by GR Evans
An article in Times Higher Education on 5 December 2019 quoted an unpublished report by Universities UK and the Association of Heads of University Administration. The THE says the report is ‘highly critical’ of the way the Office for Students is working with providers. UUK (the Vice-Chancellors) and AHUA (the Registrars) are both UK-wide organisations so it would be helpful to know how the gathering of information for this report on the England-only OfS was done, the methodology designed and the conclusions drawn.
Universities UK and AHUA are composed respectively of the Vice-Chancellors and the Registrars of only a modest proportion of the 389 providers admitted to the OfS Register by early December 2019. UUK lists a scattering of alternative providers amongst mainly traditional universities. AHUA says it has 190 members though one must be a member to see who they are. It is not clear whether other bodies with an interest were involved in the consultation, for example GuildHE with its array of English alternative providers among its 50 published membership.
Most notable among the bodies apparently not involved in the consultation which produced this report is the Committee of University Chairs, another UK-wide body, but of supreme importance in that these Chairs represent the governing bodies of their member institutions. The CUC publishes its membership list of 135 including ‘a small number of alternative providers’.
The CUC revised its Higher Education Code of Governance in 2014, providing guidelines strongly endorsed by HEFCE. The CUC is now consulting on a proposed review. Its consultation questions, seeking to address changes of expectation in the sector since 2014, are online. It notes some points emphasised by OfS:
The OfS has also given renewed emphasis to the importance of robust academic governance and the relationship between Board and Academic Board/Senate. There has also been increasing media attention to academic standards and the use of unconditional offers. CUC guidance in this area is set out in Illustrative Practice Note 3: Academic Governance .
The OfS has drawn up its own guidance.
More transparency and some rethinking of the best way to pool expectations must surely be in the interests of OfS and the ‘sector bodies’ if they are to learn to work together for the common good as the UUK/AHUA report apparently desires. There is of course always a case for allowing sensitive consultations to take place in sufficient privacy to permit free and frank discussion. But there comes a time when the public interest in publication is strong enough to demand transparency.
The THE says UUK explained that the report was: ‘not published formally, but we did share it with our members to support the development of their own processes and practices under the new approach’. Presumably AHUA’s members got a copy too? THE suggests the UUK/AHUA report has been ‘seen within Government’. Does this mean by the Secretary of State, the Minister for Higher Education, civil servants and advisors? If it had been published that might be less of a puzzle.
And did OfS itself get a copy? At the time of writing the OfS website does not seem to have anything to say about the UUK/AHUA report though perhaps future Board papers will fill that gap. The papers from the 26 September meeting mention a paper from the National Audit Office ‘setting out the key observations and recommendations arising from their audit of the OfS’s financial statements for 2018-19’. Those included a request for ‘more information on the impact of the OfS’s work as a regulator in the 2019-20 performance report’, on which the UUK/AHUA report will clearly be relevant. For the UUK/AHUA report appears to be concerned chiefly with the working relationship OfS is establishing with the providers for whose registration is it responsible.
From HEFCE buffer to OfS Regulator: the transition
For the most part HEFCE took seriously its role as a ‘Haldane’ buffer between universities and Government. Its normal response to the emergence of a serious problem in a provider’s conduct of its affairs was to seek to support the institution to mend matters. This is did informally and constructively, offering guidance to autonomous institutions. It favoured a ‘light touch’. Its operation of conditions of grant sanctions proved to be vanishingly rare.
OfS has begun its working life with some fierce and threatening statements and the repeated assertion that failing providers must simply be allowed to collapse. The setting for this heavier ‘touch’ will have to be adjusted to get it right, and this UUK/AHUA Report could form a useful starting-point for consideration.
If so, there must be a case for publication of the UUK/AHUA report. But what of the performance of UUK, AHUA and other sector bodies in reviewing their own performance in response? Keeping their cards close to their chests would not be a good look at a time when the performance of UUK, AHUA and other sector bodies, statutory (like OfS) or in the form of ‘clubs’ (such as UUK itself) or semi-professional bodies (AHUA?) is also a proper concern. An objective assessment of the performance and very approach of the OfS surely demands a similar transparency about the way the various sector bodies are responding to it.
Wales is engaged in a review of its own arrangements ahead of new legislation of its own. It retained its own Funding Council in the Higher Education (Wales) Act of 2015 but times and expectations have changed and it is now expected that Wales may move towards a new structure closer to that which allows more active Government control of policy and practice in England through direction of the OfS as a Regulator through increasingly frequent letters of guidance from the Secretary of State.
It may be too much to hope that any Government will join with the sector bodies and OfS in a dispassionate review if that is for the best for higher education. Too much political investment went into the creation of OfS for such fearlessness to be likely. But at least let the documents in the discussion come out in the open for everyone to read.
SRHE member GR Evans is Emerita Professor of Medieval Theology and Intellectual History in the University of Cambridge, and CEO of the former Independent Dispute Resolution Advisory Service for HE (www.idras.ac.uk).