MCS Operating Scenario Calculator - Scenario A
Based on the information you’ve provided, we estimate that your business size and complexity would fall under Scenario A.
These are the processes and controls your business would require as per Scenario A, below Table 1 in Appendix A of the Installer Operating Requirements:
| Item | Requirements |
|---|---|
| Maintaining the competency of an Installer’s employees and any subcontractors, including Technical Supervisors. | Understand and be able to refer to MCS requirements for the competency of Technical Supervisors by being able to access the list of MCS approved qualifications and personnel certifications that are published on the MCS website. Retain and be able to make available as requested, copies of own, in date (not expired) qualification certificates, in compliance with the MCS competency requirements associated with the technologies the Installer is, or wishes to be certified to design and/or install. |
| Complying with the MCS Installation Standards, Pre-sale Information and System Performance Estimate Standards and related industry standards associated with an installation. | Understand where to find the most up to date versions of the applicable MCS Installation Standards, Pre-sale Information & System Performance Estimate Standards, and other related industry standards, appropriate to the technology(ies) the Installer is, or is applying to be certified for. Describe the approach taken to new work, to ensure that the Installer can deliver a customer’s installation with the necessary resources and in compliance with the applicable Standards. For example, the Installer maintains an order book of quotations accepted by the Installer’s customers, showing how orders do not extend beyond an Installer’s capabilities and scope of MCS certification. |
| Managing customer satisfaction, including the management of customer feedback and complaints. | Maintain a record of any complaints received in relation to the Installer’s MCS related service delivery, either as a paper-based log or simple electronic register, for example, a record of complaints in a secure Microsoft Excel spreadsheet. Records of any complaints received, either justified or otherwise, shall include as a minimum: i. details of the complainant and specific installation concerned ii. nature of the complaint iii. date the complaint was received iv. date of resolution and description of the outcome v. determination of the root cause of the complaint vi. action taken to resolve the complaint and outcome achieved vii. action taken to prevent future similar complaints arising Installers may choose to utilise the MCS Principles for Good Complaint Handling available on the MCS website. Be able to acknowledge and learn from any direct or indirect customer feedback in relation to an Installer’s service delivery, in addition to any complaints received. For example, responding to general communications from customers that give rise to improvements the Installer could make to their service delivery. |
| Maintaining effective business records as they relate to the delivery of installations. | Operate a simple, accessible and secure record management/filing system that keeps all an installation’s documentation in one place, retained for a minimum of six years. In line with the requirement described in clause 5.4, ensure that processes are in place to ensure GDPR compliance is maintained in relation to installation records that may contain personal data. For example, an electronic or paper-based folder containing all an installation’s documentation and any associated correspondence. Steps should be taken to protect against the loss of a record/filing system. For example, creating an electronic backup stored off site/in the Cloud. |