EX CATHEDRA | Safer Recruitment Policy & Procedures

Latest revision: June 2025

1. POLICY STATEMENT

We believe that anyone who participates and connects with us is entitled to feel safe, at ease, respected, and welcome. To support that belief, this policy is designed to ensure that we have appropriate procedures in place so that all individuals engaged in our activities who might be deemed to be in a position of trust are suitable to work with children and vulnerable adults.

Safer recruitment is just one strand of safeguarding and promoting the welfare of children and vulnerable adults within Ex Cathedra. It should be read in conjunction with the other documents on our website.

This policy does not form part of any contract of/for employment and it may be amended at any time. We may vary elements, such as any time limits, as appropriate in any case.

2. WHO IS COVERED BY THIS POLICY

People come to Ex Cathedra from a variety of pathways, including recommendations and shadowing, as well as auditions and formal applications. Before anyone can work (paid or unpaid) with us for the first time they must go through our safer recruitment process.

We recognise that all our musicians may be deemed by children and vulnerable adults to be in a position of trust. This policy therefore applies to all job applicants, employees, trustees, self-employed musicians and volunteers (including amateur singers). It will be applied fairly and consistently to meet our duties and responsibilities in relation to safeguarding, by carrying out suitable and appropriate checks. Ex Cathedra is proud of its strong relationships with individual contractors, freelancers and volunteer musicians.

The exact processes that we have identified as appropriate are set out in the sections below.

3. WHY THIS IS IMPORTANT, NECESSARY & PROPORTIONATE

Statutory guidance Working Together to Safeguard Children (DfE 2018, updated December 2020, July 2022, and December 2023) states that organisations providing services to children and / or their parents / carers, should have in place a number of arrangements as part of their duty to safeguard and promote the welfare of children.

In relation to safer recruitment, these arrangements include:

  • a culture of listening to children and taking account of their wishes and feelings,
  • safe recruitment practices for individuals whom the organisation will permit to work regularly with children,
  • appropriate supervision and support for staff, including undertaking safeguarding training (including a mandatory induction),
  • clear policies for dealing with allegations against people who work with children and young people (see our Allegations Management Policy).

The duty to safeguard and promote the welfare of children is stated in the Children Act 1989. In addition, many children’s service providers must comply with the Children Act 2004, particularly section 11 which includes ensuring that unsuitable people are not employed (including freelancers and volunteers) to work with children. The Care Act 2014 also requires organisations that work with vulnerable adults to have appropriate safeguarding measures in place to ensure that unsuitable people are not employed (including freelancers and volunteers) to work with vulnerable adults.

4. HOW WE WILL MANAGE THIS RESPONSIBILITY – OUR SAFER RECRUITMENT PROCEDURES

Ex Cathedra will apply robust selection and appointment processes to anybody who is working or volunteering in a role which gives them access to children or vulnerable adults. Given the extensive work we do with children and young people, including in performance, we have developed appropriate processes that include everyone involved in Ex Cathedra.

Anyone who is seeking to work with Ex Cathedra, whether in a paid or unpaid capacity, must be provided with the opportunity to self-disclose relevant information relating to non-protected convictions and/or cautions.

As a guiding principle, Ex Cathedra does not make any distinction in its approach between those activities which involve children and young people, and those which do not. There are several reasons for this, including to enable flexibility and fluidity of planning – e.g. children, young people and vulnerable adults may be invited at short notice to take part in performances and workshops, give pre-concert presentations etc.

A comprehensive list of convictions/cautions that are not protected, can be found at:

https://www.gov.uk/government/publications/dbs-list-of-offences-that-will-never-be-filtered-from-a-criminal-record-check

We will carefully consider the need to conduct a criminal records check, now known as a Disclosure and Barring Service (DBS) check, for each role, with the following options available:

  • Basic – contains details of convictions and conditional cautions considered to be unspent under the terms of the Rehabilitation of Offenders Act 1974.
  • Standard – shows filtered convictions, cautions, warnings, and reprimands that are held on the police national computer.
  • Enhanced – shows everything that the standard check does, plus some additional discretional information.
  • Enhanced With Barred List Check – shows everything that the Enhanced check does plus an additional check of the appropriate “barred list” for the work being done.

Ex Cathedra will refer to the DBS eligibility tool when making its determinations: https://www.gov.uk/find-out-dbs-check

Where an individual’s role includes ‘regulated activity’ (for more information on regulated activity, see https://www.gov.uk/government/publications/dbs-guidance-leaflets), we will require as a minimum an Enhanced DBS check, as well as the Safer Recruitment Declaration.

For all non-regulated activity roles, including freelance and volunteer performers, we will require the Safer Recruitment Declaration.

If an individual’s role is not deemed to be ‘regulated activity’ but Ex Cathedra believes that the role offers an opportunity for them to build up a relationship of trust, power or influence with a child or vulnerable adult, it may determine that a minimum of a Basic check is also required. Ex Cathedra recognises the limitations to the information contained within such checks.

The following sections outline the processes that will be applied according to role categories. Where an individual has roles that fall into more than one category, the most stringent check required will always be undertaken.

When an existing employee, trustee, volunteer or musician moves into a role that requires a more stringent check, this must be undertaken before they commence the new role. Regular communication within the organisation will facilitate this checking process.

5. RECORDING AND RETAINING DATA

5.1 Who has access to your data

Unblemished Safer Recruitment self-declaration forms, DBS certificates, and your confirmation of having read the Safeguarding Policy and Code of Conduct will normally only be available to the Designated Safeguarding Lead (DSL), Deputy DSL and General Manager. The Designated Trustee for Safeguarding checks the database is up to date with the DSL and DDSL, and that procedures are being followed as set out here and in our Safeguarding Policy.

Data is stored in a secure online account with login access limited to these people. The DSL, DDSL and safeguarding trustee are named in our Safeguarding Policy.

In the event of a blemished self-declaration or DBS check, the Designated Trustee for Safeguarding will be consulted and may invite you to discuss the matter as part of a Risk Assessment. Depending on how this matter progresses, the Board safeguarding sub-committee may meet to discuss and reach a decision on the Risk Assessment. This would be discussed with the individual, who would have the right to withdraw from the process at any time.

Where we believe it is necessary, we will refer any matters to appropriate external safeguarding agencies, such as the local safeguarding board, as set out in our Safeguarding Policy.

5.2 Retaining your data

We will retain all records in accordance with our Privacy Policy.

6. CONTRACTED THIRD PARTIES

Where Ex Cathedra engages third party organisations to participate in work involving children or vulnerable adults, it will require the third-party organisation to make a Safer Recruitment declaration on behalf of its individual members.

This will be communicated to the third party at the outset of negotiations.

If the third party is unable or unwilling to make this declaration, the engagement will not go ahead with that party.

7. MONITORING AND REVIEW OF THE POLICY

We will regularly review the effectiveness of this policy to ensure it is achieving its stated objectives.