An Accredited Spinal Cord Injury Specialist is a person who has achieved APIL Senior Litigator status (or above) and who has demonstrated further competence in the specialist field of spinal cord injury. He or she is able to manage and progress a spinal cord injury case so as to establish, assert and enforce, in an effective and efficient manner, the rights of a client damaged or disadvantaged by spinal cord injury. He or she is competent to take, without supervision, key decisions on accepting cases, assessing risks, evaluating offers and issuing proceedings.
Anyone wishing to apply to be an Accredited Spinal Cord Injury Specialist should read the guidance notes on assessments.
To apply for Specialist accreditation you must be individually accredited at the level of Senior Litigator or above.
For information about the Senior Litigator Standard, please click here.
Do you meet both of the following criteria?
Download the Portfolio document and complete the candidate sections.
Continue to gather spinal cord injury experience and training. If you would like to discuss the Specialist criteria, please contact Holly Humphreys, Membership Development Officer, on (0115) 943 5400.
Do you have a qualified specialist assessor in-house? List of assessors
Liaise in-house with your chosen assessor.
Contact Holly Humphreys, APIL, to arrange for an assessor to visit you: [email protected] or (0115) 943 5400.
The cost of the assessment is £450 (plus VAT if appropriate), payable directly to the assessor for their time. Any additional expenses to be agreed between the applicant and the assessor.
Discuss each section of the Portfolio with assessor who completes the assessor sections.
Save or print a copy of the Portfolio to retain in-house. Delete the ‘case names’ column before printing/copying, signing and sending the Portfolio to APIL along with your training log for the last three years.
Spinal Cord Injury Specialist Standard
Guidance notes for assessors and candidates
Short note regarding portfolio completion post GDPR
Expanded note regarding portfolio completion post GDPR