The Hamilton Spectator

LTC standards must be mandatory

- LILIAN WELLS AND DOMINIC VENTRESCA LILIAN WELLS IS PRESIDENT OF THE OACA AND DOMINIC VENTRESCA IS DIRECTOR OF THE OACA AND CHAIR OF THE AGEFRIENDL­Y NIAGARA COUNCIL.

The new national long-termcare standards are comprehens­ive and have incorporat­ed important person-centred quality of life elements that are the product of extensive input from profession­als and individual­s with lived experience with long-term care. The standards have the potential to be the national touchstone for excellence of care for decades to come. Their implementa­tion can ensure that we will never again see the suffering and deaths experience­d during this pandemic. However, the standards will not make a difference unless federal/provincial government­s allocate sufficient resources and align inspection and accountabi­lity systems with the national standards.

The Ontario Associatio­n of Councils on Aging (OACA) Board of Directors, which reflects the perspectiv­e of thousands of older adults across Ontario, requests the standards be mandatory and be supported with sufficient federal/provincial/territoria­l funding and by inspection/accountabi­lity systems that align accordingl­y.

Although the achievemen­t of all the standards is predicated on the necessity of funding/inspection/accountabi­lity alignment, we will provide additional clarity with one standard related to governance, and one standard related to operations to demonstrat­e our point:

In Section 1.1.4, the governing body cannot meet the criterion if the provincial/territoria­l authority responsibl­e for their respective LTC system does not allocate sufficient resources. A national standard for is not possible without correspond­ing sufficient federal/provincial/ territoria­l funding allocation­s that are systemic and sustainabl­e.

Similarly, many of the standards and criteria relating to other identified objectives in the national standards (e.g., resident quality of care and quality of life, appropriat­e technology, equipment, and supplies) will not be met without the assurance of these funding allocation­s.

In section 9.1.1, the organizati­onal leaders cannot meet this criterion if the provincial/territoria­l authority responsibl­e for their respective LTC system does not set the staffing standard and allocate sufficient resources to enable a home to meet “appropriat­e and sufficient evidence-informed staffing levels.” A national standard will not be effective without correspond­ing sufficient federal/provincial/territoria­l funding allocation­s that are systemic and sustainabl­e to support an identified sufficient staffing level standard, as defined by average hours of direct care per resident per day, staffing mix, and staff qualificat­ions.

There is a pivotal opportunit­y for federal and provincial government­s to agree on transforma­tional health-care improvemen­ts. Much like the federal government successful­ly rolled out a national child-care system, we recommend the federal government seize this opportunit­y and roll out a similar effort to develop a national longterm-care system.

Anything less than a national mandate will relegate the national LTC standards to another well written document, like existing accreditat­ion standards, statements on the rights of LTC residents and many other standards documents, without making a difference in the safety and quality of care of residents and the quality and sustainabi­lity of the long-term care system infrastruc­ture.

With an increasing­ly aging population, and the ongoing need for a responsive longterm-care system, government­s must address this issue for the benefit of today’s and tomorrow’s older adults and others living in long-term care, irrespecti­ve of anticipate­d improvemen­ts in home and community care and access to primary care.

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