COLQUITT REGIONAL SENIOR CARE & REHABILITATION

101 COBBLESTONE TRACE SE, MOULTRIE, GA 31768 (229) 985-3637
Government - Hospital district 59 Beds Independent Data: November 2025
Trust Grade
65/100
#121 of 353 in GA
Last Inspection: August 2024

Within standard 12-15 month inspection cycle. Federal law requires annual inspections.

Overview

Colquitt Regional Senior Care & Rehabilitation has a Trust Grade of C+, which means it is slightly above average but not outstanding. It ranks #121 out of 353 facilities in Georgia, placing it in the top half, and #3 of 4 in Colquitt County, indicating only one local option is better. Unfortunately, the facility's performance is worsening, with issues increasing from 3 in 2022 to 7 in 2024. Staffing is a strength, with a rating of 4 out of 5 stars and a turnover rate of 35%, which is lower than the state average. However, the facility has faced concerns, such as failing to properly monitor antibiotic use and not appropriately reporting missing narcotics, which raises potential safety issues for residents.

Trust Score
C+
65/100
In Georgia
#121/353
Top 34%
Safety Record
Low Risk
No red flags
Inspections
Getting Worse
3 → 7 violations
Staff Stability
○ Average
35% turnover. Near Georgia's 48% average. Typical for the industry.
Penalties
✓ Good
No fines on record. Clean compliance history, better than most Georgia facilities.
Skilled Nurses
○ Average
Each resident gets 34 minutes of Registered Nurse (RN) attention daily — about average for Georgia. RNs are the most trained staff who monitor for health changes.
Violations
⚠ Watch
16 deficiencies on record. Higher than average. Multiple issues found across inspections.
★★★☆☆
3.0
Overall Rating
★★★★☆
4.0
Staff Levels
★★★☆☆
3.0
Care Quality
★★★☆☆
3.0
Inspection Score
Stable
2022: 3 issues
2024: 7 issues

The Good

  • 4-Star Staffing Rating · Above-average nurse staffing levels
  • Full Sprinkler Coverage · Fire safety systems throughout facility
  • No fines on record
  • Staff turnover below average (35%)

    13 points below Georgia average of 48%

Facility shows strength in staffing levels, fire safety.

The Bad

3-Star Overall Rating

Near Georgia average (2.6)

Meets federal standards, typical of most facilities

Staff Turnover: 35%

11pts below Georgia avg (46%)

Typical for the industry

The Ugly 16 deficiencies on record

Aug 2024 7 deficiencies
CONCERN (D)

Potential for Harm - no one hurt, but risky conditions existed

Transfer Notice (Tag F0623)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview, record review, and review of the facility's policy titled, Transfer or Discharge documentation, the facility...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview, record review, and review of the facility's policy titled, Transfer or Discharge documentation, the facility failed to ensure a written transfer/discharge notice with required content was provided prior to being transferred for three residents (R), R32, R1, R8, and the resident representatives (RR). In addition, the facility failed to provide the State LTC (Long Term Care) Ombudsman office with notification of residents who transferred or discharged . The deficient practice had the potential for residents to be inappropriately transferred or discharged by not being informed of their rights and appeal options. The sample size was 22 residents. Findings include: Review of the facility's policy titled, Transfer or Discharge documentation dated 10/2022 revealed, .4 .when a resident is transferred .from the facility, the following information will be documented in the medical record .b. That an appropriate notice was provided to the resident and /or legal representative . 1. Review of R32's electronic medical record (EMR) Progress notes tab revealed on 7/14/2024 at 11:45 pm, Resident vomit coffee ground x (times)3 and c/o (complaint of) abdominal pain Recommendations: New order to ER (Emergency Room) for tx (treatment)/eval (evaluation). On 7/15/2024 at 00:09 AM (12:09 am) .Call 911 Further review of the EMR Progress notes revealed no documentation that the resident and Resident Representative (RR) were provided the transfer notice. 2. Review of R1's EMR Progress notes tab revealed on 5/22/2024 at 1:35 am, Resident continues to run a fever along with vomiting. Resident's heart rate continues to stay up. Resident sent out to ER. Further, review of the EMR Progress notes revealed no documentation that the resident and RR were provided the transfer notice. 3. Review of R8's EMR Progress Notes tab revealed, on 1/24/2024 at 8:15 am, called to resident's room by CNA (Certified Nursing Assistant). Resident is not feeling well, she says she has pneumonia again. On 1/24/2024 at 9:28 am, EMS (Emergency Medical Service) here to take resident to the ER for evaluation. Further, review of the EMR Progress notes revealed no documentation that the resident and RR were provided the transfer notice. On 8/12/2024 at 5:37 pm, the Administrator provided R32, R8 and R1's Transfer form that was mailed to each resident's RR. Review of the Transfer form did not include a statement of the resident's appeal rights, including the name, address (mailing and email), and telephone number of the entity which receives such requests; and information on how to obtain an appeal form and assistance in completing the form and submitting the appeal hearing request; the name, address (mailing and email) and telephone number of the Office of the State LTC Ombudsman. Interview on 8/13/2024 at 9:41 am, the Administrator reviewed R32, R1 and R8's Transfer forms and confirmed that the transfer forms did not include the resident's appeal rights and the name/address of the State Ombudsman office Interview on 8/13/2024 at 10:48 am, the Administrator revealed that prior to May 2024 the facility was not sending transfer notices to the State LTC Ombudsman, but they were now. The Administrator provided the May 2024, June 2024, and July 2024 lists that were sent to the Ombudsman's office. Review of the list revealed that R8's transfer to the hospital ER on [DATE] was not included on the May 2024 list of discharges and transfers to the Ombudsman. Further review revealed R32's transfer to the hospital ER on [DATE] was not included on the July 2024 list. Further interview after reviewing the May and July 2024 lists, the Administrator confirmed that the facility was only sending hospital transfers to the Ombudsman for residents that did not return to the facility.
CONCERN (D)

Potential for Harm - no one hurt, but risky conditions existed

Comprehensive Care Plan (Tag F0656)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview, record review, and review of the facility's policy titled, Antipsychotic Medication Use, the facility failed...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview, record review, and review of the facility's policy titled, Antipsychotic Medication Use, the facility failed to implement a care plan for monitoring the use of psychotropic medications for two of two residents (R) R154 and R31 reviewed for psychotropic medications. This failure could result in unwarranted use of psychotropic medications and unmanaged medication side effects. The sample size was 22 residents. Findings include: Review of the facility's policy titled, Antipsychotic Medication Use, dated 8/2022, revealed, .The attending physician and other staff will gather and document information to clarify a resident's behavior, mood, function, medical condition, specific symptoms, and risks to the resident and others .based on assessing the resident's symptoms and overall situation, the physician will determine whether to continue, adjust, or stop existing antipsychotic medication . 1. Review of R154's undated Face Sheet located under the Profile tab in the electronic [NAME] record (EMR) revealed R154 was admitted to the facility on [DATE] with the diagnoses of intraarticular of the lower end of right wrist, major depressive disorder, bipolar disorder, and Alzheimer's disease. Review of R154's admission Minimum Data Set (MDS) could not be completed due to this MDS being In Progress. Review of R154's Physician Orders revealed orders dated 8/09/2024 for Aripiprazole 10 mg (milligrams) by mouth daily for mood disorders and escitalopram oxalate 20 mg by mouth daily for depression. Review of R154's Care Plan dated 8/9/2024 revealed R154 was at risk for mood issues due to having bipolar depression/anxiety. Interventions were, administer my medications as ordered, observe for tolerance/effectiveness and possible adverse side effects. Report to physician/nurse practitioner as indicated .notify the physician/nurse practitioner if worsening in my mood is observed . Review of R154's MAR (Medication Administration Record) dated 8/2024 revealed no monitoring of side effects of the medications given, or of worsening behaviors being exhibited by the resident. During an interview on 8/14/2024 at 9:40 am, the Director of Nursing (DON) confirmed there was no monitoring of side effects or behaviors of the psychotropic medications R154 was receiving. 2. Review of R31's undated admission Record, revealed R31 was admitted to the facility on [DATE]. R31's diagnoses included major depressive disorder, recurrent severe without psychotic features. Review of a Quarterly MDS with an ARD (Assessment Reference Date) of 7/6/2024 indicated R31 had a Brief Interview for Mental Status (BIMS) score of 14 indicating R31 was cognitively intact. The MDS also indicated R31 had taken an antidepressant and antianxiety agent during the last seven days prior to the ARD. Review of R31's active Orders revealed an order dated 5/18/2024 for Celexa (an antidepressant medication) 10 milligrams (mg) once daily. Review of R31's active orders revealed an order with a start date and time of 8/12/2024 at 7:00 pm to monitor for side effects and behaviors every shift. Further review revealed the order for side effect monitoring was entered on 8/12/2024 at 4:50 pm. Review of the most recent Comprehensive Care Plan, initiated 5/20/2024 and last revised 6/28/2024, indicated a focus area for psychotropic drugs to manage anxiety and depression. The interventions included to, .administer medications as ordered. And observe for tolerance and effectiveness. Report any possible adverse side effects to MD/ARNP (Medical Doctor/Advanced Registered Nurse Practitioner). Review of R31's MAR for May 2024 revealed Celexa administration began on 5/18/2024. Further review revealed no evidence of monitoring for Celexa side effects or efficacy. Review of R31's MAR for June 2024 and July 2024 revealed no evidence of monitoring for Celexa side effects or efficacy. Review of R31's MAR for August 2024, revealed no evidence of monitoring for Celexa side effects or efficacy until 8/12/2024 during second shift. During an interview on 8/12/2024 at 4:45 pm the DON revealed antidepressants should be monitored and it should be in the orders and the MAR. The DON confirmed R31 was care planned for antidepressant monitoring. The DON reviewed R31's EMR orders and confirmed there was no order for Celexa side effect or efficacy monitoring and therefore not on the MAR. The DON also confirmed the Celexa order did not include a monitoring condition in the medication administration system. The DON stated she would correct the order to require side effect and efficacy documentation during medication administration.
CONCERN (D)

Potential for Harm - no one hurt, but risky conditions existed

Deficiency F0660 (Tag F0660)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on staff interview and record review, the facility failed to document discharge needs and assessment of a resident being d...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on staff interview and record review, the facility failed to document discharge needs and assessment of a resident being discharged home for one of three residents (R) R44 out of 22 sampled residents. The result of this failure was incomplete documentation and communication among staff in the discharge process of R44. Findings include: Review of R44's undated Face Sheet located under the Profile tab in the electronic medical record (EMR) revealed R44 was admitted to the facility on [DATE] with the diagnosis of fracture of unspecified part of the right femur with subsequent encounter for closed fracture with routine healing. Review of R44's admission Minimum Data Set (MDS), revealed R44 had a Brief Interview for Mental Status (BIMS) score of 15 out of 15. This represented R44 was cognitively intact. Review of R44's Progress Notes revealed no documentation of the discharge needs or assessment of R44 when discharged home. There was also no date in the progress notes as to the date R44 was discharged home. Review of R44's Discharge Instructions provided by the facility was, dated 8/8/2024, which included information about the medical equipment name and home health company with phone numbers. There was no documentation of an assessment being completed prior to discharge from the facility for R44. R44's signature along with the date of 8/9/2024 was noted to be on this form. Interview on 8/14/2024 at 10:10 am, the Social Services Director (SSD) stated, I talked to the husband, and he said he might have something to use for a bedside commode. The SSD revealed she faxed the referral to the home health agency. When asked if she called the home health agency to see if they had received this referral, the SSD did not reply and there was no documentation to support there was conversations with the home health agency to reflect they acknowledged their receipt of this information. The SSD reviewed the EMR and confirmed there was no documentation of discharge planning other than the discharge instruction sheet that R44 signed on 8/9/2024. Interview on 8/14/2024 at 10:41 am, Licensed Practical Nurse (LPN) 1 confirmed there was no documentation of a discharge assessment of R44 in the progress notes when R44 was discharged on 8/9/2024. Interview on 8/14/2024 at 2:52 pm, the Director of Nursing (DON) stated, .d/c (discharge) note should state when the resident left, medications reviewed, follow up appointments, and summary of all home health and equipment referrals. Interview on 8/14/2024 at 3:08 pm, the Administrator stated, I expect my staff to document when the resident was discharged and to where discharged , who did they go home with and how did they go. I expect that they also add in the note the medications that were gone over and if they understood. The administrator confirmed that a nurse that discharges a resident should document the condition of the resident at the time of discharge. The administrator also stated, They should put in their note if the resident or RP declined having the equipment that PT recommended when they go home.
CONCERN (D)

Potential for Harm - no one hurt, but risky conditions existed

Pressure Ulcer Prevention (Tag F0686)

Could have caused harm · This affected 1 resident

Deficiency Text Not Available

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Deficiency Text Not Available
CONCERN (D)

Potential for Harm - no one hurt, but risky conditions existed

Deficiency F0698 (Tag F0698)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on staff interview, record review, review of the dialysis contract, and review of the facility's policy titled, End-Stage ...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on staff interview, record review, review of the dialysis contract, and review of the facility's policy titled, End-Stage Renal Disease, Care of the Resident with, the facility failed to completely document care of a dialysis resident and failed to collaborate with the dialysis center for one of one resident (R) R9 out of 22 sampled residents. This failure resulted in a lack of documentation in the medical record and communication of all staff involved in the care of R9. Findings include: Review of the facility's policy End-Stage Renal Disease, Care of the Resident with dated 9/2010 revealed, Residents with end-stage renal disease (ESRD) will be cared for according to currently recognized standards of care . Review of the dialysis contract dated 5/15/2024 stated, . Provider shall document all Dialysis Services, Related Services, (as defined below) and all other information that should be documented in accordance with standard Clinical documentation practices. At a minimum such documentation must include laboratory values, vital signs, medications administered or changed, the reason any medication or other service was not provided in accordance with physician's orders or the resident's plan of care and any change in the resident's medical status. Provider shall make available to Facility copies of all documentation at the time the resident is transported from Clinic back to Facility . Facility will make portions of the individual resident clinical record available to Provider, including the resident's plan of care, medication orders, contact information for the resident's responsible party and attending physician and other information necessary to ensure that the resident experiences a continuum of care while receiving Dialysis Services from Provider . Review of R9's undated Face Sheet located under the Profile tab in the electronic medical record (EMR) revealed R9 was readmitted to the facility on [DATE] with the diagnoses of end stage renal disease and chronic kidney disease. Review of R9's Quarterly Minimum Data Set (MDS) with an Assessment Reference Date (ARD) of 7/24/2024 revealed R9 had a Brief Interview for Mental Status (BIMS) score of 15 out 15. This represented R9 was cognitively intact. This MDS also coded R9 as receiving dialysis. Review of R9's Care Plan revealed, (R9) has chronic end stage renal disease and will be getting hemo-dialysis 3 [sic] x (times) week. Interventions in place were administer my medications as ordered, go to dialysis 3 [sic] x week for her scheduled dialysis appointments, and observe me for complications of my disease process. Review of R9's Physician Orders revealed an order dated 5/15/2024 which stated, Obtain weights before and after dialysis. Review of R9's Dialysis Transfer Form, dated 7/01/2024 through 8/12/0224 revealed pre and post dialysis documentation were incomplete with areas on both sections left blank. There were also missing signatures of the nurse that documented these assessments along with missing dates and time these assessments occurred. Under the Middle Portion To Be Completed By Dialysis Unit And Returned With Resident there was incomplete documentation to reflect the care of the resident while receiving dialysis. This missing documentation was to be filled out by the dialysis center. Interview on 8/14/2024 at 10:41 am, Licensed Practical Nurse (LPN) 1 stated, You (nurse) have to fill out the vital signs and any changes in the resident fill this out, so the dialysis center knows about it. LPN1 confirmed there was missing documentation on the Dialysis Transfer Form that should have been filled out completely and not left blank. Interview on 8/14/2024 at 2:17 pm, the Director of Nursing (DON) confirmed all areas on the pre and post dialysis assessments are to be filled out by the nurse and not left blank. The DON stated, The nurse should review the dialysis center's documentation and if any areas are left blank, then they are to call them and fax the transfer form back to them so the nurses there can document the areas that had missing documentation on it.
CONCERN (D)

Potential for Harm - no one hurt, but risky conditions existed

Staffing Information (Tag F0732)

Could have caused harm · This affected 1 resident

Based on observation, interview, and review of the facility's policy titled, Posting Direct Care Daily Staffing Numbers, the facility failed to ensure that the daily nurse staffing was posted to accur...

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Based on observation, interview, and review of the facility's policy titled, Posting Direct Care Daily Staffing Numbers, the facility failed to ensure that the daily nurse staffing was posted to accurately reflect the actual staff hours to care for the 54 residents. This failure had the potential to inaccurately inform any resident, family member, or visitor of the available nursing staff caring for residents. The sample size was 22 residents. Findings include: Review of the facility's policy titled, Posting Direct Care Daily Staffing Numbers dated 10/2022 indicated, Our facility will post on a daily basis for each shift, the number of nursing personnel responsible for providing direct care to residents .1. Within two hours of the beginning of each shift, the number of licensed nurses .and the number of unlicensed nursing personnel (CNAs) directly responsible for resident care will be posted in a prominent location .3. Shift staff information shall be recorded .g. The actual time worked during that shift for each category and type of nursing staff . Observation on 8/11/2024 at 7:54 pm revealed the daily nurse staff document was behind glass doors on the bulletin board in the hallway across from the therapy room and indicated the date of 8/9/2024 and 52 residents. Interview on 8/12/2024 at 3:31 pm, the Administrator stated that the Director of Nursing (DON) was responsible for completing the form and posting it Monday through Friday, and the RN Supervisor was responsible for posting the document daily on weekends. Interview on 8/13/2024 at 9:02 am, the Administrator revealed that the daily nurse staffing document did not include the rehabilitation Certified Nurse Aide (CNA), the bath CNA and the multipurpose CNA. She revealed that the nursing schedule did not include the rehabilitation CNA, the bath CNA, and the multipurpose CNA either because she did not want the CNAs to think there were extra staff and call off.
CONCERN (F)

Potential for Harm - no one hurt, but risky conditions existed

Antibiotic Stewardship (Tag F0881)

Could have caused harm · This affected most or all residents

Based on interview, review of facility documentation, and review of the facility's policy titled, Antibiotic Stewardship, the facility failed to develop an effective Antibiotic Stewardship Program (AS...

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Based on interview, review of facility documentation, and review of the facility's policy titled, Antibiotic Stewardship, the facility failed to develop an effective Antibiotic Stewardship Program (ASP) to monitor antibiotic use. Specifically, the facility failed to ensure that residents were not prescribed an antibiotic, or were not administered an antibiotic(s), without diagnostic testing that identified an organism and documented symptomology to support the continued use of an antibiotic. This deficient practice has the potential to affect all residents in the facility. Facility census was 54 residents. Findings include: Review of the facility's policy titled Antibiotic Stewardship dated 9/2022 indicated, Antibiotics will be prescribed and administered to residents under the guidance of the facility's antibiotic stewardship program/QAPI (Quality Assurance and Performance Improvement) Committee .Antibiotic usage and outcome data will be collected, documented, and any trends will be reported to the QAPI committee. Review of the facility's ASP, since the last recertification survey on 8/18/2022, revealed that the Antibiotic Stewardship data documentation provided by the Infection Preventionist (IP)/Director of Nursing (DON) revealed that December 2023 was the first month of the ASP. Further review of the data collection provided by the IP/DON revealed that there was data collection for January 2024, none for February 2024, and data collection for March through July 2024. Review of the Infection Control Surveillance manual provided by the IP/DON on 8/14/2024 at 2:04 pm revealed the following ASP information: Review of the December 2023 Infection Control Surveillance document indicated 10 infections for the month, eight infections were Urinary Tract Infection (UTIs) of which seven developed in the facility. In addition, three of the 10 infections documented that the infection did not meet the McGreer's criteria. According to the surveillance document, R103 was prescribed Amoxicillin x (times) 10 days, R104 was prescribed Rocephin 1-gram x 2 doses, and R29 was prescribed Cefdinir. Review of the document attached to the December 2023 surveillance revealed there were no interventions for the three residents (R103, R104 and R29) that were prescribed an antibiotic even though their symptoms did not meet the McGreer criteria. Review of the January 2024 Infection Control Surveillance document indicated 11 infections of which six resident's symptoms (R49, R105, R8, R38, R20 and R106) did not meet McGreer's criteria. R49 complained of cough and was prescribed Amoxicillin x 2 days; R105 was pulling on ear and was prescribed Amoxicillin; R8 complained of cough on two separate times and was prescribed Azithromycin for the first cough episode and Doxycycline for the second cough episode; R38 complained of a cough and was prescribed Doxycycline; R20 complained of a cough and was prescribed Levaquin 500 milligram (mg) for 10 days; and R106 complained of vaginal itch and was prescribed Diflucan 150 mg for three doses. Review of the document attached to the January 2024 surveillance revealed there were no interventions for the seven residents who were prescribed antibiotics even though their symptoms did not meet McGreer's criteria. Review of March 2024 Infection Control Surveillance document indicated 10 infections of which eight infections were UTIs. Of the 10 infections, two infections (R39 and R17) infection did not meet McGreer's criteria. R39 complained of dysuria and was prescribed Rocephin 1 gram one dose and Macrobid for seven days. Review of March 2024 Monthly Infection Surveillance Report dated 2/1/2024 did not have any documentation of interventions for the one resident (R39) who was prescribed an antibiotic even though R39's symptoms did not meet the McGreer's criteria. Review of the April 2024 Infection Control Surveillance document revealed 13 total infections of which nine were UTIs. The report indicated that three residents (R39, R31 and R107) were placed on prophylactic antibiotics. R39 and R107's infections were documented that the infection did not meet the McGreer's criteria. R29, R108, R31 and R50 the document indicated their infection did not meet McGreer's criteria. R29 complaint of cough and was prescribed Augmentin for undocumented days; R108 complained of cough and was prescribed Augmentin for undocumented days; R31 had a catheter and was prescribed Cipro for undocumented number of days; and R50 was admitted with a wound and the column for antibiotic was blank. Interview on 8/14/2024 at 2:16 pm, the IP/DON confirmed that March and April had so many UTIs, and that there were many residents whose symptoms did not meet McGreer's criteria. The IP/DON stated that if a resident is on hospice, the hospice nurse contacts the hospice physician to get an antibiotic order without any testing. The IP/DON stated that she had no evidence to show that residents' who infections did not require an antibiotic was addressed. Review of May 2024 Infection Control Surveillance document indicated 12 total infections of which six were UTIs, two were Clostridioides difficile (C-Diff), one respiratory and three were wound infections. Of the 12 infections, six infections (R109, R8, R106, R17, R32, and R1) did not meet McGreer's criteria. R109 was hospice with no indication of what type of infection and the symptoms. The antibiotic section was left blank. R8 had wound drainage, and a culture was obtained. There was no documentation of the culture results and the column for antibiotic was left blank. R106 complained of a cough and the antibiotic column was left blank. R17 and R32 had a UTI was given Rocephin 1 gram one does even though the urinalysis showed no growth. R1 had wound drainage, and the culture showed less than 10,000 organisms. R1 was placed on Zosyn IV. There was no documentation attached to this report that indicated inservice or interventions implemented for the residents who were prescribed an antibiotic even though their symptoms did not meet McGreer's criteria. Review of the June 2024 Infection Control Surveillance report indicated eight total infections of which four were UTIs. Four of the eight infections (R4, R30, R10 and R24) were documented as not meeting the McGreer's criteria. R4 complained of cough and was prescribe a Z-pack [Zithromax (azithromycin)]; R30 complained of sore throat and was prescribed Amoxicillin; R10 had a UTI and was prescribed Levaquin and R24 had wound abscess, no culture was obtained because resident was on hospice and prescribed Keflex. Review of the June 2024 Monthly Infection Surveillance Report dated 7/06/2024 indicated a total of five infection of which one was respiratory and four were UTIs. The attached document indicated Trends identified increased UTIs in April and May and Preventative/Control Measure Taken indicated, referred several residents with recurrent UTIs to urology for prophylactic treatment .inservice provided for all nursing staff on 6/17/2024. The IP/DON provided documentation for all nursing staff attending inservice education regarding hand hygiene and perineal care. The IP/DON stated that there was no documentation of interventions for residents listed with infections that did not meet McGreer's criteria. Review of the July 2024 Infection Control Surveillance report indicated eight infections of which four UTIs, one abscess, two wound and one C-Diff. One resident (R49) infection was marked as not meeting McGreer's criteria. R49 complained of UTI and was prescribed Macrobid for seven days. Interview with the IP/DON on 8/14/2024 at 2:16 pm, the IP/DON revealed that the McGreer's criteria (Which defines the resident's symptoms and other clinical criteria that are used to meet infection surveillance definitions. Infection surveillance definitions are essential for consistently monitoring infections over time and to determine where infection prevention efforts are needed. The revised McGreer criteria require more diagnostic information) was used by the facility to guide the ASP. Interview with the IP/DON on 8/14/2024 at 2:16 pm, the IP/DON confirmed that she did not have any ASP prior to 12/2023, and she confirmed that 2/2024 ASP data was missing. Interview on 8/14/2024 at 2:16 pm the IP/DON stated that she had no evidence of other interventions after analyzing the data other than June 2024 inservice when all nursing staff were trained on hand hygiene and perineal care. She stated that she had no explanation of infections on the surveillance documents that she indicated that the infection symptoms were marked N which meant the infection was not a true infection based on review of Mc Greers. She confirmed she had not done any interventions for the infections that did not meet the criteria.
Aug 2022 3 deficiencies
CONCERN (D)

Potential for Harm - no one hurt, but risky conditions existed

Notification of Changes (Tag F0580)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** 2. Record review revealed R#9 was admitted to the facility on [DATE] with diagnoses that included but not limited to Personal Hi...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** 2. Record review revealed R#9 was admitted to the facility on [DATE] with diagnoses that included but not limited to Personal History of COVID, Essential Hypertension, Muscle Weakness (Generalized), Atherosclerotic Heart Disease, and Other Idiopathic Peripheral Autonomic Neuropathy. Review of behavior note dated 7/21/2022 at 10:26 a.m. revealed Pt is very anxious and constantly crying. She states that she is paralyzed because of covid and that she cannot use her hands anymore. I encouraged her to hold her cup during med pass and she began crying because she said that she could not do it. She ended up holding her cup to drink some soda to swallow her medicine. She also stated that she wants to die because she is so sick, and she is tired of being sick. I think she needs something for anxiety. Will continue to monitor. Pt does report some body aches, but her vitals have been wnl (within normal limits) since yesterday. Further review of the record indicated a behavioral health assessment was completed on 7/27/22 by a behavioral health service provider indicating resident presented with rumination about recent socio-environmental stressor related to pandemic precipitating depressed moods and anxiety. Treatment included to increase effective coping to deal with recent socio-environmental stressor, related to pandemic, impacting biopsychosocial functioning via regulation of thoughts and verbalizing feelings of self-efficacy During an interview on 8/18/22 at 8:45 a.m. with LPN EE, Resident expects immediate attention when she puts call light on; CNAs and nurses offer to help her when needed but she prefers to get help from the CNAs; she was not walking before she had COVID; she was using a wheelchair; nurse thinks she heard a comment that the Resident expressed desire to die but if a resident makes this statement this should be reported to the Director of Nursing (DON) and the Administrator. During Interview on 8/18/22 at 10:15 a.m. with Registered Nurse (RN) CC revealed the R#9 told her she wanted to die, and she was tired of being sick. RN CC reported that R#9 had COVID at the time and the DON was informed of incident. However, RN CC reported she does not believe it went any further. During Interview on 8/18/22 at 10:30 a.m. with the Administrator reported that she did not know R#9 made the statement about wanting to die and her expectations are the Physician and mental health personnel would be notified. During a subsequent interview on 8/18/22 at 11:12 a.m. with the Administrator it was revealed that she called the DON, and it was reported that staff talked about the statement the R#9 made about wanting to die during the clinical meeting the next morning. The Administrator further reported that the DON was supposed to take care of the situation, but she did not, and this resulted in neither the Physician or the family being contacted about R#9 making a statement about wanting to die. Based on record review, staff interviews, and review of the facility policy titled, Change in a Resident's Condition or Status the facility failed to notify the responsible party and the physician of a change in condition for two residents (R) R#4 and R#9) of 16 residents reviewed. Findings include: 1.Review of the facility policy titled Change in a Resident's Condition or Status revised 2/2021, revealed: Policy Interpretation and Implementation 1. The nurse will notify the resident's attending physician or physician on call when there has been a: d. Significant change in the resident's physical/emotional/mental condition. 4. Unless otherwise instructed by the resident, a nurse will notify the resident's representative when: b. There is a significant change in the resident's physical/emotional/mental condition. Review of R#4's diagnoses revealed but not limited to monoplegia of upper limb following cerebral infarction affecting the left side, cyst on pancreas, anxiety, cognitive impairment, major depression disorder, and protein calorie malnutrition. Review of R#4's Annual Minimum Data Set (MDS) dated [DATE] revealed Section C-Cognition: Brief Interview of Mental Status (BIMS) score of 15 indicating no cognitive deficit; Section D-Mood: Mood score of 5, Section E-Behavior: no behaviors; Section G-Functional Status: extensive assistance with bed mobility, dressing, toileting, and bathing, supervision with transfers and eating, limited assistance walking, personal hygiene, and locomotion. Review of R#4's Physician's orders revealed an order for lorazepam tablet 0.5 milligrams (MG) give one (1) tablet by mouth (PO) 2 times a day (BID) for anxiety Review of a progress note (behavior note) dated 4/28/2022 at 6:57 p.m. revealed resident informed staff and the Administrator that she was having thoughts of hurting herself. She did not say that she had a plan for harm, but that she was just feeling down and wants to end it all. The Social Worker (SW), who is also a nurse, talked with the resident to see what triggered her and she said she was anxious and down and wanted to know if she could get a lorazepam. The note did not indicate the Physician, or the family was notified of the change in condition. Observations of R#4 8/16/22 through 8/18/22 revealed no behaviors or changes in mood. An interview held on 8/17/22 at 10:38 a.m. with the Administrator revealed R#4 receives psychological services. An interview held on 8/17/22 at 12:44 p.m. with Licensed Practical Nurse (LPN) LPN/SW AA revealed the nurse came to her on 4/28/22 and informed her of the statements made by R#4. She reported that she then called the NP from psychological services who indicated to her that she would be in the next day to see her. She indicated she should have charted in the notes what she did and should have called the family. An interview held on 8/18/22 at 2:50 p.m. with Registered Nurse (RN) RN CC indicated when the resident told her she was feeling sad and down she notified the SW. She indicated she did not call the family or the Physician. An interview held on 8/18/22 at 9:03 a.m. with the Administrator revealed the Physician and the family should have been notified for any change in condition and documented in the medical record.
CONCERN (D)

Potential for Harm - no one hurt, but risky conditions existed

Medication Errors (Tag F0758)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on record review and staff interview, the facility failed to document the duration of therapy for one resident (R) R#57) t...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on record review and staff interview, the facility failed to document the duration of therapy for one resident (R) R#57) that had an order for PRN [as needed] antianxiety medication beyond 14 days of five residents reviewed for unnecessary medications. Findings include: Review of medical record for R#57 revealed an admission date of 7/27/22 with diagnoses that included but not limited to generalized anxiety, dementia with behavioral disturbances, and major depressive disorder. Review of R#57's admission Minimum Data Set (MDS) dated [DATE] revealed Section C-Cognition: brief interview of mental status (BIMS) score of 12 indicating minimum cognitive deficit; Section D-Mood: mood score of five (5), Section E-Behavior: no behaviors; and Section N-Medications: antianxiety and antidepressant use. Review of R#57's Physician's orders revealed (partial list): lorazepam tablet one (1) milligram (MG) give 1 tablet by mouth (PO) every 12 hours PRN for anxiety with an order start date of 7/27/22. An interview held on 8/18/22 at 10:03 a.m. with the Administrator related to the use of a PRN antianxiety medication revealed the order should have included a stop date. The Administrator confirmed the lorazepam 1 MG q 12 hours PRN for anxiety ordered on 7/27/22 did not have a stop date.
CONCERN (D)

Potential for Harm - no one hurt, but risky conditions existed

Infection Control (Tag F0880)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observations, interviews, and review of policy titled, Hand Hygiene, the facility failed to implement consistent infect...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observations, interviews, and review of policy titled, Hand Hygiene, the facility failed to implement consistent infection control practices during medication administration for four residents (R) R#58, R#10, R#24, and R#26). This omission had the potential to affect any resident receiving medications at the facility. The census was 53. Findings Include: Review of policy titled Hand Hygiene (dated [DATE]) revealed Policy interpretation and Implementation 1. All personnel shall follow our established handwashing procedures to prevent the spread of infection and disease to other personnel, patients, and visitors. 2. Associates must perform appropriate handwashing procedures under the following conditions: a. When coming on duty; d. Before preparing or handling medications; g. After contact with blood, body fluids, excretions, secretions, mucous membranes or non-intact skin; and j. After removing gloves. Observation during medication administration with Licensed Practical Nurse (LPN) HH on 8/17/22 beginning at 11:47 a.m. revealed the following: 1. LPN HH did not sanitize hands between four residents (R#10, R#24, R#26, and R#58). 2.R#24 received two types of eye drops in both eyes and LPN HH used gloves but did not perform hand hygiene between administering the eye drops. 3.LPN HH poured crushed medications from package into her hands to give to R#10. LPN HH was not wearing gloves and had not sanitized hands after providing medication to another resident. 4.LPN cut a pill and held it in her hand and did not use gloves. The medication was then transported into a resident's room in a small medicine bin. LPN HH then put the bin on the bedside table and once the medication administration was complete LPN HH put the medicine bin on top of medication cart without sanitizing it. During an interview on 8/17/22 at 12:00 p.m. with LPN HH she revealed that she was nervous and forgot to sanitize her hands. LPN HH further stated that the correct practice is to sanitize hands between residents with hand sanitizer and to use soap and water if visibly soiled. LPN HH admitted that she should have put on gloves before putting pills in her hand and further stated the bin should have been cleaned once she returned to the cart. During an interview on 8/18/22 at 1:30 p.m. with the Administrator it was revealed that the expectations for staff are to wash and sanitize hands before going into rooms and exiting rooms and after any procedure.
Sept 2019 6 deficiencies
CONCERN (D)

Potential for Harm - no one hurt, but risky conditions existed

Deficiency F0645 (Tag F0645)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on record review and staff interviews, the facility failed to refer one resident (R) (#46), admitted with a diagnosis of s...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on record review and staff interviews, the facility failed to refer one resident (R) (#46), admitted with a diagnosis of schizophrenia, for a pre-admission screening and resident review (PASRR) Level II of five residents reviewed with serious mental illness. Findings include: Review of the clinical record revealed R#46 was admitted on [DATE] with a diagnosis of schizophrenia. There was a Physician's Order dated 8/13/19 for aripiprazole 5 milligrams (mg.), one time a day for schizophrenia and duloxetine HCL 60 mg, one capsule a day for depression. Review of the admission Minimum Data Set (MDS) assessment for R#46 dated 6/07/19 documented a Brief Interview Mental Status (BIMS) summary scored of twelve, indicating moderate cognitive impairment. Record review for R#46 revealed a Pre-admission Screening/Resident Review (PASRR) Level I Assessment (Form: DMA-6) with a certification date of 6/3/19 that did not indicate that the resident had a severe mental illness, developmental disability or related condition and no evidence of a Level II PASRR. During an interview on 9/4/19 at 12:22 p.m., Registered Nurse (RN) AA reported no behavioral issues with R#46. An interview on 9/4/19 at 2:00 p.m. with the Social Service Director (SSD) revealed she did not refer R#46 for Level II PASRR because she was recently hired and was not sure of the facility's process for identifying Level II recommended inventions. Interview on 9/4/19 at 2:10 p.m. with the Director of Nursing (DON) revealed that members of the clinical team, including the DON, therapy, social work, activity, and dietary staff meet within 24 hours of a resident's admission to discuss new residents. One of the items discussed during this meeting is whether the resident has a Level I PASRR approval. During the next morning meeting of the Interdisciplinary Team, the team explores whether the resident has only a Level I approval or if he/she triggered for a Level II evaluation. If the resident was triggered for a Level II assessment due to the presence of a mental or intellectual disability or dementia, the social worker or business office manager is expected to arrange for one to be completed. If the need for a Level II evaluation was not triggered, the resident's Level I document is filed in his/her folder in the business office. If after admission, the resident is noted to have symptoms that would suggest a Level II assessment is needed, the social worker or business office manager is responsible for referring that resident for the necessary assessment. During an interview on 9/4/19 at 2:30 p.m., Business Office Manager (BOM) revealed the R#46 has a Level I PASRR approval. She reported she wasn't sure of the process for referring residents for a Level II assessment if a mental or intellectual disorder/disability is assessed after admission, but believed that the charge nurse on the resident's unit would be responsible for referring that resident if it becomes apparent that the Level I assessment is not correct and the resident needs to be referred for a Level II assessment. Further interview on 9/4/19 at 3:00 p.m. with the DON revealed the facility failed to initiate a Level II PASRR assessment for the R#46 with an admitting diagnosis of schizophrenia.
CONCERN (D)

Potential for Harm - no one hurt, but risky conditions existed

Comprehensive Care Plan (Tag F0656)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on record review and staff interviews, the facility failed to follow the care plan for obtaining daily weights for one res...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on record review and staff interviews, the facility failed to follow the care plan for obtaining daily weights for one resident (R) (#52) of 36 sampled residents. Findings include: Review of the Annual Minimum Data Set (MDS) assessment dated [DATE] revealed resident with diagnoses including atrial fibrillation, coronary artery disease (CAD), and hypertension (HTN). Section N - Medications documented the resident received a diuretic daily. The care plan last revised on 8/5/19 documented R#52 has a pacemaker, atrial fibrillation, HTN, CAD, edema, angina, and a history of occasional shortness of breath on exertion which causes anxiety. Interventions included but were not limited to: daily weights initiated on 5/31/19. Review of the Physician's Orders dated 5/29/19 revealed a new order for Lasix 20 milligram (mg) by mouth every day, weigh daily and notify the cardiology office (physician specializing in heart care) if weight gain is greater than three pounds in 24 hours. A review of the clinical record for R#52 revealed daily weights were not recorded during the months of June, July, August and September 2019 for the following days: 6/1 - 6/3, 6/5 - 6/7, 6/9, 6/12 - 6/14, 6/16 - 6/18, 6/20, 6/21, 6/24, 6/26 - 6/28, 6/30, 7/1, 7/2, 7/5 - 7/8, 7/10 - 7/23, 7/25, 7/26, 7/28, 7/31, 8/4, 8/5, 8/9 - 8/11, 8/14, 8/16, 8/19 - 8/21, 8/27 - 8/30, and 9/4. During an interview on 9/06/19 at 8:33 a.m., the Director (DON) confirmed the missing weights. The DON further confirmed the care plan interventions to document weights as ordered daily had not been followed. The weights should have been reviewed and discussed during the care plan review. The DON continued by stating the MDS staff person is responsible for care plan reviews and all the nurses are responsible for following the care plans. Cross Refer to F684.
CONCERN (D)

Potential for Harm - no one hurt, but risky conditions existed

Quality of Care (Tag F0684)

Could have caused harm · This affected 1 resident

Based on record review and staff interviews, the facility failed to follow physician's orders for obtaining daily weights for one resident (R) (#52) of 36 sampled residents. Findings include: A revi...

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Based on record review and staff interviews, the facility failed to follow physician's orders for obtaining daily weights for one resident (R) (#52) of 36 sampled residents. Findings include: A review of the admission Record dated 1/1/17 revealed the following medical diagnoses for R#52: pacemaker, atrial fibrillation, Hypertension (HTN), Coronary Artery Disease (CAD), edema, angina, and a history of occasional shortness of breath on exertion which causes anxiety. Review of the Physician's Orders dated 5/29/19 revealed a new order for Lasix 20 milligram (mg) by mouth every day, weigh daily and notify the cardiology office (physician specializing in heart care) if weight gain is greater than three pounds in 24 hours. A review of the clinical record for R#52 revealed daily weights were not recorded during the months of June, July, August and September 2019 for the following days: 6/1 - 6/3, 6/5 - 6/7, 6/9, 6/12 - 6/14, 6/16 - 6/18, 6/20, 6/21, 6/24, 6/26 - 6/28, 6/30, 7/1, 7/2, 7/5 - 7/8, 7/10 - 7/23, 7/25, 7/26, 7/28, 7/31, 8/4, 8/5, 8/9 - 8/11, 8/14, 8/16, 8/19 - 8/21, 8/27 - 8/30, and 9/4. The care plan last revised on 8/5/19 documented R#52 has a pacemaker, atrial fibrillation, HTN, CAD, edema, angina, and a history of occasional shortness of breath on exertion which causes anxiety. Interventions included but were not limited to: daily weights initiated on 5/31/19. During an interview on 9/6/19 at 8:33 a.m. with the Director (DON) she confirmed the missing weights. The DON stated the weekly Patient at Risk (PAR) meeting missed the physician's order. The DON confirmed it is her and the Assistant Director of Nursing (ADON) responsibility to review the list of weights, including but not limited to daily weights, to check for weight changes. The DON further stated they had not reviewed them lately. During an interview on 9/6/19 at 10:13 a.m. with the Administrator, she revealed her expectations are that the physician's order be followed. She confirmed the DON is responsible for the weight program and weights are to be reviewed in PAR meetings. Further review of the clinical record for R#52 revealed no adverse outcomes related to the deficient practice.
CONCERN (D)

Potential for Harm - no one hurt, but risky conditions existed

Pharmacy Services (Tag F0755)

Could have caused harm · This affected 1 resident

Based on observation, review of facility policy titled Controlled Substances, and staff interview, the facility failed to sign out controlled medications at the time of administration for one resident...

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Based on observation, review of facility policy titled Controlled Substances, and staff interview, the facility failed to sign out controlled medications at the time of administration for one resident (R) (#17) on one of four medication carts. Findings include: Review of the policy titled Controlled Substances dated May 2018 revealed that each controlled substance count must be verified by the nurse on delivery by the pharmacy. A control sheet was made for each controlled substance with a correct count maintained as administered. An observation on 9/5/19 at 3:54 p.m. of the 200-hall medication cart with Registered Nurse (RN) GG revealed that the narcotic count for R#17 of Oxycodone-Acetaminophen was 16 left according to the narcotic count sheet and 14 left in the card. RN GG confirmed that she typically signed narcotics out at the end of the shift. An interview on 9/5/19 at 4:16 p.m. with the Director of Nursing (DON) revealed that her expectation was that narcotics were signed out as they were given. During further interview on 9/5/19 at 4:27 p.m., RN GG stated that narcotics were to be signed out as given. She confirmed that earlier when the narcotic count sheet reflected 16 Oxycodone left for R#17 and there were 14 observed in the card that she had just given one of the two missing Oxycodone to the resident and the other one had been given earlier that morning.
CONCERN (E)

Potential for Harm - no one hurt, but risky conditions existed

Report Alleged Abuse (Tag F0609)

Could have caused harm · This affected multiple residents

Based on staff interviews and review of the policy titled Reporting Abuse to State Agencies and Other Entities, the facility failed to report missing narcotics for two of four residents (R) reviewed f...

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Based on staff interviews and review of the policy titled Reporting Abuse to State Agencies and Other Entities, the facility failed to report missing narcotics for two of four residents (R) reviewed for misappropriation of property (#35 and #52). Findings include: A review of the policy titled Reporting Abuse to State Agencies and Other Entities documented that the Administrator or designee was to promptly notify the following persons or agencies both verbally and in written format of such an incident: The State licensing/certification agency, the local/state Ombudsman, the resident's representative, Adult Protective Services, Law enforcement officials when a crime was suspected to have occurred, the resident's Attending physician and the facility Medical Director. A review of the policy titled Reporting of Alleged Abuse to Facility Management documented that it was the responsibility of employees, facility consultants, attending physicians, family members, visitors, vendors or others to promptly report any incident including misappropriation of resident property to the facility management. Misappropriation of property was defined as the deliberate misplacement, exploitation, or wrongful, temporary, or permanent use of a resident's belongings or money without the resident's consent and exploitation was defined as taking advantage of a resident for personal gain. An interview on 9/5/19 at 4:25 p.m. with the Director of Nursing (DON) revealed that there have been two narcotic related incidents with 22 Norco being taken from a hospice resident in April 2019 and 30 Norco being taken from a resident in July 2019. She stated that the first incident was reported to the police and the second incident was reported to corporate. An interview on 9/5/19 at 4:58 p.m. with the Administrator-In-Training (AIT) FF revealed that neither of the incidents involving missing narcotics was reported to the State. Nurse Consultant HH stated that they don't typically report these kinds of incidents to the state agency. The AIT stated that the corporate policy was to report it to the pharmacy that distributed the medication. An interview on 9/5/19 at 5:07 p.m. with the Administrator revealed that these two incidents were both reported to the corporate office and the pharmacy. She stated that the first incident was reported to the police but not the second incident. She stated that she doesn't know why she didn't report the second incident to the police except that they suspected a certain nurse and that nurse disappeared the day after the incident and had not been located. She stated that she did not report either incident to the state because she did not think of it as a misappropriation of property.
MINOR (C)

Minor Issue - procedural, no safety impact

Deficiency F0577 (Tag F0577)

Minor procedural issue · This affected most or all residents

Based on observation, review of the policy titled Residents Rights and staff interview, it was revealed that the facility failed to ensure that state survey results were accessible to 44 wheelchair-bo...

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Based on observation, review of the policy titled Residents Rights and staff interview, it was revealed that the facility failed to ensure that state survey results were accessible to 44 wheelchair-bound residents in the facility of a census of 50. Findings include: A review of the policy titled Residents Rights revealed that residents have the right to review the nursing home's health and fire safety inspection results and any plan of correction in effect with respect to the facility. During the resident council meeting on 9/4/19 at 3:32 p.m., residents denied knowing the location of the survey results. Four of five residents in attendance were in wheelchairs. Observation on 9/4/19 at 10:41 a.m. revealed that Survey results were posted but wheelchair bound residents could not reach them without asking someone to hand the survey notebook to them. Observation on 9/4/19 at 4:46 p.m. revealed that the survey results were posted on the front hall in a clear plastic box measuring at a height of 61 3/4 inches (5 feet 1 3/4 inches) from the floor. Interview on 9/6/19 at 8:44 a.m. with the Administrator confirmed that the Survey results were posted too high for a wheelchair bound resident to be able to reach them without having to ask for help. After surveyor inquiry, the Administrator stated that she would have the box containing the survey results moved immediately, so that the state survey results would be accessible for all residents.
Understanding Severity Codes (click to expand)
Life-Threatening (Immediate Jeopardy)
J - Isolated K - Pattern L - Widespread
Actual Harm
G - Isolated H - Pattern I - Widespread
Potential for Harm
D - Isolated E - Pattern F - Widespread
No Harm (Minor)
A - Isolated B - Pattern C - Widespread

Questions to Ask on Your Visit

  • "Can I speak with families of current residents?"
  • "What's your RN coverage like on weekends and overnight?"

Our Honest Assessment

Strengths
  • • No major safety red flags. No abuse findings, life-threatening violations, or SFF status.
  • • No fines on record. Clean compliance history, better than most Georgia facilities.
  • • 35% turnover. Below Georgia's 48% average. Good staff retention means consistent care.
Concerns
  • • 16 deficiencies on record. Higher than average. Multiple issues found across inspections.
Bottom line: Mixed indicators with Trust Score of 65/100. Visit in person and ask pointed questions.

About This Facility

What is Colquitt Regional Senior Care & Rehabilitation's CMS Rating?

CMS assigns COLQUITT REGIONAL SENIOR CARE & REHABILITATION an overall rating of 3 out of 5 stars, which is considered average nationally. Within Georgia, this rating places the facility higher than 99% of the state's 100 nursing homes. This mid-range rating indicates the facility meets federal standards but may have areas for improvement.

How is Colquitt Regional Senior Care & Rehabilitation Staffed?

CMS rates COLQUITT REGIONAL SENIOR CARE & REHABILITATION's staffing level at 4 out of 5 stars, which is above average compared to other nursing homes. Staff turnover is 35%, compared to the Georgia average of 46%. This relatively stable workforce can support continuity of care.

What Have Inspectors Found at Colquitt Regional Senior Care & Rehabilitation?

State health inspectors documented 16 deficiencies at COLQUITT REGIONAL SENIOR CARE & REHABILITATION during 2019 to 2024. These included: 15 with potential for harm and 1 minor or isolated issues.

Who Owns and Operates Colquitt Regional Senior Care & Rehabilitation?

COLQUITT REGIONAL SENIOR CARE & REHABILITATION is owned by a government entity. Government-operated facilities are typically run by state, county, or municipal agencies. The facility operates independently rather than as part of a larger chain. With 59 certified beds and approximately 55 residents (about 93% occupancy), it is a smaller facility located in MOULTRIE, Georgia.

How Does Colquitt Regional Senior Care & Rehabilitation Compare to Other Georgia Nursing Homes?

Compared to the 100 nursing homes in Georgia, COLQUITT REGIONAL SENIOR CARE & REHABILITATION's overall rating (3 stars) is above the state average of 2.6, staff turnover (35%) is significantly lower than the state average of 46%, and health inspection rating (3 stars) is at the national benchmark.

What Should Families Ask When Visiting Colquitt Regional Senior Care & Rehabilitation?

Based on this facility's data, families visiting should ask: "Can I visit during a mealtime to observe dining assistance and food quality?" "How do you handle medical emergencies, and what is your hospital transfer rate?" "Can I speak with family members of current residents about their experience?"

Is Colquitt Regional Senior Care & Rehabilitation Safe?

Based on CMS inspection data, COLQUITT REGIONAL SENIOR CARE & REHABILITATION has a clean safety record: no substantiated abuse findings (meaning no confirmed cases of resident harm), no Immediate Jeopardy citations (the most serious violation level indicating risk of serious injury or death), and is not on the Special Focus Facility watch list (a federal program monitoring the lowest-performing 1% of nursing homes). The facility has a 3-star overall rating and ranks #1 of 100 nursing homes in Georgia. While no facility is perfect, families should still ask about staff-to-resident ratios and recent inspection results during their visit.

Do Nurses at Colquitt Regional Senior Care & Rehabilitation Stick Around?

COLQUITT REGIONAL SENIOR CARE & REHABILITATION has a staff turnover rate of 35%, which is about average for Georgia nursing homes (state average: 46%). Moderate turnover is common in nursing homes, but families should still ask about staff tenure and how the facility maintains care continuity when employees leave.

Was Colquitt Regional Senior Care & Rehabilitation Ever Fined?

COLQUITT REGIONAL SENIOR CARE & REHABILITATION has no federal fines on record. CMS issues fines when nursing homes fail to meet care standards or don't correct problems found during inspections. The absence of fines suggests the facility has either maintained compliance or corrected any issues before penalties were assessed. This is a positive indicator, though families should still review recent inspection reports for the full picture.

Is Colquitt Regional Senior Care & Rehabilitation on Any Federal Watch List?

COLQUITT REGIONAL SENIOR CARE & REHABILITATION is not on any federal watch list. The most significant is the Special Focus Facility (SFF) program, which identifies the bottom 1% of nursing homes nationally based on persistent, serious quality problems. Not being on this list means the facility has avoided the pattern of deficiencies that triggers enhanced federal oversight. This is a positive indicator, though families should still review the facility's inspection history directly.