Made pursuant to the provision of the Accessibility for Ontarians with Disabilities Act 2005, S.O. 2005. C. 11 (hereinafter the "AODA").
We at RIVERSTONE RETIREMENT COMMUNITIES (hereinafter the "owner") are committed to providing exemplary service to all of our customers (including owners, tenants, members of the public, and third parties) in accordance with the Accessibility for Ontarians with DisabilitiesAct2005, S.O. 2005, C.11 (the "AODA" and Ontario Regulation 429/07 (the "Customer Service Standard").
The following policies, procedures, and practices are guided by the fundamental principles underlying the Customer Service Standard. We are committed to ensuring the Policy is rigorously observed by all employees and any third parties that provide goods and services on our behalf.
The objective of this Policy is to provide a framework through which the owner can achieve service excellence for people with disabilities. The owner is committed to providing a respectful, welcoming, and inclusive environment to all individuals who seek access to our goods and services.
This Policy applies to all employees of the owner as well as any third party providing goods and services on behalf of the owner and who may interact with the owner’s customers, the public, or third parties.
The owner is committed to providing accessible customer service to persons who have disabilities. The owner will make reasonable efforts to ensure that this Policy and related practices and procedures are consistent with the following principles as prescribed in the Customer Service Standard.
(a) The owner will provide goods or services in a manner that respects the dignity and independence of person with disabilities.
(b) The owner will provide integrated services to persons with disabilities whenever possible and will provide alternate measures where necessary, whether temporarily or on a permanent basis, to enable a person with a disability to obtain, use, or benefit from the goods or services.
(c) The owner will provide equal opportunity to persons with disabilities to obtain, use, and benefit from the goods or services.
When communicating with persons with a disability, the owner will take into account the particular individual's needs and circumstances. The Owners employees, agents and third parties who communicate with the customers will be trained on how to interact and communicate with people with various types of communication. All communication shall be provided in a manner that respects the dignity and independence of persons with disabilities.
Persons with disabilities shall be permitted to obtain, use, or benefit from goods or services through the use of their own assistive devices. The owner's employees, agents and third parties will be trained so as to be familiar with various assistive devices that may be used by customers with disabilities while accessing services.In the event a person with a disability is hindered from accessing any goods or services offered, the owner will use its best efforts to accommodate the person by offering the use of another assistive device that is available or attempt to deliver the same service in another way.The owner will train employees, agents and third parties on how to use assistive devices that are available to their customers. The owner will also train employees, agents and third parties to inform customers of the assistive devices that are available.
The owner is committed to providing full accessible telephone service to our members. The owner will train employees to communicate over the telephone in clear and plain language and to speak clearly and slowly. If telephone communication provides a barrier to a person with a disability, the owner will be available to communicate in writing, by e-mail, by fax, or other electronic means.
The owner is committed to providing accessible invoices and, upon request, our invoices will be provided in alternative formats. The owner will answer any questions customers may have about the content of the statement in person, by telephone, or email.
The owner is committed to welcoming persons with disabilities who are accompanied by a service animal on the parts of our premises that are open to the public. If a service animal is excluded by law, the owner will suggest appropriate alternatives and provide assistance in order to ensure that the person is able to access, obtain, use, or benefit from the owner's services where possible.The owner will train employees on how to interact with customers who are accompanied by service animals.
Any person with a disability who is accompanied by a Support Person will be allowed to access any services provided by the owner with his or her Support Person. The owner will not prevent a person with a disability who is accompanied by a Support Person from having access to his or her Support Person. Where there are barriers to access or attendance by a Support Person, the owner will seek to facilitate access to ensure the participation of persons with disabilities.
The owner is aware that the operation of its services and facilities is important to its customers and the persons with disabilities rely on certain services and facilities provided by the owner. However, temporary disruptions in services and facilities may occur from time to time. The owner will provide notice when there is a temporary disruption in those services or facilities that persons with disabilities may rely on. This notice will include information about the reason for the disruption, its anticipated duration, and, if applicable, a description of alternative facilities or services that may be available. Notice of service disruptions will be provided as soon as practical after the owner is aware of the disruption, or in advance in the case of planned disruptions.
Notice may be provided by a variety of methods, depending on the circumstance.
The owner will ensure that all employees, agents, and third parties who interact with customers on its behalf receive AODA Customer Service Standard training. Training shall be provided on an ongoing basis whenever changes are made to this Policy to ensure that this Policy is properly implemented at all times.
Training will include the following:
The owner will keep records of the training provided, including the dates which training was received and the names and number of participan
In order to properly assess the needs of persons with disabilities, the owner has created a feedback process and designated a member of staff as its AODA Compliance Officer.
Feedback may be provided by a person with a disability in the manner they deem most convenient to them. For example, a person may provide feedback by completing a Customer Feedback Form or by contacting the AODA Compliance Officer in person, by mail, phone, or email. All feedback will be processed by the AODA Compliance Officer. All feedback will be kept in strict confidence and will be used to improve customer service.
If the feedback raises serious concerns with respect to the delivery of goods and services to persons with disabilities, the owner will provide a response to the concerns in a timely manner. The author of the feedback will be provided a response in the format requested (or the most appropriate format where no request was made) outlining actions taken. The owner shall make best efforts to respond to feedback within three (3) business days.
This Policy and any corresponding practices and procedures will be made available to any person on request. The owner shall post notice of the availability of these document in a conspicuous place and if applicable on the owner's company website.
Upon request, the owner shall provide this Policy and any other forms created pursuant to the Customer Service Standard in a format that takes into account the disability of the person submitting the request.
The owner is committed to developing customer service policies that respect and promote the dignity and independence of people with disabilities. All the owner's policies and procedures will be developed and updated in such a manner as to respect and promote the dignity and independence of persons with disabilities.
The owner recognizes that the AODA does not replace or supersede the "Human Rights Code, R.S.O. 1900, C.H. 19 (the 'Code')"
Any enquiries related to this Policy and any feedback should be directed to our AODA Compliance Officer.
NAME: Kristal Carlyle
PHONE NUMBER: 613-233-6030 ext 508
E-MAIL: [email protected]
ADDRESS: 2001-210 Gladstone Avenue, Ottawa, ON, K2P 0Y6