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GOC Fitness to Practise

A detailed guide for optometrists and dispensing opticians to General Optical Council fitness to practise: triage and the acceptance criteria, investigation, case examiners and the Investigation Committee, Fitness to Practise Committee hearings, the July 2026 sanctions guidance, and how insight, CPD and remediation fit together.

  • UK optical regulation focused
  • Standards-aware education
  • Evidence-led learning
  • Independent provider

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Looking for structured remediation?A relevant course may form one component of a wider remediation strategy. Completing a course does not by itself establish insight, competence, remediation or fitness to practise, and cannot guarantee a GOC outcome.
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What is GOC fitness to practise?

GOC fitness to practise is the General Optical Council's process for deciding whether a registrant's fitness to practise, to undertake training or to carry on an optical business is impaired, and what action, if any, is needed to protect the public.

The GOC describes a registrant as fit to practise when they have the skills, knowledge, health and character to do their work safely. Concerns can come from patients and the public, carers, employers, the police and other registrants, and the GOC can investigate a registrant's fitness to practise under section 13D of the Opticians Act 1989.

Not every concern is a fitness to practise matter. Consumer disputes about products, refunds or service are usually for the practice or the Optical Consumer Complaints Service, which the GOC funds. The GOC's triage and acceptance criteria exist to separate regulatory concerns from everything else.

3distinct tests: fitness to practise, fitness to undertake training, fitness to carry on business
19Standards of Practice for optometrists and dispensing opticians, in effect from 1 January 2025
£50kmaximum financial penalty: a sanction unique among the major UK health regulators
Concern → Triage → Investigation → Case examiners → FtP Committee → Outcome

Who does the GOC regulate, and which test applies?

The GOC regulates optometrists, dispensing opticians, optical students and optical businesses. Its framework uses three separate tests, and they must not be confused.

Fitness to practise

Fully qualified optometrists and dispensing opticians, including those on specialty registers such as independent prescribing and contact lens opticians.

Fitness to undertake training

Registered optical students. A suspended or erased student cannot continue their training.

Fitness to carry on business

Registered optical businesses, measured against the Standards for Optical Businesses. Separate from an individual's FTP.

This guide focuses on individual fitness to practise. The GOC's case examiner guidance, updated in December 2025, covers all three tests.

The legal framework for GOC fitness to practise

Legislation

Opticians Act 1989

Creates the GOC and its registers. Section 13D is the basis for investigating fitness to practise.

Rules

GOC FTP Rules 2013

Set out investigative powers and hearing procedure.

Standards

Standards of Practice

19 standards for optometrists and dispensing opticians; separate standards for students and businesses.

Guidance

Acceptance criteria, case examiner and warnings guidance

Decision-making at triage and after investigation.

Sanctions

Hearings and Indicative Sanctions Guidance

Updated 20 July 2026. Used by the Fitness to Practise Committee.

The 19 GOC Standards of Practice

Updated Standards of Practice for optometrists, dispensing opticians and optical students came into effect on 1 January 2025, with changes including care for patients in vulnerable circumstances and clearer requirements to identify your role and who provides care. Choose a standard to see the concerns it most often generates.

  1. Listen to patients and ensure they are at the heart of the decisions made about their care
  2. Communicate effectively with your patients
  3. Obtain valid consent
  4. Show care and compassion for your patients
  5. Keep your knowledge and skills up to date
  6. Recognise, and work within, your limits of competence
  7. Conduct appropriate assessments, examinations, treatments and referrals
  8. Maintain adequate patient records
  9. Ensure that supervision is undertaken appropriately and complies with the law
  10. Work collaboratively with colleagues in the interests of patients
  11. Protect and safeguard patients, colleagues and others from harm
  12. Ensure a safe environment for your patients
  13. Show respect and fairness to others and do not discriminate
  14. Maintain confidentiality and respect your patients' privacy
  15. Maintain appropriate boundaries with others
  16. Be honest and trustworthy
  17. Do not damage the reputation of your profession through your conduct
  18. Respond to complaints effectively
  19. Be candid when things have gone wrong

Standard to concern mapper

Pick a standard number.

Select a standard.

Mapping explains the standards involved. It does not establish misconduct or impairment.

What concerns can lead to GOC fitness to practise proceedings?

A recurring pattern in published GOC outcomes is worth knowing: an inadequate eye examination combined with records later found to be misleading or dishonest, and false declarations about professional indemnity when renewing registration. In both, the dishonesty often weighs more heavily than the original clinical or administrative failing.

Clinical competence and missed pathology

Inadequate eye examinations, failure to detect or refer pathology, poor clinical decision-making, working beyond competence (standards 5, 6, 7). Competence remediation

Record keeping

Records that do not support the examination performed or the advice given (standard 8). Altering records after a concern arises can create a probity issue. Documentation remediation

Consent and communication

Not explaining options, risks or costs; not obtaining valid consent (standards 2, 3).

Supervision and delegation

Inappropriate supervision of students or unregistered staff, or delegation that does not comply with the law (standard 9). The GOC is consulting in 2026 on changes relating to testing of sight and supervision and delegation, so this area needs monitoring.

Prescribing

For optometrists on the independent or additional supply specialty registers: prescribing outside competence, inadequate assessment or follow-up. Medication remediation

Confidentiality

Inappropriate access, disclosure, digital records and social media (standard 14). The GOC publishes guidance on disclosing confidential information. Confidentiality remediation

Probity and dishonesty

False records, fraudulent claims, misleading statements, failure to declare (standard 16). The July 2026 sanctions guidance includes language reflecting a more balanced approach to dishonesty. Probity remediation

Boundaries and sexual misconduct

Standard 15. The GOC publishes guidance on maintaining appropriate sexual boundaries, and its 2026 sanctions guidance distinguishes sexual harassment from sexual motivation. Misconduct remediation

Discrimination, bullying and harassment

Standard 13, towards patients or colleagues.

Candour and complaints

Not being open when something goes wrong (standard 19) or not responding to complaints effectively (standard 18).

Criminal convictions and cautions

Must be declared. The question is what the matter means for fitness to practise, not a second punishment.

Health

Only where health affects safe practice. Erasure cannot be imposed where impairment is due to adverse physical or mental health.

GOC declarations and fitness to practise

Declarations are part of professional accountability. Registrants must tell the GOC about matters such as criminal cautions and convictions, relevant health conditions and regulatory findings elsewhere, whether at registration, at renewal or when they arise.

The GOC's 2026 FtP Focus on declarations makes a reassuring point: making a declaration does not automatically mean there is a fitness to practise concern, and many declarations need no further action. Declarations go through triage like any other information.

The bigger risk is not declaring. Failing to declare something relevant can itself become a probity concern, often more serious than the matter that should have been declared.

How the GOC process works

  1. TriageAcknowledgement and preliminary enquiries against the acceptance criteria
  2. InvestigationRecords, witnesses, independent expert opinion
  3. Your representationsOn all the evidence; the complainant may comment
  4. Case examinersOne registrant, one lay
  5. Fitness to Practise CommitteeUsually a public hearing

Triage and the acceptance criteria

The GOC acknowledges the concern and may make preliminary enquiries. Its acceptance criteria are a case-management tool for deciding whether a complaint amounts to an allegation of impaired fitness to practise that needs investigation under section 13D. If it opens a formal investigation, it notifies the registrant.

Investigation

The GOC gathers evidence, which may include clinical records from practices or hospitals, witness statements and independent expert clinical opinion. All the evidence is sent to the registrant, who can make written representations. The complainant is then given a chance to comment on those representations.

What the case examiners receive

The investigation form, all the evidence, the registrant's representations and any comments from the complainant. Your written representations are therefore one of the most important documents in the case.

An investigation is not a finding that fitness to practise is impaired.

Interim orders

If the Registrar, case examiners or Investigation Committee consider there may be a risk to the public or the registrant, or another public-interest reason, they can refer the registrant to the Fitness to Practise Committee to consider an interim order: immediate suspension or conditional registration. Interim order review hearings are a distinct part of the process.

GOC case examiners and the Investigation Committee

Two case examiners, one registrant and one lay, decide what happens to each complaint. According to the GOC, they may:

  • Take no further action, and may give advice about future practice or conduct at the same time
  • Issue a warning, following the GOC's separate warnings guidance
  • Refer the allegation to the Fitness to Practise Committee, which usually holds a public hearing
  • Refer the case to the Investigation Committee if they cannot agree, or if an assessment of the registrant's health or performance is needed

Case examiners are not a hearing: they do not make final findings of fact or impairment.

The Investigation Committee

Made up of registrant and lay members. It handles cases where case examiners disagree or have requested a health or performance assessment. When deciding whether to refer to the Fitness to Practise Committee, it has the same powers as the case examiners.

Termination of referral

After a referral to the Fitness to Practise Committee, case examiners can consider an application, from the registrant or the Council, to terminate the referral, for example where circumstances have materially changed. The GOC publishes guidance on these applications.

Fitness to Practise Committee hearings

Substantive hearings are held in public under rule 25(1) of the FTP Rules, and may take place remotely, on the papers or at the GOC's office depending on the circumstances. Hearings typically move through case management, evidence, findings of fact, impairment and, where relevant, sanction.

1

Facts

Are the facts alleged proved?

2

Impairment

Do they show fitness to practise is currently impaired? Misconduct can be found without current impairment.

3

Sanction

What, if anything, is needed to protect the public, maintain confidence and uphold standards?

Updated 20 July 2026: Hearings and Indicative Sanctions Guidance. Following consultation, the GOC's new guidance applies to all hearings from 20 July 2026 (part-heard hearings continue under the old version). Changes include a clear definition of hearsay, explanation of situational vulnerability and special measures for vulnerable witnesses, a more balanced approach to dishonesty, an updated section on review hearings, and clearer definitions distinguishing sexual harassment from sexual motivation. Sanctions guidance last checked: September 2026.

Current impairment and insight

The central question is whether fitness to practise is impaired now. Decision-makers look at present risk, the likelihood of recurrence, current competence and conduct, time elapsed, evidence of changed practice, public confidence and professional standards.

Insight is not saying sorry. In a GOC case it means showing that you understand what happened, your responsibility, the impact on patients and trust, which standards were engaged, the future risk, and the safeguards you have put in place, and that you have applied that learning.

Disputing facts does not automatically prevent insight. You can contest what happened while showing you understand why the alleged conduct would matter. Take advice before making statements about disputed facts.

ReflectionInsight
Examines the eventUnderstands its significance
Identifies learningRecognises responsibility
Considers alternativesExplains future change
Describes learningDemonstrates application
Looks backwardsConnects past conduct to future risk

GOC CPD, the personal development plan and remediation

The GOC's CPD scheme gives optometrists and dispensing opticians an unusually good structure for remediation. The 2025–27 cycle includes mandatory elements such as a personal development plan, peer review and a reflective exercise, alongside self-directed CPD.

Using the PDP to structure remediation

  1. Identify the learning need arising from the concern
  2. Set specific objectives
  3. Choose relevant CPD and targeted learning
  4. Reflect on it in relation to your practice
  5. Apply it and gather evidence
  6. Review whether the objective was met

CPD completion is not automatic remediation

CPD is ongoing development every registrant must complete. Remediation is a targeted response to an identified concern. In an FTP case, the key question is whether learning is relevant to the concern and how it has been applied in practice. A PDP that links the concern, the learning and the evidence of change is far more persuasive than a list of CPD points.

EvidencePotential relevance
Relevant CPDKnowledge gained
Assessed courseDemonstrated understanding
ReflectionLearning and insight
Personal development planPlanned, targeted development
Clinical or records auditApplication in practice
Supervisor or peer reportObserved improvement
Competency assessmentDemonstrated capability
Workplace evidenceSustained change
Repeat auditOngoing improvement over time
Building remediation evidence for a GOC case?The IRR pillar courses each carry 1.5 CPD points and may support a wider remediation plan and your PDP.

Optometry and dispensing: practice-specific risk

Optometrists

Sight testing, clinical decision-making, detection and referral of pathology, prescribing for those on specialty registers, vulnerable patients, emergency response and delegation. Missed pathology cases usually turn on the adequacy of the examination and the records.

Competence remediation

Dispensing opticians

Dispensing advice, communication, referrals, contact lens fitting for those on the specialty register, record keeping and supervision. Concerns often involve scope and appropriate referral.

Professionalism remediation

Supervision and delegation

Who can perform which activity, appropriate supervision of students and unregistered staff, responsibility and documentation. Watch for changes from the GOC's 2026 consultation on testing of sight and delegation.

Performance remediation

Consent

Valid consent, options, risks, alternatives and costs, patient understanding and documentation (standard 3). The GOC publishes consent guidance.

Documentation remediation

Vulnerable circumstances

The 2025 standards and GOC guidance on patients in vulnerable circumstances raise expectations on communication, safeguarding and reasonable adjustments.

Professionalism remediation

Probity

Probity cases need concern-specific analysis: why honesty matters to patient trust, what led to the conduct, and evidence of honest practice over time. Generic CPD is not enough.

Probity remediation

GOC sanctions

If the Fitness to Practise Committee finds fitness to practise impaired, it can impose the sanctions below. Sanctions take effect 28 days after the substantive hearing unless an immediate order is imposed.

  1. WarningWhere not impaired

    Issued about future conduct or performance when fitness to practise is found not impaired. Not subject to an appeal period; takes effect immediately.

  2. Financial penaltyUp to £50,000

    Payable within a period set by the committee. Non-payment can lead to court action and referral to the Investigation Committee.

  3. Conditional registrationWith a review

    Stay on the register provided you comply with conditions, such as extra training. A review hearing may follow when the period ends.

  4. SuspensionUp to 12 months

    Cannot practise, or continue training if a student. Suspension from a specialty register stops those specialty duties. A review hearing may follow.

  5. ErasureRemoval from the register

    Cannot practise or, if a student, continue training. Cannot be imposed where impairment is due to adverse physical or mental health. Published erasure outcomes generally remain visible for five years under the GOC's disclosure policy.

The committee can also find misconduct but no current impairment. Current GOC outcomes in 2026 include suspensions from two to nine months and erasures. See FTP outcomes and sanctions to compare regulators.

GOC fitness to practise and other processes

GOCEmployer
Professional regulatorEmployer or practice owner
RegistrationEmployment
Public protectionWorkplace matters
Standards of PracticeEmployment policies
Can affect registrationCan affect employment

Criminal proceedings

Different purposes, decision-makers and processes. A criminal outcome does not simply dictate the regulatory outcome.

Consumer complaints

Refunds, products and service disputes usually go to the practice or the Optical Consumer Complaints Service, not FTP.

Business regulation

A concern about a registered optical business is judged against the Standards for Optical Businesses, separately from any individual's FTP.

Courses for GOC registrants

Courses may provide evidence of relevant learning, and can sit within your personal development plan. Course completion alone does not establish insight, competence, remediation or any GOC outcome.

IRR pillar

Insight

  • Insight beyond apology
  • Connecting past conduct to future risk
  • Insight when facts are disputed
CPDStructured CPD · 1.5 CPD pts
Enrol Now
IRR pillar

Reflection and Reflective Practice

  • Reflection that supports your PDP
  • From narrative to learning
  • Evidencing applied learning
CPDStructured CPD · 1.5 CPD pts
Enrol Now
IRR pillar

Remediation

  • Targeted remediation plans
  • Audit and re-audit as evidence
  • Presenting evidence of change
CPDStructured CPD · 1.5 CPD pts
Enrol Now
GOC

Optometrist and Optician Professionalism

  • The 19 standards applied
  • Candour, boundaries and trust
  • Supervision and delegation
CPDStructured CPD · 2 CPD pts
Enrol Now
GOC

Optometrist and Optician Ethics

  • Ethical optical practice
  • Consent and confidentiality
  • Vulnerable patients
CPDStructured CPD · 2 CPD pts
Enrol Now
Standards 5–7

Clinical Competence and Patient Safety

  • Working within competence
  • Assessment and referral
  • Evidencing safe practice
CPDStructured CPD · 2 CPD pts
Enrol Now
Standard 8

Documentation Professionalism

  • Records that support your findings
  • Recording consent and referrals
  • Auditing your records
CPDStructured CPD · 1.5 CPD pts
Enrol Now
Standard 15

Professional Boundaries

  • Boundaries with patients
  • Online and social media
  • Recognising risk
CPDStructured CPD · 2 CPD pts
Enrol Now
Process

Fitness to Practise

  • The FTP process end to end
  • Current impairment explained
  • Where remediation fits
CPDStructured CPD · 3 CPD pts
Enrol Now

Depending on the concern, Probity, Confidentiality, Safe Prescribing or Duty of Candour may also be relevant. See all GOC remediation courses or all courses.

If the GOC contacts you: a 14-step action plan

  1. Read the correspondence

    Carefully, twice.

  2. Identify the concern

    Exactly what is alleged.

  3. Note all deadlines

    Especially for representations.

  4. Preserve records

    Securely.

  5. Never alter records

    It creates a probity issue.

  6. Identify the standards

    Which of the 19.

  7. Write a chronology

    While memory is fresh.

  8. Separate facts from assumptions

    Know versus think.

  9. Identify learning needs

    From the root cause.

  10. Take independent advice

    AOP, FODO, ABDO or a solicitor.

  11. Undertake remediation

    Targeted, via your PDP.

  12. Document application

    Audit, peer review, feedback.

  13. Keep evidence organised

    For case examiners and any hearing.

  14. Keep meeting the standards

    Throughout the process.

If you are currently subject to GOC proceedings

This page is educational and is not a substitute for case-specific legal or regulatory advice. Consider independent advice, for example through your professional body's legal service, before responding to allegations, making admissions or submitting evidence.

GOC FTP decision tree

A simplified educational model.

Concern or declaration received
Triage and acceptance criteria
Investigation and your representations
Case examiners
No further action (with advice) or warningInvestigation CommitteeFitness to Practise Committee
1. Facts2. Impairment3. Sanction
Outcome

Common mistakes in GOC cases

  • Treating an allegation as a finding.
  • Ignoring correspondence or missing deadlines.
  • Changing records.
  • Generic reflection or certificates alone.
  • CPD not linked to the concern.
  • No evidence of application.
  • Blaming systems without examining your own role.
  • Confusing remorse with insight.
  • Not declaring, or assuming a declaration means FTP.
  • Confusing fitness to practise, to train and to carry on business.
  • Assuming remediation guarantees a result.
  • Not getting advice in a serious case.

GOC fitness to practise: frequently asked questions

What is GOC fitness to practise?

The GOC's process for deciding whether an optometrist's or dispensing optician's fitness to practise is impaired, and what action is needed to protect the public.

Who does the GOC regulate?

Optometrists, dispensing opticians, optical students and optical businesses.

What can trigger GOC FTP?

Concerns about clinical competence, records, consent, supervision, prescribing, confidentiality, probity, boundaries, discrimination, convictions or health that may show impaired fitness to practise.

Can a patient complain to the GOC?

Yes, about fitness to practise. Consumer disputes about products, refunds or service usually go to the practice or the Optical Consumer Complaints Service.

What happens after a GOC concern?

The GOC acknowledges it and carries out triage. If it opens a formal investigation, it tells you.

What is GOC triage?

Preliminary enquiries to decide whether the concern should be formally investigated.

What are the GOC acceptance criteria?

A case-management tool for deciding whether a complaint amounts to an allegation of impaired fitness to practise requiring investigation under section 13D of the Opticians Act.

What is a GOC investigation?

Gathering clinical records, witness statements and sometimes independent expert opinion, then sending you all the evidence for written representations.

What are GOC case examiners?

Two decision-makers, one registrant and one lay, who decide what happens to each complaint after investigation.

What can case examiners decide?

No further action (with or without advice), a warning, referral to the Fitness to Practise Committee, or referral to the Investigation Committee if they disagree or need a health or performance assessment.

What is current impairment?

Whether your fitness to practise is impaired now, considering risk, recurrence, insight, remediation and public confidence, not only what happened.

What is GOC insight?

Understanding what happened, your responsibility, the impact, the standards engaged and the future risk, shown through changed practice.

Can I show insight if I dispute an allegation?

Potentially, by showing you understand why the alleged conduct would matter. Take advice first.

Can remediation help with a GOC case?

Yes, it can be highly relevant to current impairment and sanction. It cannot guarantee an outcome.

Does a CPD certificate prove remediation?

No. It shows learning. Remediation needs relevance to the concern and evidence of application.

What is the GOC Fitness to Practise Committee?

The independent committee that hears referred cases and decides facts, impairment and sanction, and considers interim orders.

Are GOC hearings public?

Substantive hearings are held in public under rule 25(1), though they can take place remotely or on the papers.

What is a GOC warning?

A formal warning about future conduct or performance, used where fitness to practise is not impaired. It takes effect immediately.

What is conditional registration?

Remaining on the register provided you comply with conditions, such as training, usually with a review hearing at the end.

What does GOC suspension mean?

You cannot practise, or continue training, for up to 12 months. A review hearing may follow.

What does GOC erasure mean?

Removal from the register. It cannot be imposed where impairment is due to health.

Can the GOC fine me?

Yes. The Fitness to Practise Committee can impose a financial penalty of up to £50,000.

What are GOC interim orders?

Immediate suspension or conditional registration while a case continues, where needed to protect the public or in the public interest. Not a finding.

Can a clinical mistake lead to GOC FTP?

It can if serious or repeated, but a single mistake, handled openly and learned from, often does not show current impairment.

Can poor record keeping lead to GOC FTP?

Yes, particularly where records do not support the examination or advice given, or have been altered.

Does making a declaration mean I face FTP?

No. The GOC says many declarations need no further action. Failing to declare is the bigger risk.

Can a criminal conviction affect GOC registration?

Yes. Convictions must be declared and are assessed for what they mean for fitness to practise.

What is GOC fitness to train?

The test applied to registered optical students. Suspension or erasure stops a student continuing their training.

What is fitness to carry on an optical business?

The test applied to registered optical businesses, separate from any individual's fitness to practise.

Can IRR Practice guarantee a GOC outcome?

No. IRR Practice is an independent education provider. It is not the GOC and does not make regulatory decisions.

Official GOC sources

This guide is based on the GOC's published material. IRR Practice is independent; naming the GOC does not imply endorsement.

Content governance. Last reviewed September 2026. Next review March 2027, or sooner if GOC legislation, rules, standards or guidance change. IRR Practice is an independent healthcare education provider. It is not the General Optical Council and does not make regulatory decisions.

  • GOC How we investigate a concernCurrent version
  • GOC Sanctions we can imposeCurrent version
  • GOC Hearings and Indicative Sanctions GuidanceApplies from 20 July 2026
  • GOC Guidance for case examinersDecember 2025
  • GOC Standards of Practice for optometrists and dispensing opticiansIn effect from 1 January 2025
  • GOC FtP Focus: Declarations for registrantsJuly 2026
  • Legislation Opticians Act 1989; GOC (Fitness to Practise) Rules 2013As amended

More GOC articles on the blog

CPD, standards, investigations and remediation for optometrists and dispensing opticians.

Read GOC articles
Dr Anthony Whitfield

Dr Anthony Whitfield

Writes for IRR Practice on professional standards, fitness to practise, insight, reflection and remediation for UK healthcare professionals.

Last reviewed: September 2026