The development and promotion of work experience and apprenticeship programmes across the Blue Light services increases the probability of children and young people being placed within dynamic workplace environments.
Schemes such as the Apprenticeship Levy have encouraged Blue Light organisations to increase the integration of young people. Currently, all emergency service organisations offer Government endorsed apprenticeship programmes to young people aged 16 years and over.
Some Police organisations within the United Kingdom are working with people as young as 14 years of age.
These programmes undoubtedly provide exciting opportunities for young people to learn about the invaluable work that is undertaken by the emergency services and encourage them to consider a rewarding career path in these environments.
When inviting young people into the workplace, either for work experience or apprenticeship programmes, organisations need to carefully consider the health, safety and wellbeing of the young people for the duration of their stay.
This guidance note seeks to set out some of the main risk management factors that Blue Light organisations must consider when inviting young people into the workplace. These factors include:
For the purposes of this guide we are adopting the following definitions
Under health and safety law, every employer must ensure, so far as reasonably practicable, the health and safety of all their employees, irrespective of age. As part of this, there are certain considerations that need to be made for young people.
The term ‘so far as reasonably practicable’ means that organisations should strike a balance when considering the level of risk presented against the cost of control measures needed to control the risk.
Cost can be calculated in terms of money, time and resources. In general terms, organisations do not need to take action to control risk if it would be grossly disproportionate to the level of risk presented.
The Management of Health and Safety at Work Regulations 19993 clearly outlines the employer’s responsibility to:
Ensure that young people employed by them are not exposed to risk due to:
An employer must consider:
A robust and complete risk assessment is crucial to ensuring the safety of young people and compliance with the law. It is not sufficient to deliver to children and young people the same information, training, supervision and protection as other employees within the organisation.
Recognition as to their particular vulnerability must be highlighted and appropriate changes and additional safeguards put in place to ensure their safety and wellbeing.
It is not necessary for the employer to undertake a separate risk assessment for a child or young person, however, they must ensure that the current risk assessment appropriately considers risks for children and young people and where a young person has particular needs that these are appropriately assessed and met.
A robust risk assessment process should firstly acknowledge that young people may not recognise or be familiar with what can be deemed ‘obvious’ risks.
Furthermore, the assessment should take account of the work expected by the young person and their physical and psychological capacity to undertake such work.
Recognising that young people’s physiological thresholds will generally be lower than that of adults, significant consideration should be given to whether the young person will be exposed to any harmful substances which may be detrimental to health. This would include radiation and carcinogens. Where the assessment identifies such risks then any person under 16 years of age (child) must never be exposed to these types of hazard irrespective of levels of supervision or controls.
People undertaking the risk assessment process must be competent to do so, and ensure that control measures identified during the process are appropriate and effective.
In higher risk workplaces the burden for employers will be greater with more attention and supervision required and in some cases additional control and adjustments may be necessary.
There are strict guidelines governing the number of hours children can work. In short, children under 13 years of age are prohibited from working other than in some areas such as television, theatre and modelling. Children can only begin to work full time hours upon reaching the minimum school leaving age and then only up to a maximum of 40 hours per week.
Children below the minimum school leaving age must not be employed in industrial workplaces such as factories, construction sites etc. except when on controlled work experience placements.
Children and young people in the workplace on training schemes or work placements are deemed employees for the period of the placement. It therefore becomes the employer’s responsibility to report matters arising out of their work.
Further guidance is available.
Where volunteers will be working with children or vulnerable clients / service users, care must be taken to ensure the safeguarding responsibilities of the authority are met. The following risk control measures should be in place and included within the risk assessment process:
The work undertaken by young people directly for a blue light service will generally be covered by the authority’s public liability insurance.
Insurers will however want to be notified of the number of young people employed and the type of activity in which they are engaged. In particular insurers should be notified of any plans to use young people in activities that could be deemed higher risk.
With the increase in apprenticeships and the drive for organisations to recruit and support such schemes and the pressures for Blue light services to collaborate, it becomes highly likely that a service could find themselves collaborating with local authorities and other organisations who may have young people on work experience placements within their work places.
In these circumstances, Blue Light organisations must ensure that the young people will not be exposed to material which could adversely affect them and that proper provisions are in place to ensure that necessary checks have been conducted (see ‘Safeguarding’).
The following provides a summary of good practice which Blue Light organisations should use to measure the adequacy of arrangements for managing the risk of children and young people in the workplace.
The golden rule is that generally a child or young person should be afforded the level of information, training, supervision and protection as they need.