Results 1 to 4 of 4

Thread: Blood Compliance Reports 2019

  1. #1
    Forum Member
    Join Date
    Sep 2018

    Blood Compliance Reports 2019

    The compliance report and declaration forms for Hospital Blood Banks and Blood Facilities (01st April 2018 to 31st March 2019) are now available on the MHRA website as below and must be completed and submitted by 30th April 2019.

    Please note that late submissions increase the risk score applied to the site.

    Changes have been made to the submission process for 2019 BCR and Blood Facility Declaration Form to have separate mailboxes. Please read below.

    For hospital blood banks, it is a requirement to complete the compliance report and the declaration form. A change in approach to blood compliance report assessment was introduced during 2015 which saw a removal of the majority of questions requiring free-text responses. You will note that some sections are not available or some question numbers do not appear to be in order in some sections. Please ensure all the available questions on the BCR are answered and submit your completed BCR as outlined in the 2019 Hospital Blood Bank Compliance Report Guidance Notes. The guidance notes have been revised to include detailed instructions and clarification to some of the questions. Please read the guidance note prior to completing the BCR.
    Hospital blood banks should submit their completed BCR and Hospital Blood Bank Declaration Form to with email subject heading ‘Full Hospital Name – BCR 2019’.
    (Please ensure the email includes 1 BCR and the declaration form for that hospital name, with additional information related to the blood bank ONLY. Do not send multiple BCR and declaration forms within the same trust in one email)

    For blood facilities, the blood facility declaration form must be completed and sent to the MHRA at a separate mailbox with email subject heading ‘Full facility name – DEC 2019’.
    (Please ensure the email only includes 1 Blood Facility Declaration Form for that facility name. The Declaration Form should be signed and dated, and submitted after 01 April. This is to confirm the reporting year of 01st April 2018 to 31st March 2019 is covered. Any declaration form submitted before 01 April will be deleted, resulting in no submission.)

    Following the BCR assessment, Hospital Blood Banks will be provided with a BCR Assessment Confirmation Letter to confirm that assessment has been completed, without indicating the outcome (i.e. inspection or no inspection). The level of compliance determined will be used to inform the inspection programme for 2019/2020. The Hospital Blood Banks selected for inspection will be contacted by the inspectors to arrange a date. All inspections will be performed with a maximum of 7 days’ notice.

    A compliance letter, confirming the operations are accepted as in general compliance with the requirements of the BLOOD SAFETY AND QUALITY REGULATIONS 2005/50 as amended, will be sent to the “no inspection” sites in April 2020.

  2. #2
    Forum Member
    Join Date
    Nov 2016
    Just seeking some clarification relating to the requirement to complete the Facility Declaration form. Given that only 111 out of 808 for last year were completed suggests we are not alone.
    Our Trust supplies a number of other organisations with blood components etc, so classed as a facility, but conversely we have within our SLA that we control the monitoring of the temp controlled storage device, do their SABREs and also maintain records of transfusion. Do our "facilities" therefore need to complete a form? If so does the form need to be completed and directly sent by them or do we pursue with them?
    Could the questions in Section R be worded in such a way that if yes is answered to any of the questions, then a prompt appears to complete the facilities form.
    Thanks in advance.

  3. #3
    Forum Member
    Join Date
    Jul 2017
    This is a good question that I would like to know more on.
    From our SLA with these locations I have always had this in place

    • "Site A" will pay the agreed fee to "Hospital" for carrying out key tasks (as above in "Hospital" responsibilities) which will exempt "Site A" Hospice from being classified by the MHRA as a Blood Facility

    “HOSPITAL” responsibilities:

    • “HOSPITAL” will ensure that "Site A" is provided with a copy of the current Trust Transfusion Policy (XXXX) and that "Site A" will be informed in a timely manner of any changes to blood transfusion practice
    • “HOSPITAL” will report all serious adverse reactions and events to the Serious Adverse Blood Reactions and Events (SABRE) scheme on behalf of "Site A"
    • All cold chain and traceability records will be maintained by “HOSPITAL”
    • “HOSPITAL” will temperature map all blood transport containers once per annum
    • “HOSPITAL” will complete the annual Blood Compliance Report (BCR) for submission to the MHRA on behalf of "Site A"


  4. #4
    Forum Member
    Join Date
    Nov 2016
    Surrey, UK
    Hi All,
    I have to confess that I was somewhat confused by this too. However, if you look at this as a 'quality improvement' activity then it makes sense in that responsibilities for compliance is shared with the SLA sites and relies on timely communication etc .Its all very well having SLAs in place but does anyone actually remember or understand their part? I think its a good move for sites to submit a declaration and I have asked mine to copy me in when they finally return their forms, not sure if this is the correct approach, but we are all learning. One of my sites had enthusiastically completed their declaration last week and were a little disappointed when it was mentioned the declaration had to be dated and sent in April as per the guidance notes- you have to smile! but at least they are trying.
    I'm sure an email to would help clarify further.
    Last edited by Rashmi; 19th Mar 2019 at 11:44 PM.

Posting Permissions

  • You may not post new threads
  • You may not post replies
  • You may not post attachments
  • You may not edit your posts