerns provide a lawful basis for sharing information with statutory
agencies. Information will be shared only with those who need to know, and records will be
retained securely.
Policy Review
This policy will be reviewed annually, or sooner if changes are required by updated
statutory guidance (e.g. Keeping Children Safe in Education).