United Kingdom1468 days leftOpen

Children in Care & Care Leavers Flexible DPS

Tender Overview

LOCATION

United Kingdom, United Kingdom

VALUE

Not disclosed

DEADLINE

February 09, 2030 at 12:00

CATEGORY

Other

CPV CODE

85311000

REFERENCE

004278-2023

Project Timeline

Contact Information

View Original

Original Tender Description

The London Borough of Sutton have developed a commissioning strategy to build and strengthen the Authority's successful accommodation and support offer for children and young people in our care and care-experienced young people. A priority is to ensure good quality, local provision of placements, accommodation and support, informed by our children and young people, which offers choice and makes best use of available resources. The Authority is seeking to develop key trusted partner relationships to address market challenges. We will introduce a differentiated provider relationship model to enable and incentivise targeted investment of resources and partnership working with key trusted providers to support continued improvement of placement quality and sufficiency. The Authority is setting up a Flexible DPS for the delivery of Children in Care and Care Leavers services which will be commissioned in accordance with Regulation 74 of the Public Contract Regulations 2015 (Light Touch Regime for Health and Social Care) which provide that Contracting Authorities can deviate from the standard procurement procedures and design their own procedures (according to their own needs). The DPS is Lot based and will provide successful suppliers with opportunities for individual placement referrals throughout the term of the DPS. There will also be opportunities to tender for contracts for Directly Commissioned Services by way of mini competitions inviting successful Suppliers within the Lots to which the opportunity applies. Calling off Services from the Flexible DPS During the Term: Services will be called off from the DPS by issuing Independent Placement Referrals to DPS Suppliers via email where they will be invited to respond with placement offers which will be selected via a matching process. The Authority provides no guarantee of any work to any successful Tenderer appointed to the flexible framework agreement. The Authority anticipates that during the term of the DPS agreement Directly Commissioned Contracts may also be called off subject to a mini-competition process the details of which, including a detailed mini-specification will be published at the point of mini-competition via the E-Tendering System. These mini competitions for targeted service offers for groups of children and young people with a shared placement need will be run using the list of providers established on each lot of the DPS. This is different to the individual placements that will be made from the DPS.
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MANDATORY EXCLUSION GROUNDS

  • No specific mandatory exclusion grounds are detailed in the provided information. Bidders should refer to the full tender documents for standard grounds under Public Contract Regulations 2015.

ELIGIBILITY REQUIREMENTS

  • Be a supplier capable of delivering Children in Care and Care Leavers services.
  • Apply to the relevant Lots within the Flexible DPS.
  • Comply with Regulation 74 of the Public Contract Regulations 2015 (Light Touch Regime for Health and Social Care).
🔧

TECHNICAL CAPABILITY REQUIREMENTS

  • Demonstrate capability to deliver accommodation and support services for children in care and care leavers.
  • Demonstrate capability to provide good quality services.
  • Demonstrate willingness and capability to engage in partnership working and continuous improvement of placement quality and sufficiency.
  • Demonstrate a service model that can be informed by children and young people.
💰

FINANCIAL REQUIREMENTS

  • No specific financial requirements (e.g., minimum turnover, insurance levels) are detailed in the provided information. Bidders should refer to the full tender documents for any such requirements.
📋

SUBMISSION REQUIREMENTS

  • Access and use the E-Tendering System for the initial application to the DPS.
  • Respond to individual placement referrals issued via email with placement offers.
  • Participate in mini-competitions for Directly Commissioned Services via the E-Tendering System.
  • Clearly indicate the Lots for which the supplier is applying.

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PDF
Official PDF Version
PDF004278-2023_official.pdf
Summary:
This official contract notice from the London Borough of Sutton announces a Flexible DPS for Children in Care & Care Leavers services, detailing the procurement scope and directing interested suppliers to the full tender documents online.

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62
Good

Tender Quality Score

This tender establishes a Flexible Dynamic Purchasing System (DPS) under the Light Touch Regime for social care services, aiming to build a network of trusted partners for children in care and care leavers. While the DPS structure promotes market access, the provided information is significantly incomplete, lacking essential tender documents and detailed criteria.

Score Breakdown

Legal Compliance100/100

The tender correctly identifies the use of Regulation 74 (Light Touch Regime) for health and social care services, allowing for a flexible procedure. The use of a DPS is appropriate for this type of ongoing service need. However, the absence of full tender documents makes a complete assessment of legal compliance impossible.

Absence of full tender documents prevents comprehensive legal compliance assessment.
Clarity40/100

The description clearly outlines the purpose and operational model of the DPS, including the two-tier approach of individual referrals and mini-competitions. However, the lack of detailed requirements for exclusion, eligibility, technical, and financial aspects, along with missing evaluation criteria, creates significant ambiguity for potential bidders.

Lack of detailed requirements (exclusion, eligibility, technical, financial)
Absence of evaluation criteria
Completeness66/100

The provided information is severely incomplete. Crucial tender documents are entirely missing, as are specific financial requirements, detailed mandatory exclusion grounds, and, most critically, the evaluation criteria for both initial DPS admission and subsequent mini-competitions. The estimated value and contract duration are also absent.

No tender documents attached
Missing detailed mandatory exclusion grounds
Fairness60/100

The DPS structure itself is designed to promote fairness by allowing new suppliers to join throughout its term, fostering competition. However, the absence of clear, detailed requirements and evaluation criteria could lead to arbitrary decisions, potentially undermining fairness. The emphasis on 'key trusted partner relationships' and a 'differentiated provider relationship model' could, if not transparently managed, favor incumbent providers, though the DPS mechanism mitigates this somewhat. There is no explicit indication of tailoring for a specific company, but the lack of detail raises general fairness concerns.

Absence of clear and detailed evaluation criteria could lead to arbitrary decisions
Potential for lack of transparency in 'differentiated provider relationship model' if not clearly defined in full documents
Practicality20/100

The DPS model is practical for ongoing, flexible procurement of social care services. The use of an E-Tendering system for initial applications and mini-competitions, alongside email for individual referrals, suggests a streamlined process. However, the current lack of detailed information makes it impractical for potential bidders to prepare a meaningful application.

Impractical for bidders to prepare applications without full tender documents and detailed requirements
Data Consistency100/100

There is a minor inconsistency between the 'Restricted' procedure label and the 'Flexible DPS' nature, which typically allows for open entry throughout its term. While a DPS can be established under a restricted procedure initially, its nature is more open. The automated check also flags 'No e-submission' while submission requirements mention an 'E-Tendering System,' suggesting a potential misinterpretation by the automated tool or incomplete data.

Minor inconsistency between 'Restricted' procedure label and 'Flexible DPS' nature
Automated check 'No e-submission' contradicts 'E-Tendering System' mentioned in submission requirements
Sustainability25/100

The tender mentions 'Social Criteria' as a characteristic, which is a positive indicator for sustainability. The focus on 'good quality, local provision' and services 'informed by our children and young people' aligns with social sustainability goals. However, the absence of specific environmental or broader sustainability requirements means a full assessment is not possible. The automated check also flags 'Not green procurement'.

Lack of specific environmental or broader sustainability requirements beyond 'Social Criteria'

Strengths

Use of Flexible DPS under Light Touch Regime (Regulation 74) for appropriate market access and flexibility.
Clear strategic intent to build trusted partnerships and improve service quality.
Emphasis on 'Social Criteria' and services 'informed by our children and young people'.
Lot-based structure allows for specialized provision.
Long-term nature of DPS (implied by deadline) provides market stability.

Concerns

Complete absence of tender documents.
Lack of detailed eligibility, technical, financial, and exclusion requirements.
Missing evaluation criteria for both DPS admission and mini-competitions.
Estimated value and contract duration not disclosed.
NUTS code/specific location details are missing.

Recommendations

1. Immediately publish all comprehensive tender documents, including detailed specifications, terms and conditions, and evaluation criteria.
2. Clearly define all eligibility, technical, and financial requirements to ensure transparency and fairness.
3. Provide an estimated contract value and duration, even if indicative, to aid supplier planning.

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B
Tender Quality Score
62/ 100 · Good

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