17th January 2012, 05:40 PM
IfA and ALGAO, with funding from English Heritage, Historic Scotland and Cadw, are developing an IfA Standard and guidance to cover the role of providing archaeological advice primarily, but not exclusively, through local authority historic environment services.
Following a survey of current practice, nationwide workshops to explore key issues and consultation with selected stakeholders, a draft Standard and guidance is now being issued for formal consultation.
Following the consultation, the intention is for a revised draft to be proposed for interim adoption at an Extraordinary General Meeting at the IfA Conference in April 2012.
The draft Standard and guidance and an accompanying letter from Peter Hinton, IfA Chief Executive and Stewart Bryant, Chair of ALGAO UK can be downloaded here. Comments can be sent by email to consultation@archaeologists.net or by post to Standard and guidance consultation at the IfA address. The deadline for responses is 5pm on Friday 17 February.
Interesting passages:
Page 15
The quality criteria for any work required and any standards or benchmarks to be met must be clearly set out in the brief. These criteria should always specify the use of appropriate specialists with accredited and documented competency to carry out the requirements of the brief. Where proportionate to the significance of the asset and the impact of the proposed change to it, advisors should consider recommending or requiring work to be done by an accredited IfA Registered Organisation to ensure the quality management of the work.
Page 17
9.7 Archive deposition
Advisors are responsible for ensuring that the archives of development-led archaeological investigations are deposited in a suitable repository. They should seek to ensure that, prior to the commencement of investigations, applicants or their agents establish contact with repositories willing to accept archaeological archives, or alternatively identify appropriate temporary storage.
page 20
Advisors must seek to ensure that archaeological investigation is undertaken only by individuals or practices that demonstrate they meet IfA standards, and may require that investigation is carried out only by corporate members of the IfA, by an IfA Registered Organisation or their EU equivalent (Southport Group 2010 Rec. 24).
Advisors may require that suppliers be professionally accredited. There is no competition law bar in principle to advisors imposing a requirement that suppliers be professionally accredited, and IfA registration through the Registered Organisation scheme could be a justifiable measure of accreditation in accordance with legal advice provided to the IfA (Ref. http://www.archaeologists.net/ sites/default/files/node-files/ta77.pdf.).
Accredited suppliers under the IfA Registered Organisation scheme reduce the risk to applicants of selecting a supplier who will not meet industry standards, and ensure that there is recourse to a third party (IfA as accreditation provider) in the instance that quality criteria are not met.
Advisors should not use local lists of suppliers unless they are compiled and monitored using criteria at least as stringent as those for IfA registration. To do so would leave advisors open to accusations of restraint of trade for unreasonably excluding a supplier from the list, and allegations of a failure in a duty of care for negligently including suppliers that may not have the necessary competence.
page22
(A hint that all curatorial services must become IfA ROs)
Professional quality assurance more generally is provided through IfA corporate membership and through its Registered Organisations scheme. This scheme provides an independent, external measure of quality assurance recognised both within and outside the sector, and a platform for sharing best practice, extending peer review and improving cross-sectoral and user scrutiny.
While the scheme has been more widely adopted by organisations providing archaeological services to commercial clients, its relevance has increased as a benchmark of quality for advisory services considering alternative delivery models.
Please do ensure that any discussion does not contain phrases like "over my dead body" OR "oh no not another bash the IfA" etc... This is very important, and valid views should be aired from all parties, willing to speak up. and they should be allowed to have views that can be expressed - however, without resorting to just plain NO/YES (delete where applicable). So give it some thought please.
:face-thinks:
Following a survey of current practice, nationwide workshops to explore key issues and consultation with selected stakeholders, a draft Standard and guidance is now being issued for formal consultation.
Following the consultation, the intention is for a revised draft to be proposed for interim adoption at an Extraordinary General Meeting at the IfA Conference in April 2012.
The draft Standard and guidance and an accompanying letter from Peter Hinton, IfA Chief Executive and Stewart Bryant, Chair of ALGAO UK can be downloaded here. Comments can be sent by email to consultation@archaeologists.net or by post to Standard and guidance consultation at the IfA address. The deadline for responses is 5pm on Friday 17 February.
Interesting passages:
Page 15
The quality criteria for any work required and any standards or benchmarks to be met must be clearly set out in the brief. These criteria should always specify the use of appropriate specialists with accredited and documented competency to carry out the requirements of the brief. Where proportionate to the significance of the asset and the impact of the proposed change to it, advisors should consider recommending or requiring work to be done by an accredited IfA Registered Organisation to ensure the quality management of the work.
Page 17
9.7 Archive deposition
Advisors are responsible for ensuring that the archives of development-led archaeological investigations are deposited in a suitable repository. They should seek to ensure that, prior to the commencement of investigations, applicants or their agents establish contact with repositories willing to accept archaeological archives, or alternatively identify appropriate temporary storage.
Quote: Not sure how this relates to Scottish requirements?
page 20
Advisors must seek to ensure that archaeological investigation is undertaken only by individuals or practices that demonstrate they meet IfA standards, and may require that investigation is carried out only by corporate members of the IfA, by an IfA Registered Organisation or their EU equivalent (Southport Group 2010 Rec. 24).
Advisors may require that suppliers be professionally accredited. There is no competition law bar in principle to advisors imposing a requirement that suppliers be professionally accredited, and IfA registration through the Registered Organisation scheme could be a justifiable measure of accreditation in accordance with legal advice provided to the IfA (Ref. http://www.archaeologists.net/ sites/default/files/node-files/ta77.pdf.).
Accredited suppliers under the IfA Registered Organisation scheme reduce the risk to applicants of selecting a supplier who will not meet industry standards, and ensure that there is recourse to a third party (IfA as accreditation provider) in the instance that quality criteria are not met.
Advisors should not use local lists of suppliers unless they are compiled and monitored using criteria at least as stringent as those for IfA registration. To do so would leave advisors open to accusations of restraint of trade for unreasonably excluding a supplier from the list, and allegations of a failure in a duty of care for negligently including suppliers that may not have the necessary competence.
page22
(A hint that all curatorial services must become IfA ROs)
Professional quality assurance more generally is provided through IfA corporate membership and through its Registered Organisations scheme. This scheme provides an independent, external measure of quality assurance recognised both within and outside the sector, and a platform for sharing best practice, extending peer review and improving cross-sectoral and user scrutiny.
While the scheme has been more widely adopted by organisations providing archaeological services to commercial clients, its relevance has increased as a benchmark of quality for advisory services considering alternative delivery models.
Please do ensure that any discussion does not contain phrases like "over my dead body" OR "oh no not another bash the IfA" etc... This is very important, and valid views should be aired from all parties, willing to speak up. and they should be allowed to have views that can be expressed - however, without resorting to just plain NO/YES (delete where applicable). So give it some thought please.
:face-thinks: