Select Committee on Home Affairs Written Evidence


46.  Memorandum submitted by the Tenant Participation Advisory Service (TPAS)

  1.  TPAS is a membership organisation of over 300 social landlords and 1,000 tenant groups that exists to promote tenant empowerment. It is a market leader in Tenant Participation providing training, information services, conferences and consultancy work.

  1.1  The following response has been prepared after consultation with TPAS' National Consultative Forum, a body made up of tenants and landlord officers nominated by TPAS' Regional Committees. Staff members have also been consulted.

  1.2  While this response has been prepared specifically for the Committee, many of the views contained in it have previously been expressed.

  1.3  The response is subject to formal approval by TPAS' Board of Management.

GENERAL

  2.  Responding to the views of its members TPAS has, for sometime, been a vocal campaigner for a stronger response to issues of nuisance and Anti-social Behaviour (ASB). It is the view of the organisation that ASB, if unchecked, poses the greatest threat to the future of social housing and the Governments' aspirations for sustainable communities.

  2.1  In particular, TPAS would wish to see greater involvement of local people, including but not exclusively tenants and residents groups in the design and delivery of responses to ASB.

  2.2  There is a strong view within TPAS' membership, with which it tends to concur, that current government policy does not sufficiently match up necessary enforcement action with preventative action.

THE EFFECTIVENESS AND PROPORTIONALITY OF CURRENT POWERS

  3.  There are, at present, a good range of powers available to statutory agencies to support action against perpetrators of ASB. Government has taken a clear and welcome policy stance to provide tools which operate at a number of levels to deal with the problem. In addition, the development of sub-judicial responses by agencies, such as Acceptable Behaviour Contracts and their subsequent promotion by government has been a positive step.

  3.1  There are, however, some areas where TPAS' membership remains concerned. There is a widespread view that the criminal justice agencies and in particular the magistracy do not yet understand the importance of firm action where necessary. Anecdotal evidence suggests that breaches of Anti-social Behaviour Orders are not always fully prosecuted, undermining the deterrent value of this tool. Other concerns relate to the repeated suspension of eviction orders where this last resort is pursued.

  3.2  TPAS tends to feel that the powers of tenancy demotion included in the ASB Act are a useful and proportionate second chance approach to issues of ASB, however some members feel that any reduction of security of tenure is a threat to the basic precepts of social housing.

ISSUES OF ENFORCEMENT AND CO -ORDINATION

  4.  As suggested in paragraph 2.1 TPAS' main concerns regarding current policy relate to the apparent gap between the rhetoric of community empowerment and the focus on high level delivery.

  4.1  While many CDRPs clearly function well, they often remain distant from TPAS' members. Few tenant members (even experienced activists), or for that matter landlord members, have access points to express their views at this level or even have a clear sense of the role of CDRPs in dealing with ASB. Similarly, anecdotal evidence suggests that some Housing Associations seem to find it difficult to achieve influence over strategy although it is vital that their responses are co-ordinated with other agencies working in the field. At the very least awareness raising work is required so that local people can see the positive impacts of their views on local ASB strategies and recognise the work of CDRPs.

  4.2  CDRPs in particular do not seem to be particularly open to community engagement in strategy development. It is TPAS' view that involving local people is crucial to developing effective strategies in most areas of public policy. Around ASB, the recent ODPM and Housing Corporation guidance for landlords on producing ASB policies has put a strong emphasis on consultation with tenants and other stakeholders. TPAS hopes that other agencies and bodies charged with duties in ASB management will deliver on these principles.

  4.3  While it is absolutely necessary that work is done to improve the practice of professionals working in the field TPAS has been concerned by the exclusive focus of the, otherwise excellent, ASB Units' "Together Academy" on developing the skills of professionals. If it is accepted that communities have a crucial role to play combating the problem then access to training and capacity building should be available to make sure that activists have a detailed knowledge of the law, their role in prevention, and the development of negotiated action with service providers. While it is true that most people will just want the problem to go away the exclusive focus on professionals undermines the message that ASB is a societal problem for which all citizens share a responsibility to act.

  4.4  TPAS would particularly welcome efforts to devolve local control and/or monitoring of services to appropriately trained and accountable resident groups. This could involve informal engagement in local ASB management (as with Neighbourhood Watch) or more formal independent audit of ASB management services. TPAS has previously demonstrated with its Tenant Led Inspection and Audit project that committed tenants and residents are generally very effective auditors of services.

  4.5  Despite recent improvements in information gathering and sharing including efforts to set up a London wide protocol, TPAS' impression is that co-ordination between agencies, particularly Police, Social Services and landlords is limited. Clearly this lack of co-ordination makes tackling ASB more difficult. Furthermore, TPAS' impression is that many services have a lack lustre approach to sharing information with individual complainants and appropriately trained and briefed representative groups. It should be said that the Government has made its expectation that information sharing improves absolutely clear. However until the public, and particularly community groups, are confident that they have access to all of the information that the law allows they will believe that they are being asked to provide information on incidents without seeing the benefits of taking this risk.

THE IMPACT OF GOVERNMENT INITIATIVES

  5.  The Government is to be commended for the high profile it has given to issues around ASB. While TPAS' tenant members often raise concerns around the speed of response to ASB problems or the resolution of individual cases, it is now less frequent that they say "my landlord doesn't care about ASB". It seems that social landlords, at least, are slowly getting the message.

  5.1  However, one common concern is that government initiatives have tended to focus far too strongly on resolving problems in neighbourhoods of predominantly social housing. While some cross-tenure tools, such as ASBOs, have been developed most of the available enforcement tools, in housing at least, impact only on the social housing sector. This social housing bias exacerbates a widely held belief, particularly in the press, that Anti-social Behaviour is a problem exclusive to "Council sink estates". While it is important to raise the profile of ASB it remains necessary to make it absolutely clear that the perpetrators and victims of ASB live in all tenures or negative stereotyping of social housing tenants will continue to have severe impacts on people's lives. While the focus on good ASB management by social landlords is welcome, these initiatives should be extended as far as possible, to the private sector.

  5.2  To return to the point raised in 2.2, government policy in recent times seems to have focussed very strongly on matters of enforcement. This focus has gone some way to strengthening community confidence and there is no doubt that at times swift and effective enforcement action should be taken. It is, crucial however, that enforcement is matched up with preventative action. A higher community safety profile could be given to those schemes that seek to support people to change their behaviour as often the link between support provision and ASB management is not clear. In addition, TPAS feels that adequate support provision around drug and alcohol abuse is patchy.

  5.3  In common with the Governments' view, TPAS feels that swift action is crucial. It is following with interest the development of non custodial (and non eviction) approaches to ASB management. There is great potential in the further roll out of methods of restorative justice. While careful evaluation of pilots will be required TPAS also feels there is strong potential in the Community Justice Centre model.

YOUTH DIVERSION

  6.  Parenting orders and the youth justice system have a crucial role to play in diverting young people from ASB. However, these tools involve a high level of compulsion. It is to be regretted that mainstream youth and community services seem to remain stretched.

  6.1  To add to this, many youth and community services tend to remain firmly within local authority control. While clearly local authority oversight is required to ensure even spread of services and strategic direction, tenants groups that wish to provide services to young people in their areas often find it difficult to access funding and training. Greater opening out of youth and community services to self organised local groups would allow for a closer relationship between the older and younger residents of neighbourhoods.

Disparities in levels of ASB.

  7.  TPAS is not particularly well positioned to be able to comment on disparities of levels of and enforcement action against ASB across the country. A general impression would be that services are better resourced and co-ordinated in large metropolitan districts who can support a "corporate" approach. TPAS' impression is that ASB levels are higher where there are high numbers of people suffering from other social pressures, namely overcrowded high demand neighbourhoods in the South and low demand unstable neighbourhoods in the North.

THE RESPONSIBILITIES OF THE PRIVATE SECTOR

  8.  To return to the point made in 6.2 it is necessary to persuade the private sector to make use of the same tools as the social sector. It should be noted that many private landlords act very responsibly. However, particularly in low demand areas of the North ASB management is made particularly difficult by uncaring or absentee private landlords. As a neighbourhood becomes unstable landlords sometimes fall back on making lets to potential perpetrators of ASB with little reference to their support package (or lack of it). If there are problems the landlord might (if there are rent arrears or a rising number of tenant abandonments) take rapid eviction action using the shorthold tenancy, however, this simply causes greater "churning" and neighbourhood instability. TPAS' view is that only the extension of landlord accreditation/registration schemes and housing management delivery agreements, if necessary on a compulsory basis, will address this problem. TPAS awaits the Housing Bill with interest on this issue.

  8.1  There is also a clear and urgent need to address the seeming vacuum of measures for dealing with Anti-social owner occupiers.

7 September 2004





 
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