Finding a Registered Manager & Nominated Individual

An inspection-ready guide for UK children’s homes (with responsibilities matrix).

Last updated: 20 December 2025.

Purpose: to help providers appoint an effective Registered Manager (RM) and Nominated Individual (NI), with clear accountability and evidence-ready oversight.

This is general guidance (not legal advice). Always align with your organisation’s policies and professional advice.

1) Role clarity in plain English

Registered Manager (RM)

Owns day-to-day leadership

  • Leads daily operations, staff practice, routines, and culture.
  • Makes safeguarding decisions in real time (and records actions clearly).
  • Ensures care planning, risk management, medication, incidents, and staff supervision happen consistently.
  • Maintains evidence that the home’s practice matches its policies.

Look for: calm judgement, safeguarding curiosity, coaching leadership, evidence discipline.

Nominated Individual (NI)

Owns provider oversight

  • Provides governance and accountability on behalf of the provider.
  • Ensures the home is properly resourced and monitored (audits, actions, learning).
  • Challenges and supports the RM with regular oversight meetings and documented follow-up.
  • Can clearly explain how the provider knows what is happening in the home.

Look for: consistency, ability to challenge, understanding of quality monitoring, data-led oversight.

2) What “good” looks like in interview

Safeguarding
  • Scenario judgement
  • Explains actions, timescales, escalation routes.
  • Balances empathy with boundaries and risk.
  • Can evidence learning from incidents.
Leadership
  • Culture & performance
  • Runs supervision properly and on time.
  • Coaches staff, tackles drift, sets standards.
  • Builds stable rotas and reduces agency reliance.
Evidence
  • Inspection readiness
  • Speaks confidently about audits, actions, outcomes.
  • Can point to examples of improvement work.
  • Records are consistent, timely, and child-focused.

3) A practical recruitment process

  1. Define outcomes: what the home must improve (culture, stability, safeguarding, quality assurance, placements).
  2. Write a values-based advert: include “how we lead” not just tasks (trauma-informed, restorative practice, safeguarding curiosity).
  3. Screen for evidence: ask for examples of audits, supervision cadence, incident learning, improvement plans.
  4. Run a scenario interview: safeguarding concern + staff performance + child missing episode (or similar).
  5. Set a practical task: “review these 3 anonymised logs and identify risks, actions, and improvements.”
  6. Verify oversight fit (for NI): confirm availability, governance rhythm, reporting, and decision authority.
  7. Onboard with structure: 30/60/90 day plan, clear KPIs, supervision schedule, audit calendar.

Tip: require both RM and NI to describe the home’s key risks and improvement priorities — answers should align (but not sound rehearsed).

4) Responsibilities matrix (RACI)

RACI key: R = Responsible (does the work) • A = Accountable (owns the outcome) • C = Consulted • I = Informed

AreaLeadNIRMNotes
Governance & accountabilityNIAISets governance framework, ensures compliance oversight; RM implements locally.
Daily operational leadershipRMIA/RLeads day-to-day running of the home and staff on shift.
Safeguarding decisions (immediate)RMCA/RActs on concerns, referrals, strategy meetings, ensures timely actions.
Safeguarding oversight & trendsNIARMonitors themes, ensures provider learning and resources.
Care planning qualityRMIA/REnsures plans are accurate, reviewed, outcomes-focused.
Quality of practice monitoringNIARCommission/receive audits, challenge and support RM, track improvement.
Staff recruitment (home level)RMCA/RShortlists, interviews, assesses values/competence, recommends hires.
Staff recruitment (provider controls)NIA/RCEnsures safer recruitment framework, approvals, resources.
Induction, supervision & appraisalRMIA/REnsures supervision cadence, capability, training compliance.
Training strategy & budgetNIA/RCSets training expectations, monitors completion, funds delivery.
Reg 44 visits (independent)ExternalIIIndependent visitor completes Reg 44; RM supports access; NI monitors actions.
Reg 45 Quality of Care ReviewNIA/RCProvider review of quality; RM provides evidence and improvement plan.
Incident management & notificationsRMIA/RRecords, investigates, notifies (Ofsted/LA as required), debriefs staff.
Complaints handling (home)RMIA/RManages complaints locally, resolves, records outcomes.
Complaints oversight (provider)NIA/RCReviews themes, ensures independence/escalation, monitors timeliness.
Policies & procedures (provider-wide)NIA/RCApproves/updates policies; ensures version control and dissemination.
Policy implementationRMIA/REmbeds policies into practice through training, supervision, audits.
Budget & resourcesNIA/RCEnsures staffing levels, resources, maintenance funding.
Maintenance & environment standardsRMIA/RLogs defects, ensures repairs, checks health & safety compliance.
Multi-agency relationshipsRMCA/RLeads professionals meetings, builds partnerships, escalates concerns.
Inspection readinessBothAARM leads evidence at home; NI ensures oversight, governance and improvement tracking.
Data reporting & MINIA/RCDefines KPIs and reporting; RM supplies accurate and timely data.

5) Ready-to-use templates

Weekly RM–NI oversight agenda (45 mins)
  1. Safeguarding dashboard: referrals, missing episodes, restraints, allegations, patterns.
  2. Incidents & learning: themes, actions, staff debrief, child impact.
  3. Staffing: supervision completion, training gaps, recruitment, agency use.
  4. Quality: audit findings, actions due, care plan reviews, complaints.
  5. Placement stability: admissions/ends, key risks, MDT meetings.
30/60/90 day plan (RM)
  • First 30: baseline audit, safeguarding assurance check, supervision schedule, key files review.
  • 60: implement improvements, evidence outcomes, staff coaching, refine routines.
  • 90: embed QA rhythm, improve stability metrics, prepare inspection pack.

6) Quick red flags

  • Cannot explain safeguarding decision-making or timescales clearly.
  • Blames “staffing” for everything without a plan to coach, recruit, and stabilise.
  • Overconfident answers with little evidence of audits, actions, or learning.
  • NI is unavailable, unclear on oversight rhythm, or “delegates everything” with no monitoring.
  • No consistent record-keeping habits (late logs, vague actions, missing follow-up).

Document: Finding a Registered Manager & Nominated Individual (UK Children’s Homes)