This policy is aimed primarily, but not exclusively, at FAYCE registered trainer/Assessors who are delivering regulated qualifications or units and Learners who are working towards these. It sets out the steps Trainer/Assessors and Learners should follow when reporting alleged maladministration or malpractice and FAYCE’s responsibilities and processes in dealing with such cases.
It is important that Trainer/Assessors involved in the delivery, assessment and quality assurance of regulated qualifications, and their Learners, are aware of this policy – particularly if a potential complaint arises.
On monitoring visits, the person conducting the visit may check that colleagues and Learners are aware of the policies contents and purpose.
Maladministration is a non-deliberate activity or practice indicating a lack of care or judgement, non-compliance, or error in managing or administering activities relating to FAYCE registered courses.
We will investigate all cases of maladministration in liaison with the parties concerned. If an investigation confirms maladministration, we will impose an appropriate sanction and take the necessary steps to ensure that Learners’ interests are protected as far as is reasonably possible. This may include making arrangements for re-assessment or certification, as appropriate.
The items listed below are examples of Trainer/Assessor maladministration. Please note that these examples are not exhaustive and are guidance on our definition of maladministration:
Malpractice is essentially any deliberate activity or practice which contravenes required standards or regulations and ultimately compromises the integrity of the assessment process and/or the validity of qualifications.
The items listed below are examples of Trainer/Assessor and Learner malpractice. Please note that these examples are not exhaustive and are guidance on our definition of malpractice:
Examples of Learner malpractice can include:
Anybody who identifies or is made aware of suspected or actual cases of malpractice or maladministration, at any time must immediately report their findings to FAYCE Training. In doing so they should put the claim in writing/email and enclose supporting evidence.
All allegations should include (where possible and relevant):
Upon receiving an allegation, it will be passed to the Director and FAYCE will acknowledge receipt within 5 working days. In all cases, FAYCE will endeavour to protect the identity of the informant but dependant on the nature of the claim this may not always be possible. Informants must be aware that they may be identifiable due to the circumstances of the disclosure.
In all cases where FAYCE Training suspect maladministration or malpractice the appropriate Awarding Organisation will be immediately informed.
Should the Awarding Organisation decide to lead the investigation FAYCE Training will co-operate fully and provide the Awarding Organisation with all facts of the situation and also any reasonable additional information that may be requested during the course of the investigation.
FAYCE Training will require all Trainer/Assessors to also co-operate with all aspects of an investigation and provide any requested information or evidence in a reasonable time frame.
The Awarding Organisation will have a regulatory responsibility to the qualification Regulators, such as Ofqual, SQA
Accreditation, and both FAYCE Training and approved Trainer/Assessors will be required to co-operate with the qualification Regulators as required.
Should the Awarding Organisation require FAYCE Training to conduct the investigation FAYCE will keep the Awarding Organisation always informed on the status of the investigation and will produce a detailed report for the Awarding
Organisation with the findings of the investigation and proposed action plan and proposed sanctions. The Awarding Organisation will then review the report, proposed action plan and proposed sanctions to determine if it is suitable.
FAYCE Training will make preliminary checks to try to determine whether the claim is vexatious or frivolous. The director may appoint a suitably competent person/s to lead the investigation including where appropriate, external appropriately qualified personnel to examine the report and supporting evidence. All persons will be independent, i.e. no direct involvement in the alleged issues and free of any conflict of interests.
FAYCE aim to complete any investigation within 30 working days of the instruction to investigate from the Awarding Organisation. Please note that in some cases, the investigation may take longer; for example, if a visit is required. In such instances, we will advise all parties concerned of the likely revised timescale.
The investigator/s review may involve:
FAYCE Training expect all parties involved in the investigation, to co-operate fully. Failure to cooperate may lead to a decision based on the evidence available. At any stage in this process FAYCE reserves the right to suspend Trainer/Assessor status and any claims for Learner certification submitted by the Trainer/Assessor. FAYCE may also reserve the right to withhold a Learner’s results and/or certificate for all the FAYCE course/qualifications they are studying if the case is deemed to be of a serious nature. If the investigation confirms that there has been maladministration or malpractice FAYCE may have no alternative but to propose to the Awarding Organisation one or more of the following sanctions (note this list is not exhaustive). In determining the sanction FAYCE will consider all factors put forward by all parties:
Upon completion of the investigation FAYCE Training will create a detailed report covering all aspects of the allegation/s and the investigation along with a proposed action plan and proposed sanctions. This report will be sent to the Awarding
Organisation for approval.
Upon receipt of the decision from the Awarding Organisation FAYCE Training will implement its proposed action plan and sanctions or any revised action plan and sanctions as required. FAYCE Training will inform all relevant parties within 5 working days of the decision being made.
If a Trainer/Assessor or Learner wishes to appeal against any decision to impose sanctions, please refer to the FAYCE Enquiries, Complaints and Appeals Policy.
We will review the policy periodically and revise it as and when necessary, in response to customer and learner feedback, changes in our practices, actions from the regulatory authorities or external agencies, or changes in legislation. If you would like to feedback any views please contact us via the details provided at the end of this policy.