Breach Notices and Remedial Action

When a practice fails to meet its contractual obligations, commissioners can take escalating actions. Understanding the distinction between notice types is critical for compliance.

Notice TypeWhen UsedTypical TimeframeConsequences of Non-Compliance
Remedial NoticeBreach is capable of being fixed (e.g., missing policy documents, inadequate infection control)Not less than 28 daysFurther remedial notices; eventual termination if improvements not made
Breach NoticeBreach is not capable of remedy (e.g., no clinician available on a specific day)ImmediateInstructs contractor not to repeat breach; repeated breaches may lead to termination

Key Requirements for Commissioners:

  • Notices must specify the breach details and required remedial steps
  • A minimum of 28 days is generally allowed unless patient safety is at risk
  • Actions must be “proportionate, reasonable, and evidence based”

Contract Sanctions

Before terminating a contract, commissioners may impose sanctions including:

  • Termination of specified reciprocal obligations
  • Suspension of obligations for up to six months
  • Withholding or deducting monies otherwise payable

Contract sanctions cannot affect the delivery of or payment for essential services