In adopting a person-centred approach, Authorities should ensure that the preferences, needs and values of the individual applying for crisis support stays central to professional decisions, providing support to the individual that is respectful to them. Through a needs-based approach that seeks to understand and meet the individual’s underlying needs, not just the crisis symptoms presented, the Authority can support the individual to build financial resilience.
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In adopting a person-centred approach, Authorities should ensure that the preferences, needs and values of the individual applying for crisis support stays central to professional decisions, providing support to the individual that is respectful to them. Through a needs-based approach that seeks to understand and meet the individual’s underlying needs, not just the crisis symptoms presented, the Authority can support the individual to build financial resilience. To support a person-centred and needs-based approach, every Authority must operate a Crisis Payment and Housing Payment scheme that accepts applications continuously throughout the year (see paragraphs 76 to 84). This means that in all Crisis Payment scheme cases, frontline staff should assess people’s circumstances to identify their preferences, symptoms and underlying needs. This is crucial to determining the appropriate award and wider services that can support with underlying needs.
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Where appropriate, warm referrals should be made to Resilience Services and any wider support services individuals may benefit from. Authorities should consider the principles of a Trauma Informed Approach when exploring both immediate and underlying need. Links to wraparound support and referral pathways are explored in more detail in paragraphs 88 to 93. There is no prescriptive list specifying eligible expenditure for Crisis Payments; it is at the Authority’s discretion to determine appropriate support by taking a person-centred, needs-based approach. However, it may include awarding a Crisis Payment to support: water including for drinking, washing, cooking, as well as for sanitary purposes and sewerage water including for drinking, washing, cooking, as well as for sanitary purposes and sewerage period and hygiene products such as soap and toothpaste period and hygiene products such as soap and toothpaste energy for any form of fuel that is used for the purpose of domestic heating, cooking or lighting, including oil or portable gas cylinders.
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This includes help for those who are facing immediate financial hardship because of significant increases in energy costs, such as a large increase in heating oil prices energy for any form of fuel that is used for the purpose of domestic heating, cooking or lighting, including oil or portable gas cylinders. This includes help for those who are facing immediate financial hardship because of significant increases in energy costs, such as a large increase in heating oil prices clothing including uniform, warm winter clothing and shoes clothing including uniform, warm winter clothing and shoes essential furniture and appliances such as beds and bedding, washing machines, window coverings and carpets, fridge-freezers and ovens essential furniture and appliances such as beds and bedding, washing machines, window coverings and carpets, fridge-freezers and ovens essential transport-related costs such as repairing a car, buying a bicycle or bus pass or paying for fuel essential transport-related costs such as repairing a car, buying a bicycle or bus pass or paying for fuel digital and connectivity essentials such as broadband or phone bills digital and connectivity essentials such as broadband or phone bills The circumstances that constitute a crisis for one person may not be the same for another person. The type of support people require will depend on their circumstances and any underlying needs. For instance, individuals with disabilities, substance dependency, those experiencing homelessness, care leavers, single-person households, unpaid carers, families with children and Pension age households are likely to have different immediate and long-term needs. Cash-first Crisis Payments can enable people to effectively address their specific needs with dignity, flexibility and autonomy. To support a person-centred and needs-based approach, every Authority must operate a Crisis Payment and Housing Payment scheme that accepts applications continuously throughout the year (see paragraphs 76 to 84). This means that in all Crisis Payment scheme cases, frontline staff should assess people’s circumstances to identify their preferences, symptoms and underlying needs. This is crucial to determining the appropriate award and wider services that can support with underlying needs. Where appropriate, warm referrals should be made to Resilience Services and any wider support services individuals may benefit from. Authorities should consider the principles of a Trauma Informed Approach when exploring both immediate and underlying need. Links to wraparound support and referral pathways are explored in more detail in paragraphs 88 to 93. There is no prescriptive list specifying eligible expenditure for Crisis Payments; it is at the Authority’s discretion to determine appropriate support by taking a person-centred, needs-based approach. However, it may include awarding a Crisis Payment to support: water including for drinking, washing, cooking, as well as for sanitary purposes and sewerage water including for drinking, washing, cooking, as well as for sanitary purposes and sewerage period and hygiene products such as soap and toothpaste period and hygiene products such as soap and toothpaste energy for any form of fuel that is used for the purpose of domestic heating, cooking or lighting, including oil or portable gas cylinders. This includes help for those who are facing immediate financial hardship because of significant increases in energy costs, such as a large increase in heating oil prices energy for any form of fuel that is used for the purpose of domestic heating, cooking or lighting, including oil or portable gas cylinders. This includes help for those who are facing immediate financial hardship because of significant increases in energy costs, such as a large increase in heating oil prices clothing including uniform, warm winter clothing and shoes clothing including uniform, warm winter clothing and shoes essential furniture and appliances such as beds and bedding, washing machines, window coverings and carpets, fridge-freezers and ovens essential furniture and appliances such as beds and bedding, washing machines, window coverings and carpets, fridge-freezers and ovens essential transport-related costs such as repairing a car, buying a bicycle or bus pass or paying for fuel essential transport-related costs such as repairing a car, buying a bicycle or bus pass or paying for fuel digital and connectivity essentials such as broadband or phone bills digital and connectivity essentials such as broadband or phone bills The circumstances that constitute a crisis for one person may not be the same for another person.
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The type of support people require will depend on their circumstances and any underlying needs. For instance, individuals with disabilities, substance dependency, those experiencing homelessness, care leavers, single-person households, unpaid carers, families with children and Pension age households are likely to have different immediate and long-term needs.
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Cash-first Crisis Payments can enable people to effectively address their specific needs with dignity, flexibility and autonomy. Authorities should consider the principles of a Trauma Informed Approach when supporting both immediate and underlying need. The Fund is intended to support a wide range of low-income households and, as such, Crisis Payments are not limited to those in receipt of benefits. Authorities have flexibility within The Fund to apply their own discretion when determining eligibility for their Crisis Payment schemes, including what constitutes a low-income in their area.
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This is in line with the Fund’s person-centred and needs-based approach. In assessing an applicant’s eligibility, Authorities should apply the principles of a Trauma Informed Approach (see paragraph 9 for further details).
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Housing Payments cannot be paid to those with NRPF. This is because the eligibility criteria for Housing Payments requires an individual to be entitled to Housing Benefit (HB) or Universal Credit (UC). The default power to make payments through the CRF is derived from Section 1 of the Localism Act 2011, unless the Authority can identify a more specific and relevant power. If an alternative power is not identified, the payments must be treated as public funds and cannot be provided to those with NRPF, unless support is required to prevent a breach of human rights. It is for Authorities to determine what support they can lawfully provide to a person with NRPF based upon an individual assessment of their status, circumstances and support needs.
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When carrying out this assessment, Authorities will wish to consider their discretionary powers and statutory duties. If an Authority determines that they can lawfully provide a person with NRPF support using their alternative legal powers, support should be provided in line with the CRF guidance: cash-first, needs-based, person-centred support. Individuals will need crisis support for a variety of different reasons. This could be for the provision of food, utilities, household goods or other essentials. For this reason, Authorities should adopt a cash-first approach to awarding Crisis Payments.
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A cash-first approach prioritises cash payments (including physical and digital methods such as physical cash, bank transfer and cash-out vouchers). A cash-first approach to Crisis Payments means providing cash support as the default, whilst still offering Authorities the flexibility to use alternative support mechanisms depending on an individual’s needs and preferences. When assessing an applicant’s need for financial support and appropriate referrals, Authorities should consider resources available to the applicant and their household, such as money in savings or other assets.
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If the applicant is unable to release money on their assets immediately but can demonstrate that they are taking steps to do so, CRF support may be appropriate in the interim. In accordance with their general legal duties, Authorities must have a clear rationale outlining their approach, including how they are defining eligibility and how households can access The Fund. This should align with The Fund’s communication requirements outlined in paragraphs 167 to 172. Where an Authority relies on exercising their discretion under Section 1 of the Localism Act 2011 in order to spend funding, such as the CRF Crisis Payments, payments would fall within the definition of public funds, as set out in paragraph 6 of the Immigration Rules and, therefore, those with No Recourse to Public Funds (NRPF) would not be eligible to receive support. However, Authorities may be able to rely on alternative powers to cas new casino sign up offers no wagering provide support. there to be a child welfare concern, a Crisis Payment can be made to a person with NRPF to safeguard and promote the welfare of a child in need under Section 17 of the Children Act 1989 there to be a child welfare concern, a Crisis Payment can be made to a person with NRPF to safeguard and promote the welfare of a child in need under Section 17 of the Children Act 1989 that an adult has eligible needs for care and support or that a carer has eligible needs for support, and those needs do not arise solely from destitution or from the actual or anticipated physical effects of being destitute, the CRF may be used as a funding source to meet needs under Section 18 or 20 (as applicable) of the Care Act 2014 that an adult has eligible needs for care and support or that a carer has eligible needs for support, and those needs do not arise solely from destitution or from the actual or anticipated physical effects of being destitute, the CRF may be used as a funding source to meet needs under Section 18 or 20 (as applicable) of the Care Act 2014 that an adult has needs for care and support that the Authority is not required to meet under Section 18 of the Care Act 2014 (in other words, non-eligible needs), and those needs do not arise solely from destitution or from the actual or anticipated physical effects of being destitute, the CRF may be used as a funding source to meet needs under Section 19 of the Care Act 2014 (for example, to prevent a breach of Article 3 of the European Convention on Human Rights (prohibition against inhuman or degrading treatment)) that an adult has needs for care and support that the Authority is not required to meet under Section 18 of the Care Act 2014 (in other words, non-eligible needs), and those needs do not arise solely from destitution or from the actual or anticipated physical effects of being destitute, the CRF may be used as a funding source to meet needs under Section 19 of the Care Act 2014 (for example, to prevent a breach of Article 3 of the European Convention on Human Rights (prohibition against inhuman or degrading treatment)) it appropriate for improving the public health of the people in its area, a Crisis Payment can be made to a person with NRPF under Section 2B of the National Health Service Act 2006 it appropriate for improving the public health of the people in its area, a Crisis Payment can be made to a person with NRPF under Section 2B of the National Health Service Act 2006 In such cases, Authorities may use the CRF as the funding source.
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Authorities should consider the principles of a Trauma Informed Approach when supporting both immediate and underlying need. The Fund is intended to support a wide range of low-income households and, as such, Crisis Payments are not limited to those in receipt of benefits. Authorities have flexibility within The Fund to apply their own discretion when determining eligibility for their Crisis Payment schemes, including what constitutes a low-income in their area. This is in line with the Fund’s person-centred and needs-based approach. In assessing an applicant’s eligibility, Authorities should apply the principles of a Trauma Informed Approach (see paragraph 9 for further details).
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When assessing an applicant’s need for financial support and appropriate referrals, Authorities should consider resources available to the applicant and their household, such as money in savings or other assets. If the applicant is unable to release money on their assets immediately but can demonstrate that they are taking steps to do so, CRF support may be appropriate in the interim. In accordance with their general legal duties, Authorities must have a clear rationale outlining their approach, including how they are defining eligibility and how households can access The Fund. This should align with The Fund’s communication requirements outlined in paragraphs 167 to 172. Where an Authority relies on exercising their discretion under Section 1 of the Localism Act 2011 in order to spend funding, such as the CRF Crisis Payments, payments would fall within the definition of public funds, as set out in paragraph 6 of the Immigration Rules and, therefore, those with No Recourse to Public Funds (NRPF) would not be eligible to receive support.
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However, Authorities may be able to rely on alternative powers to cas new casino sign up offers no wagering provide support. there to be a child welfare concern, a Crisis Payment can be made to a person with NRPF to safeguard and promote the welfare of a child in need under Section 17 of the Children Act 1989 there to be a child welfare concern, a Crisis Payment can be made to a person with NRPF to safeguard and promote the welfare of a child in need under Section 17 of the Children Act 1989 that an adult has eligible needs for care and support or that a carer has eligible needs for support, and those needs do not arise solely from destitution or from the actual or anticipated physical effects of being destitute, the CRF may be used as a funding source to meet needs under Section 18 or 20 (as applicable) of the Care Act 2014 that an adult has eligible needs for care and support or that a carer has eligible needs for support, and those needs do not arise solely from destitution or from the actual or anticipated physical effects of being destitute, the CRF may be used as a funding source to meet needs under Section 18 or 20 (as applicable) of the Care Act 2014 that an adult has needs for care and support that the Authority is not required to meet under Section 18 of the Care Act 2014 (in other words, non-eligible needs), and those needs do not arise solely from destitution or from the actual or anticipated physical effects of being destitute, the CRF may be used as a funding source to meet needs under Section 19 of the Care Act 2014 (for example, to prevent a breach of Article 3 of the European Convention on Human Rights (prohibition against inhuman or degrading treatment)) that an adult has needs for care and support that the Authority is not required to meet under Section 18 of the Care Act 2014 (in other words, non-eligible needs), and those needs do not arise solely from destitution or from the actual or anticipated physical effects of being destitute, the CRF may be used as a funding source to meet needs under Section 19 of the Care Act 2014 (for example, to prevent a breach of Article 3 of the European Convention on Human Rights (prohibition against inhuman or degrading treatment)) it appropriate for improving the public health of the people in its area, a Crisis Payment can be made to a person with NRPF under Section 2B of the National Health Service Act 2006 it appropriate for improving the public health of the people in its area, a Crisis Payment can be made to a person with NRPF under Section 2B of the National Health Service Act 2006 In such cases, Authorities may use the CRF as the funding source. Where eligible payments are made using alternative legal powers (in other words, not under the Localism Act 2011), the Crisis Payment may not be considered a public fund. Further information is provided in Annex A. Note: Paragraphs 28 to 30 apply only to CRF Crisis Payments. Where eligible payments are made using alternative legal powers (in other words, not under the Localism Act 2011), the Crisis Payment may not be considered a public fund. Further information is provided in Annex A. Note: Paragraphs 28 to 30 apply only to CRF Crisis Payments. Housing Payments cannot be paid to those with NRPF. This is because the eligibility criteria for Housing Payments requires an individual to be entitled to Housing Benefit (HB) or Universal Credit (UC). The default power to make payments through the CRF is derived from Section 1 of the Localism Act 2011, unless the Authority can identify a more specific and relevant power. If an alternative power is not identified, the payments must be treated as public funds and cannot be provided to those with NRPF, unless support is required to prevent a breach of human rights. It is for Authorities to determine what support they can lawfully provide to a person with NRPF based upon an individual assessment of their status, circumstances and support needs. When carrying out this assessment, Authorities will wish to consider their discretionary powers and statutory duties. If an Authority determines that they can lawfully provide a person with NRPF support using their alternative legal powers, support should be provided in line with the CRF guidance: cash-first, needs-based, person-centred support. Individuals will need crisis support for a variety of different reasons. This could be for the provision of food, utilities, household goods or other essentials.
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For this reason, Authorities should adopt a cash-first approach to awarding Crisis Payments. A cash-first approach prioritises cash payments (including physical and digital methods such as physical cash, bank transfer and cash-out vouchers). A cash-first approach to Crisis Payments means providing cash support as the default, whilst still offering Authorities the flexibility to use alternative support mechanisms depending on an individual’s needs and preferences.
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