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Sunday, 30 August 2009

NHS GPs using 0844 numbers can change to 0344

Talk Talk confirms that NHS GPs using 0844 numbers can change to 0344 to comply with the forthcoming ban

We are promised a ministerial announcement on the outcome of a consultation about a proposed ban on use of revenue sharing 084 telephone numbers in the NHS within the next month.

Opal Telecom, the business services part of the Talk Talk Group, is the provider of the vast majority of the expensive revenue sharing 0844 telephone numbers improperly used by many NHS GPs.

Some have mischievously suggested that these GPs with 0844 numbers must be excluded from the forthcoming ban, BUT ... This is founded on the false understanding that their long term contracts with Talk Talk deny them the opportunity to simply move to a different type of telephone number in order to comply.


Opal Telecom (Talk Talk) has recently published a booklet advising customers about how they can change their telephone number, referenced from this page.

Revenue sharing on 0870 numbers was banned for everyone by Ofcom with effect from 1 August 2009; that is what prompted this publication. As some Talk Talk customers on 084 numbers face a similar ban in the near future, this same information is directly relevant to their situation.

  • Move to another number range” is advised as the way forward for those who do not wish to face the consequences of new regulations. The document lays out the options.
  • There is extensive reference to the 03 range, including confirmation that “Ofcom has reserved 034x numbers for customers with matching 084x numbers”. Changing only the second digit of the telephone number (0844 xxxxxxx to 0344 xxxxxxx) would ease many of the difficulties inevitably associated with a number change. Other ways of avoiding revenue sharing are also advised.
  • Talk Talk Group corporate values are said to include “Flexibility and understanding” and being “here for the long term”.
This shows that GPs will be able to readily comply with a ban, without being required to abandon existing systems or suffer contract cancellation penalties.

The Talk Talk Group states that it is ready to offer the necessary flexibility. Its understanding of the fact that the loss of revenue share income may create financial difficulties for its customers, and its desire to continue to serve the NHS for the long term, will doubtless ensure that it makes the most generous possible new arrangements for current and future NHS users of its services.

This may be further encouraged by a desire to avoid any embarrassment at having been part of what many see as a scam on the NHS. The false suggestion that its 0844 numbers guarantee callers a low rate, when that is clearly untrue for its own residential customers not to mention those with mobiles, will be remembered by the Department of Health officials who repeated it in a statement in 2005.

I am very concerned that as there has been no public discussion of this obvious solution for NHS GPs, it may not have been recognised. Major contributors to the Department of Health consultation, notably NEG Ltd – the provider of the “Surgery Line” system that is funded out of the revenue share on these numbers – and also the BMA, have made no reference to this option in their public statements.

My attempts to obtain reassurance that the Department of Health is properly aware of this option have received no response. I do not wish to pre-empt the forthcoming announcement, however I do not wish to hear it made without one of the primary elements having been dealt with. As stated above, Ministers have apparently been misled on vital issues relating to this matter previously.

Further to my previous briefings, this newly published document states that the number change option is indeed available. This information needs to be reported and circulated now to correct earlier misleading reports of GPs being tied in to contracts that prohibit a change of number. I have good reason to believe that some GPs have not been made aware that this option is available to them. It would be foolish to have to bring this matter up on the back of an announcement which falsely assumed that some GPs had to be granted immunity from a ban.

Saturday, 29 August 2009

Who “profits” from revenue sharing telephone numbers

Defenders of the use of revenue sharing telephone numbers commonly deny "profit" or "receiving income". These comments address that issue.

How do revenue sharing telephone numbers work?
How does this affect the caller?
How does this affect the recipient?
What is "profit"?
Who "profits" from use of revenue sharing numbers?

How do revenue sharing telephone numbers work?

When a telephone company connects a call to any number beginning 084 the amount they pay to the telephone company that terminates the call (the "termination fee") is inflated so that the revenue they earn can be shared with the receiving party. This arrangement is fixed according to the type of number - all 0845s are of one type, 0844s are of many different types. When someone selects a 0845 or 0844 number they are signing up for this arrangement and its consequences.

Note: Yet higher "termination fees" apply to calls to "Premium Rate Services" (087 / 070 / 09), which are regulated specially. The principle is however exactly the same.

How does this affect the caller?

Because higher costs are involved the telephone company needs to recover this money. This is normally by the imposition of higher call charges and exclusion from call packages. For various reasons, BT deals with this in an odd way – see BT charges may vary from others. The essential truth is that the caller is paying, probably directly, for the benefit delivered to the person called.

In some cases, charges for all "non-standard" numbers are lumped together in a single rate that reflects the much higher costs involved in calling "Premium Rate Services". In this situation the premium paid is due to, but quite disproportionate from, the amount paid as revenue share.

How does this affect the recipient?

The way in which the revenue share benefits the recipient is a matter between them and their telephone company. This is commonly seen as being commercially confidential.

Typically the revenue share is first used to offset the costs of providing the incoming telephone service, which may include a number of additional features such as redirection and call queuing. Where an advanced private telephone network is provided it is likely that the full value of the revenue share would be taken up in offsetting these costs.

The revenue share may also be used to offset costs for unrelated services from the same provider, such as outgoing calls, or other incoming calls on 0800 numbers.

After other services have been fully paid for, a balance may be due to the recipient from the telephone company. In some cases this may be assigned to cover the costs of independently provided local telephone services, e.g. a local exchange and other telephone equipment. This is what happens in the case of the "Surgery Line" system used by many GPs.

Whatever may be received as cash "income" by the call recipient, it is unlikely to be the full value of the financial benefit obtained from use of a revenue sharing number.

Anyone who claims to have forgone any benefit whatsoever is suggesting that they are gifting that benefit back to their telephone company. There is no way that any such decision can have any effect on the cost to callers.

What is "profit"?

For a trading body, "Profit" is generally understood to be what remains from income after expenses have been deducted. Any specific financial arrangement that increases income or reduces expenses is reasonably said to be a contribution to "profit".

Many users of revenue sharing numbers are not trading bodies and therefore cannot declare a "profit". Examples are NHS trusts, government departments, local authorities and most other public bodies.

In deciding what is "profit" it is important to identify the specific financial arrangement that one is referring to. In this case it is important to isolate use of a revenue sharing number as against use of a number that does not provide revenue sharing, rather than referring to the service which uses the number.

Providers of "Premium Rate Services" would generally expect to generate a profit from the service, i.e. income from incoming calls would more than cover all of the costs involved in providing the service. A service that uses a revenue sharing number would have its costs partially offset, but would be unlikely to produce an overall positive return. For example, if a new government helpline were to be set up using a revenue sharing number one would not expect the benefit from use of a revenue sharing number to more than cover all of the costs associated with providing the service.

For this reason, I always try to refer the fact that the costs of a service are SUBSIDISED by use of revenue sharing numbers. In many cases that subsidy will contribute to "profit", however the word "subsidy" avoids the potential for denial due to the wider implications of the word "profit".

"Subsidy" by callers is equally unacceptable in the cases where use of revenue sharing numbers is rightly attacked.

Who "profits" from use of revenue sharing numbers?

Apart from users who can apply the subsidy obtained as a contribution towards a "profit", as described above, others can profit.

Mobile telephone companies commonly impose call charges with a premium that more than exceeds the additional costs involved. Rates for calling revenue sharing numbers are rarely a strong feature in the marketing of telephone services. Competition is seen to apply to rates for calling ordinary numbers, so these are kept low. Calls to revenue sharing numbers are also excluded from both bundled and unlimited packages. Whilst the additional cost involved in placing calls to revenue sharing numbers is much less than that for Premium Rate Service numbers, a common rate is often applied.

Those providing revenue sharing numbers obviously seek to profit (quite properly) from this aspect of their business. Consumer misunderstanding about the cost of calling these numbers is however exploited by those who promote adoption of these numbers by suggesting that all callers pay low rates to call them. Unfairly selective examples of call charges and reference to historic features such as "local rate" are used and then picked up by users of the numbers to mislead.

Perhaps the worst example is those who promote "self-funding" telephone systems. It is indeed possible to fund telephone service and associated local equipment out of the revenue share. The money must however come from somewhere! In the case of the "Surgery Line" system promoted to NHS GPs by Network Europe Group, it is not a gift from Talk Talk, the provider of the revenue sharing telephone numbers. It is simply passed on by Talk Talk, after taking its own slice, from the inflated termination fees paid to Talk Talk by the call originating telephone companies. All such companies, including Talk Talk, invariably recover this money through higher call charges to their customers – in this case, NHS patients accessing NHS services from their NHS GP.


Not all use of revenue sharing numbers produces cash "income" for the user. The financial benefit is often exclusively, and always to some degree, achieved by the reduction of costs.

Whilst the term "profit" is appropriate in some cases and improper denial should be strongly challenged, I strongly suggest that the word "subsidy" be used to describe the financial benefit achieved by users of revenue sharing telephone numbers.

Profit may be properly denied where it is with reference to a service overall or to a non-trading body. Subsidy may not.

Thursday, 27 August 2009

BT charges may vary from others

It is common practice for users of revenue sharing telephone numbers to quote a charge levied by BT, accompanied by the statement “other providers may vary”.

This is misleading, especially when referring to the BT charges for calls to revenue sharing 0845 and 0844 numbers, because only they are regulated. It is BT’s charges that vary from the pattern applied by other landline service providers (notably Virgin Media) as well as all of the mobile providers.

When seen in relation to its charges for calls to “normal” 01/02/03 numbers, which are not regulated, the BT charges for these calls have been atypical for many years. This perverse difference will pass a significant landmark when the latest set of BT price increases come into effect on 1 October 2009.

What does BT charge for these types of calls?

Different tariffs apply to “business” and “residential” subscribers. I refer here only to the latter, and consider only the general situation.

Those who quote BT prices have three different bases from which to take their figures.
  • The “Standard” tariff – the name sounds appealing, but this is only a model which applies to almost none of BT’s actual customers, the vast majority of whom subscribe to “Call Plans”.
  • Calls within a Call Plan – Call Plans are in effect at certain times, according to the plan selected: Anytime, Evenings and Weekends or Weekends only. No additional charge is made for calls that fall within the terms of the Plan.
  • Calls outside a Call Plan – For Call Plan customers, specific (not “Standard”) charges are made for calls that fall outside the terms of the Call Plan.
It is clear BT policy to encourage customers to subscribe to the most inclusive Call Plans. It has been steadily and significantly increasing the call setup fee and rate per minute (where possible) for all calls that fall outside Call Plans.

Figures from any one of these three may be described as being “the BT charge”.

How is BT different in respect of revenue sharing numbers?

For historic reasons, BT is exclusively subject to a regulation known as “the NTS Condition”. This covers calls to 0845 and 0844 numbers. (0870 was removed from this as part of the changes that came into effect on 1 August 2009.)

The pence per minute element of the retail price (excluding VAT) that BT may charge for these calls is fixed. BT is required to pay over the vast majority of this revenue to the telephone company that terminates the call (the termination fee). Other operators have to make similar payments, but are free to set their rates to obtain whatever margin they wish.

BT is now similarly free to take whatever margin it wishes on calls to “normal” 01/02 numbers. Calls to 03 numbers can be charged at no greater rate – this is a regulatory requirement on all operators. The call setup fee that BT charges for all calls outside the terms of a Call Plan is not regulated.

How does this difference show itself? – (1) 0845 numbers

For many years the regulated BT charge for calls to 0845 numbers has been less than the unregulated charge it chooses to set for calls to 01/02/03 numbers. This is despite the fact that 0845 calls cost BT much more in termination fees.

From January 2009 BT included calls to 0845 numbers within its Call Plans. The prices of all the Call Plans was increased shortly afterwards (presumably to accommodate this change). The cost of revenue sharing is therefore now being carried by all subscribers to BT Call Plans. Ofcom has yet to address the impact that this has on the application of the NTS Condition, as the prices for Call Plans are not regulated.

Because the BT margin on calls to 0845 numbers is regulated to be very small, it had relatively little to lose by making this move. Suggesting that competitors should follow this lead is plain cheeky.

There are a few competitors who invariably mirror BT pricing structures. They not only charge the perverse lower rates for calls to 0845 numbers but have also added them to their equivalent of the BT Call Plans. One has to assume that they manage to achieve this by also mirroring the extensive cross-subsidy that BT relies on to produce an overall profit.

How does this difference show itself? – (2) 0844 numbers

From 1 October 2009 the cost of a weekday daytime call to a “normal” (01/02/03) number will increase to 5.2p per minute (including VAT at 15%) for calls by Call Plan subscribers that are outside the terms of the particular Call Plan (e.g. weekday calls for those on the weekend-only Call Plan).

The rate for the most expensive type of 0844 number, as used by many GPs, will remain fixed at 5p per minute including VAT at 17.5% - currently 4.894p per minute, including VAT at the temporarily reduced rate of 15%. This applies to all BT customers at all times – calls to 0844 numbers are never inclusive under a Call Plan, or indeed any other package from any provider.

This will be the first time that calls to all revenue sharing numbers have been seen to be cheaper than the charge imposed for calls to “normal” numbers.

One awaits this being seized upon by those who benefit from the revenue share on 0844 numbers, as evidence that calls to them are cheaper than “normal” calls. Such an observation would disregard the following significant factors:
  • BT would stand alone in this situation (with those few who may shadow it)
  • It does not apply with reference to Call Plan inclusive calls (which do not include 0844)
  • Having increased by 33% in 12 months, the rates for calling “normal” numbers are clearly intended to be penal for those who call outside the terms of their Call Plan. The equivalent associated call setup fee has increased by 56% (both percentages are based on VAT exclusive rates). Such a price increase cannot be justified on any other basis.
A level of charge that so clearly represents some sort of penalty cannot reasonably be used as the base point for a normal comparison. I cannot however see this consideration preventing such a comparison being made by someone keen to make a point.

What do other providers do?

Whilst cross-subsidy is not unique to BT, most charges for calling 0844 and 0845 numbers reflect the pattern of the cost involved more closely.

The increased cost of the higher termination fees that support revenue sharing are (not unreasonably) generally reflected in higher call charges. Similarly, calls to 0844 and 0845 numbers are not covered by call inclusive packages. This is because the greater cost would inflate the cost of the packages disproportionately. (Virgin Media offers premium packages of pre-paid call minutes which cover 0844 and 0845 calls, but along with calls to mobile and premium rate service numbers!)

Cross-subsidy is seen to work in the opposite direction with the mobile providers. Charges for calls to “normal” numbers are a focus of competition and are therefore kept low. Charges for calls to revenue sharing numbers are inflated to provide a much greater margin than would be obtained pro rata by adding the cost of the inflated termination fee to the charge for a call to a “normal” geographic number. The greater use of a variety of limited and unlimited call packages in mobile tariffs, from which 0845 and 0844 calls are invariably excluded, typically makes the differential even greater.


In a simple world the higher costs incurred by call originating telephone service providers in providing a revenue share to recipients through their telephone company would be invariably and visibly reflected in a higher charge seen by callers.

The above should have provided an explanation of why BT charges for calling all 0845 and 0844 “revenue sharing” numbers are atypical. Sadly, this is not simple.

Part of this is due to regulation, which effectively causes BT to have to inflate the margin it takes on other calls. These prices for other calls, when chargeable, are also inflated to encourage subscription to more extensive Call Plans.

Because other providers are not constrained in this way they (more naturally) reflect the higher costs they incur in originating calls to revenue sharing numbers in higher charges.


The “NTS Condition” which was intended to provide price predictability (at higher than normal rates, for added value services) when BT was the predominant provider of telephone services is now seen to have totally perverse effects. It needs to be reviewed.

Despite BT still being the largest provider of telephone services by some way, the structure of its charging is seen to be totally atypical. It is therefore wholly unsuitable for its call charges to be seen as exemplary.

Tariff examples

Apart from the one example necessary to demonstrate the landmark that will be passed on 1 October, I have avoided reference to specific rates in these comments. I present them as holding the essential points that can be deployed with reference to any specific example.

If used to present an argument by themselves, these comments would be helped by meaningful illustrations using examples of frequently used tariffs. Confident in the essential truth of the statements made, I do not possess the evidence necessary to show which of the hundreds of detailed tariffs published by the various providers (or indeed the many tariffs that lack essential detail) would represent meaningful examples. I do not wish to undermine the points made here by opening myself up to challenge on the validity of examples that I may select in support of them.

 Furthermore, comparison with the cost of “normal” calls is not easily expressed numerically when considering inclusive packages, which have a significant part to play in current telephone charges.

 I would be happy to assist anyone who does hold the necessary information to enable something more comprehensive to be prepared.

Wednesday, 26 August 2009

Tax credits boss orders: Keep callers on the line

My involvement in the issue of revenue sharing telephone numbers is not restricted to the NHS. I offer the following observations on a closely related issue. These words are derived from the text of an email message to relevant parties.

I was very disappointed to read this article - Tax credits boss orders: Keep callers on the line, from the Mail on Sunday.

The source for the story probably fails to appreciate that HMRC does not gain proportionately from the charges incurred by callers if call durations increase. Whether a caller is paying nothing extra (e.g. on a BT call plan) or at the 40p per minute rate applied by some mobile companies makes no difference. The revenue share that is received by its telephone service provider does increase at a relatively flat rate.

When looking at the overall cost / benefit implications of any procedural change, I would imagine that whatever benefit is achieved on account of the use of revenue sharing numbers would be relatively insignificant when set against, for example, personnel costs per minute. I am not therefore drawn to accept the conspiracy “profit” theory suggested by the article.

The point about the impact on callers is however sound. If any change in policy has increased the duration of calls (especially if this is time when there is no conversation taking place), then the cost to the caller must be a major factor in consideration of whether it is appropriate.

I note that Linda Maslen, who is quoted in the article, has worked with the Contact Council of the Cabinet Office on guidance for Contact Centre Accreditation. Not only would this lead one to assume that the demands of the “public mandate” requirement for accreditation would preclude introducing wasted “air-time” for the caller, but also that she was fully in touch with the activities of the Council, through Chris Hopson, its HMRC representative.

For this reason it is astonishing, as well as deeply disappointing to hear her quoted, or permitting a colleague, to say “HMRC do not receive any payments from any service provider in respect of 0845 numbers.” Whatever the degree of factual accuracy of the careful wording of this statement, the briefing from the Contact Council - Clarification Statement on Telephone Number Ranges - should have put an end to this type of misleading nonsense being put about.

The Contact Council briefing makes it clear that "For 0845 numbers, the charge made to the caller is either retained by the TCP or shared with the department receiving the call. All departments are required to know who retains this additional revenue and to ensure transparency to the public." (I sincerely hope that the HMRC statement is misleading, because if HMRC receives no benefit then this is even worse; see below.)

A well briefed reporter followed up on the initial statement by inviting comment on what HMRC allowed Cable and Wireless to do with the additional revenue that results from the decision to use revenue sharing, rather than 03, numbers. (This decision has been in effect for the last two years, since 03 numbers came into use.) Whereas NHS Direct has confirmed that the extra revenue is all retained by its provider and the DWP confirms that it is offset against other charges, HMRC pleads commercial confidentiality – a plea which would presumably cover any form of impropriety.

It may be fair to conclude that if direct payments were being received then commercial confidentiality would have prevented this from being admitted. If considerations of commercial confidentiality do not prevent HMRC from confirming no direct receipt of payments, one may assume that indirect receipt of benefit would also have been denied if it were not occurring.

By demanding transparency, the Contact Council is working to ensure that every case where a) public sector bodies take subsidy from telephone callers is properly explained and justified. It follows that the situation must be promptly corrected where no adequate justification can be offered. Those who use revenue sharing numbers with the consequent additional expense to callers, whilst b) allowing telephone companies to retain all the benefit must be immediately called to account for this gross abuse and neglect of duty. The Contact Council is currently collecting evidence from all departments and has a duty to ensure that any serious evidence of the latter is dealt with appropriately.

I note the strongly worded comments of John Mann MP, "This is a way of sneakily milking the poorest at a time when they are at their most vulnerable." Mr Mann reminds us that parliament and Ministers have a role in this matter. Whilst the former cases (a) may have to be considered by the relevant Departmental Select Committee (The Treasury Select Committee in the case) and the Public Administration Select Committee (in general), the latter (b) must be referred immediately to the NAO and the Committee of Public Accounts. None can be allowed to sit in limbo between the two.

We must end the double-speak on this issue. If use of revenue sharing telephone numbers is justifiable, then let it be justified. If not, then let it cease, as swiftly as is possible. (Referring to the perverse and wholly atypical BT tariffs and saying “we receive no income” is not a justification.)

Thursday, 20 August 2009

Looking forward to the end of use of 084 numbers in the NHS

We are promised that at some unspecified time in September, "the Minister", perhaps Mike O'Brien, or the Secretary of State for Health, Andy Burnham, will make an announcement. This will cover the "outcome" of the consultation on a proposal to ban use of (revenue sharing) 084 telephone numbers in the NHS that concluded in March. The announcement will be made in parallel with publication of the Department's formal response to the consultation. Has publication of the response been delayed so as to avoid stealing the thunder of the Minister? If so, then he will perhaps be making a long-awaited and highly positive statement - "The NHS is free at the point of need" (pause for cheers) "... and so we are going to clear up the mess that was made in 2005 when use of revenue sharing 0844 and 0845 numbers was not only permitted, but encouraged" (pause for sighs of relief and mutterings of "not before time" accompanied by those for whom this past faux pas came as news crying, "WHAT"!!) "..., but not yet.". I am concerned that the work done on this matter by the Department from January to July of 2008 and from December 2008, when the consultation was launched, up until now has still not managed to get the major player needed to contribute to a solution fully on board. Most major actual NHS bodies will have little difficulty in switching from 084 numbers, as they will have been preparing for it for some time. Local providers will mostly go (back) to geographic numbers. 03 numbers will be used for more widely based national services or those cases where the genuine technical benefits of non-geographic numbers warrant use of a 03 number. The 034 range is reserved for those cases where a simple migration is desirable. The main NHS Direct service on 0845 4647 could not sustain the cost of a major number change operation, as its days as a separate service are numbered anyway. Use of the ready 0345 4647 number as an alternative, running in parallel for as long as the service lasts will provide the necessary acknowledgement of the need for change.

The problems will doubtless be found with the private sector bodies who provide NHS services under contract, e.g. GPs.

The "major player" referred to is THE TALK TALK GROUP.

The business division of Talk Talk is sometimes known as Opal Telecom. Talk Talk is part of The Carphone Warehouse Group.

The Talk Talk Group provides around 1,000 revenue sharing 0844 numbers to NHS GPs, through its agent NEG.

The additional revenue derived from the premium charges invariably associated with calling these numbers is used towards funding various elements of the "Surgery Line" system. All elements of this system are sold on a lengthy contract, commonly 7 years. Many parties have urged the Department of Health to allow GPs with such contracts to retain their 0844 numbers until the end of the contracted term. If (or when) a ban on use of revenue sharing numbers is introduced, it would be totally unacceptable for some NHS providers to continue funding their operations with money derived from patients. It is unacceptable anyway, but perhaps apparently more so when others have ceased the practice, and are prohibited from taking it up. TALK TALK can help resolve this problem in two ways. Firstly, it is normal practice in the telecoms business for customers to be able to vary the terms of an existing contract by switching from one type of number to another. Every 0844 GP number could be readily switched to the 0344 equivalent with no disruption to the service. Talk Talk would simply need to confirm that such a variation to the terms of the contract is permissible in these cases. Neither Talk Talk nor NEG has responded to invitations to confirm that this possibility exists, nor has any denial, or reason to suppose that it is not, been offered. (The way in which a representative of NEG addressed the question in a TV discussion is typical.) If such a change were to be undertaken, there remains a problem, which is the second area where TALK TALK is well placed to assist. On switching from 0844 to 0344 GPs would find that the flow of funding from patients to pay for the elements of their telephone system had dried up. Rather than providing money from each call, Talk Talk would be levying a charge for the modest part of the system that it provides. This consequential variation to the terms is a normal feature of such a contract variation. The benefits derived from these systems are mostly obtained from locally installed equipment (quite independent of the exchange and number). This equipment is currently paid for (at least in part) out of the residual shared revenue. Some (notably the BMA) have suggested that telephone companies should provide the revenue share on 0844 numbers at no cost to the caller, at least in the case of NHS providers. This is a direct invitation to TALK TALK to continue paying over the revenue share (although it would no longer be receiving enhanced payments from callers' telephone companies) after the number had been switched to 0344. Looking at the position of TALK TALK, and the Carphone Warehouse Group, I suggest that such a request would be stretching its generosity too far. I would however expect some gesture to be seen to be appopriate in recognition of its role in a very unhappy situation - ripping off NHS patients, as some would see it. Offering the very best commercial terms to GP users (i.e. those that would apply if "the NHS" were a single customer) for the remaining period of their contract would be a modest step, that could perhaps be exceeded.

The "Surgery Line" systems themslves, although generally seen as being grossly over-configured and therefore very poor value for money, are understood to provide an effective solution for most of those who use them. It would therefore be most regretable if they all had to be removed, with high termination charges on contracts and leases being incurred by GPs. Some means of making up the funding shortfall has to be found in each case, given that IT IS UNACCEPTABLE FOR THE COSTS OF SURGERY EQUIPMENT TO BE MET BY PATIENTS.

If GPs end up having to complete contracts on a system that is found to be poor value for money at their own expense, they can have little complaint. They are only fulfilling the terms of an arrangement that they negotiated on behalf of their patients. Whilst they may be disappointed to be learn that that they had no right to commit patients to expenditure to fund their practice, they cannot complain about the level of cost that they committed to.

There may be scope for arguing that the Department of Health or their PCT improperly advised GPs that it was acceptable to use money from patients to pay for surgery facilities. If so, then anyone found to be responsible for such impropriety must accept their responsibilities. If pressed, this could become ugly. As a profitable business with a strong sense of public duty, TALK TALK could have a major part to play in retaining its customers and its public reputation. The more it is able to do to help, the less will be the need for a situation in which it has played a significant role to become 'difficult'. I fear that "the Minister" will make no reference to any such arrangement when he announces that those with contracts in place for revenue sharing telephone numbers will not be required to make the quite normal variation that is possible, but will be allowed to serve out the term of their contract for 0844 numbers from TALK TALK. Should this happen, I believe that those who escape the ban would be placed in an intolerable situation. Their patients will continually be able to point out that the charges they are levying have been deemed to be improper. Neighbouring practices, who have to meet the full cost of their telephone systems, will have grounds for claiming that they are suffering exceptional costs in meeting locally established standards. Amongst those in this situation will be many who perhaps misunderstood the situation that they were getting themselves into, or now regret the decision that was taken. That is no excuse, but they will be very keen to benefit from any way in which their options to move forward could be helped by collective action. It would be wholly unacceptable for the Department of Health to leave some practices stranded by not enforcing the requirement to adhere to the prinicples of the NHS universally and immediately. Assistance from TALK TALK is fundamental to achievement of this.

Sunday, 16 August 2009

David Hickson's NHS Patient Blog

Having been involved in public compaigning activites on matters of general public concern for some years, I have decided that now is the time to get into blogging. I contribute to discussion forums, have a campaign resource website and have been playing with Twitter. I put a lot of energy (and some powerful writing) into many emails that are not retained by the recipients.

The current campaiging focus sits within a much broader context, but relates to the shortly expected outcome from a public consultation undertaken by the Department of Heath from December 2008 to March 2009.

The consultation was on a proposal to ban use of revenue sharing 084 telephone numbers within the NHS. A "revenue sharing" telephone number is one which causes money to pass from the caller to the called party proportionate to the length of the call.

The manner in which this money is collected by the caller's telephone company and distributed at the other end varies. The confusion this creates is exploited by those who suggest that callers pay no extra and receivers receive no income. The transfer of funds may be difficult to see and may be obscured by other factors, however the prinicple stands and this is invariably what is happening (in one way or another) in every case.

Given this, one may wonder at the need for a consultation or any deliberation. The NHS is free at the point of need, is it not. That is true, however many NHS providers have been allowed to come to rely on the funding provided by revenue sharing and this cannot be switched off at a stroke without considering the impact. Furhermore, because the revcnue sharing process is tied to the numbers being used, many numbers will have to be changed.

In further postings I will doubtless be addressing many of the specific issues in detail and also widening the scope of the discussion. I will be covering other issues relating to the NHS being "free at the point of need", other public sector organisations using revenue sharing telephone numbers and many issues more than one step removed from the primary focus.

The name "NHS.Patient" is used simply to indicate my status as nothing more than one part owner of "our NHS". It is to be seen as being used with the indefinite, not definite article.

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