MEYER CARE CENTER

1201 WEST 19TH STREET, HIGGINSVILLE, MO 64037 (660) 584-4224
Non profit - Corporation 56 Beds Independent Data: November 2025
Trust Grade
50/100
#274 of 479 in MO
Last Inspection: July 2024

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

Overview

Meyer Care Center has a Trust Grade of C, which means it is average-neither great nor terrible. In Missouri, it ranks #274 out of 479 facilities, placing it in the bottom half, and #4 out of 5 in Lafayette County, indicating that only one local option is better. The facility is improving, having reduced issues from 21 in 2024 to just 1 in 2025. While staffing is a strength with a turnover rate of 0%, indicating staff stability, it has concerning RN coverage that is lower than 92% of Missouri facilities, meaning residents may not receive adequate nursing oversight. There have been no fines recorded, which is a positive aspect; however, inspector findings revealed issues such as failing to provide sufficient proof of RN coverage for 26 days, a heavy buildup of grease in kitchen areas, and not submitting required staffing data for two of the last four quarters, which could impact resident care.

Trust Score
C
50/100
In Missouri
#274/479
Bottom 43%
Safety Record
Low Risk
No red flags
Inspections
Getting Better
21 → 1 violations
Staff Stability
○ Average
Turnover data not reported for this facility.
Penalties
✓ Good
No fines on record. Clean compliance history, better than most Missouri facilities.
Skilled Nurses
⚠ Watch
Each resident gets only 13 minutes of Registered Nurse (RN) attention daily — below average for Missouri. Fewer RN minutes means fewer trained eyes watching for problems.
Violations
⚠ Watch
45 deficiencies on record. Higher than average. Multiple issues found across inspections.
★★☆☆☆
2.0
Overall Rating
★★☆☆☆
2.0
Staff Levels
★★☆☆☆
2.0
Care Quality
★★☆☆☆
2.0
Inspection Score
Stable
2024: 21 issues
2025: 1 issues

The Good

  • Full Sprinkler Coverage · Fire safety systems throughout facility
  • No fines on record

Facility shows strength in fire safety.

The Bad

2-Star Overall Rating

Near Missouri average (2.5)

Below average - review inspection findings carefully

The Ugly 45 deficiencies on record

May 2025 1 deficiency
CONCERN (D) 📢 Someone Reported This

A family member, employee, or ombudsman was alarmed enough to file a formal complaint

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

Deficiency F0572 (Tag F0572)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to inform one sampled resident (Resident #1) of transportation costs w...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to inform one sampled resident (Resident #1) of transportation costs within the admission agreement out of seven sampled residents. The facility census was 53 residents. Review of the facility's policy titled Admissions dated from 2025 showed: -The facility would maintain an admissions policy governing admissions to the facility to ensure fair and impartial admission practices. -A nursing facility may charge a resident who was eligible for Medicaid for items and services the resident had requested and received only if: --That service was not defined in the State plan as nursing facility services (services required as part of the daily rate). --The facility informs the resident and the resident's representative in advance that the service was not covered to allow them to make an informed choice regarding the fee. --The resident's admission or continued stay was not conditioned on the resident's requesting and receiving that service. 1. Review of Resident #1's admission record showed he/she admitted to the facility on [DATE] with the following diagnoses: -Unspecified Fracture of his/her right femur. -Closed Fracture with Routine Healing. -Nondisplaced Fracture of Shaft of his/her left clavicle -Periprosthetic fracture around internal prosthetic to his/her right hip joint. Review of the resident's admission Minimum Data Set (MDS- a federally mandated assessment instrument completed by facility staff for care planning) dated 5/29/24 showed: -The resident was under a Medicare covered stay. -The resident was cognitively intact. -The resident had recent surgery requiring active Skilled Nursing Facility (SNF) care. Review of a balance statement dated 6/30/24 showed the resident was billed 158.10 dollars for transportation that was completed on 6/17/24. Review of a balance statement dated 8/31/24 showed: -The resident was billed 144.10 dollars for transportation that was completed on 7/8/24. -The resident owed a total of 302.20 dollars for transportation during his/her stay at the facility. During an interview on 3/5/25 at 2:45 P.M. Family Member A said: -He/She was unaware that the facility had charged the resident for transportation. -He/She would not have had the facility take the resident to his/her doctor appointments if he/she had known about the cost. Review of a blank copy of the facility's admission agreement completed on 5/27/25 showed: -The resident or resident representative were to agree to pay the then-current rates of extra charges for the additional services, supplies, and/or equipment (SSE) that the resident or resident representative specifically requested and that are not included in the standard charge. -Residents and resident representatives were to refer to the Health Center Resident Handbook to determine whether an extra charge was or was not covered by Medicare and/or Medicaid. -A copy of the Health Center Resident Handbook was included with the other documents that were received by the residents or resident representatives at the time of receiving the admissions agreement. Review of a blank copy of the facility's resident admission packet completed on 5/27/25 showed transportation was an extra charge and the resident or resident representative would be billed by the facility for transportation. Review of the facility's Health Center Information Book completed on 5/27/25 showed transportation services and escort services would be billed directly. During an interview on 5/27/25 at 10:14 A.M. the Administrator said: -The resident had Medicare coverage. -Transportation billing information was included in the admission agreement. During an interview on 5/27/25 at 12:14 P.M. the Administrator said he/she could not find the resident's signed admission agreement. During an interview on 5/27/25 at 2:30 P.M. the Assistant Director of Nursing (ADON) said: -He/She was unsure if there was a time frame in which admission agreements needed to be completed. -The Social Services Designee (SSD) was responsible for completing admission agreements. -Once the admission agreement is signed by a resident or resident representative, the agreement would be uploaded into the resident's electronic medical record (EMR). -He/She was unable to find the resident's admission agreement in the resident's EMR. -Whenever a resident requested transportation, he/she would remind the resident or resident representative that there was a transportation fee. -He/She remembered having a conversation with the resident related to transportation fees, but that conversation was not related to a specific appointment. -He/She had not documented that conversation with the resident. During an interview on 5/27/25 at 2:46 P.M. the Administrator said: -The admission agreement needed to be signed by the resident or resident representative within the first week of admission to the facility. -Once the admission agreement was signed, a copy of the agreement would be uploaded into the resident's EMR. -The facility also kept the paper copy and it would be placed in the resident's medical record. -Residents and resident representatives were informed of the transportation fees when an appointment was requested, but nothing was signed to show the resident or resident representative was educated on the transportation fee. -The SSD was responsible for completing resident admission agreements. -He/She expected the SSD to have completed the resident's admission agreement. -He/She was unaware that the resident's admission agreement was not completed. -He/She was unsure why the resident's admission agreement had not been completed. During an interview on 5/27/25 at 2:57 P.M. the SSD said: -He/She was responsible for completing admission agreements. -There was not a designated time frame in which the admission agreements needed to be completed. -He/She would try to complete the admission agreement within the first couple of weeks that the resident was in the facility. -He/She was currently behind on completing admission agreements. -Once he/she completed an admission agreement then someone would upload it into the resident's EMR. -The paper copy of the signed admission agreement was also kept in medical charts. -He/She thought that an admission agreement was completed for the resident. -He/She was unsure of where the resident's admission agreement was if it was not found in the resident's EMR or medical chart. -The resident would have been able to sign the admission agreement himself/herself, so he/she was unsure of how it would not have been completed. -All additional charges, including transportation fees were included in the admission agreement. -To his/her knowledge there would be no other way for residents or resident representatives to know of the transportation fees outside of the admission agreement. -He/She thought there would not be an expectation for a resident or resident representative to pay for an extra charge or fee that they were not informed of. MO00250564
Jul 2024 21 deficiencies
CONCERN (D)

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

Deficiency F0553 (Tag F0553)

Could have caused harm · This affected 1 resident

Based on interview and record review, the facility failed to invite one sampled resident (Resident #22) to his/her quarterly care plan meeting out of 15 sampled residents. The facility census was 53 r...

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Based on interview and record review, the facility failed to invite one sampled resident (Resident #22) to his/her quarterly care plan meeting out of 15 sampled residents. The facility census was 53 residents. Review of the facility's undated policy titled Comprehensive Care Plans showed: -The comprehensive care plan would be prepared by an interdisciplinary that included the resident and the resident's representative, to the extent possible. -No policy related to the actual invitation to care plan meetings. 1. Review of Resident #22's face sheet showed he/she admitted to the facility with the following diagnoses: -Generalized Anxiety Disorder (any group of mental conditions characterized by excessive fear of or apprehension about real or perceived threats). -Congestive Heart Failure (CHF- a weakness of the heart that leads to the build-up of fluid in the lungs and surrounding tissues). -Diabetes Mellitus (DM II- a complex disorder of carbohydrate, fat, and protein metabolism that is primarily a result of a deficiency or complete lack of insulin secretion in the pancreas or resistance to insulin. -Major Depressive Disorder (MDD- a mental health disorder characterized by persistently depressed mood or loss of interest in activities, causing significant impairment in daily life). -Post-Traumatic Stress Disorder (PTSD- a disorder in which a person has difficulty recovering after experiencing or witnessing a terrifying event). -Chronic Obstructive Pulmonary Disease (COPD- a disease process that decreases the ability of the lungs to perform ventilation). Review of the resident's Quarterly Minimum Data Set (MDS- a federally mandated assessment instrument completed by facility staff for care planning) dated 6/19/2024 showed the resident was moderately cognitively impaired. Review of a Care Plan Meeting Sheet dated 6/20/24 showed: -The resident had a care plan meeting on 6/20/24. -The resident was not in attendance to this care plan meeting. -The resident had not received a copy of his/her care plan. -There was a place for the resident to initial for receiving his/her care plan and that was blank. During an interview on 7/15/24 at 12:06 P.M. the resident said: -He/She was not getting invited to his/her care plan meetings. -He/She wanted to be involved and invited to his/her care plan meetings. Review of the resident's medical records showed no documentation of a written invitation given to the resident for the care plan meeting on 6/20/24. During an interview on 7/16/24 at 2:00 P.M., the Director of Nursing (DON) said: -He/She could not provide any documentation related to the resident's invitation to his/her care plan meeting on 6/20/24. -The Social Services Designee (SSD) would have been responsible for giving the resident a written invitation to his/her care plan meeting. -He/She was aware of the regulation indicating that residents needed to be provided written invitations to their care plan meets and expected the SSD to complete the task. During an interview on 7/17/24 at 10:43 A.M., Certified Nursing Assistant (CNA) E said: -All residents needed to be invited to their care plan meetings. -He/She was unsure if the resident was getting invited to his/her care plan meetings. -He/She thought the resident would be appropriate to go to his/her care plan meeting. -He/She thought the care plan invitations should be communicated in written and verbal form. During an interview on 7/17/24 at 11:49 A.M., Licensed Practical Nurse (LPN) C said: -All residents needed to be invited to their care plan meetings. -He/She was unsure if the resident was invited to his/her care plan meetings. -He/She felt the resident would be appropriate and able to go to his/her care plan meetings. -He/She thought the residents should receive their care plan invitations in written and verbal form. -He/She was unsure of who was responsible for giving the invitations to the residents. During an interview on 7/17/24 at 12:54 P.M., the SSD said: -He/She was responsible for inviting residents and residents' families to care plan meetings. -He/She invited all residents to their care plan meetings. -He/She thought the resident had not wanted to attend any of his/her care plan meetings. -He/She thought the resident had been verbally invited to his/her care plan meeting. -Families were the ones that received written notification to care plan meetings. -He/She only invited the residents to care plan meetings in verbal form. -He/She was not aware that residents needed a written invitation to their care plan meetings. During an interview on 7/18/24 at 8:32 A.M. the MDS Coordinator said: -The SSD was responsible for inviting residents to their care plan meetings. -He/She thought all residents were to be invited to their care plan meetings. -All residents had the right to attend their care plan meetings. -He/She was aware that residents needed to be invited to their care plan meetings in written form. During an interview on 7/18/24 at 9:12 A.M. the Assistant Director of Nursing (ADON) said: -All residents should be invited to their care plan meetings. -The SSD was responsible for inviting residents to their care plan meetings. -He/She thought the resident would be appropriate and able to attend his/her care plan meeting.
CONCERN (D)

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

Deficiency F0655 (Tag F0655)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview and record review, the facility failed to ensure the baseline care plan showed the primary healt...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview and record review, the facility failed to ensure the baseline care plan showed the primary health conditions and interventions implemented for two sampled residents with significant health conditions (Resident #154 and #155) out of 15 sampled residents. The facility census was 53 residents. Review of the facility's Baseline Care Plan dated 2023 showed the facility will develop and implement a baseline care plan for each resident that includes the instructions needed to provide effective and person centered care of the resident that meet the professional standards of quality of care. The baseline care plan will: -Be developed within 48 hours of the resident's admission. -Include the minimum healthcare information necessary to properly care for the resident, including, but not limited to initial goals based on admission orders, physician orders, dietary orders, therapy services, social services. -The admitting nurse or supervising nurse on duty shall gather information from the admission assessment, hospital transfer information, physician's orders, and discussion with the resident and resident representative if applicable. -Interventions shall be initiated that address the resident's current needs including any health and safety concerns to prevent decline or injury, any identified needs for supervision, behavioral intervention or assistance with activities of daily living and any special needs. -Once established, goals and interventions shall be documented in the designated format. 1. Review of Resident #154's Face Sheet showed the resident was admitted on [DATE] with diagnoses of pain, malnutrition, gastrostomy (an opening into the stomach from the abdominal wall, made surgically for the introduction of food), pelvic tumor, sepsis (a serious condition in which the body responds improperly to an infection) high blood pressure, arthritis, history of prostate cancer and depression. Review of the resident's Minimum Data Set (MDS-a federally mandated assessment tool to be completed by facility staff for care planning) showed there was no admission MDS completed yet. Review of the resident's Initial Nursing admission assessment dated [DATE], showed: -The resident was admitted from the hospital with a surgical repair to perforations in his/her stomach and cholecystostomy (a medical procedure used to drain fluid from the gallbladder into a bag). -The resident was alert and oriented. -Had a history of malnutrition, respiratory failure, a wound on his/her buttock and staples on his/her abdomen from surgery and had no pain. Review of the resident's Physician's Order Sheet (POS) dated 7/2024, showed physician's orders for cholecystostomy drain to be checked and drained every two hours. Monitor for signs and symptoms of infection every two hours (7/12/24). Review of the resident's Medication Administration Record (MAR)/Treatment Administration Record (TAR) dated 7/2024, showed physician's orders the resident's cholecystostomy drain was being monitored and drained as ordered. Review of the resident's Baseline Care Plan dated 7/12/24, showed: -There was no documentation showing the resident had any special treatments, procedures or programs. -It did not show the resident had a cholecystostomy drain that should be drained every two hours or that he/she had pain and did not show any interventions addressing these two health concerns. Observation on 7/16/24 at 8:47 A.M., showed the resident was laying down on his/her back in bed with the head of his/her bed up. The resident's shirt was pulled up to show the resident's abdomen and there was a clean bandage over the gastronomy site and the cholecystostomy site. In the center of the resident's abdomen was a long surgical site that was covered with a clear tape. The resident's cholecystostomy tube collection bag was laying on the mattress beside the resident and there was no fluid in the bag at this time. His/her gastronomy tube feeding machine was to the left of his/her bed and was on. The resident said: -He/She wore a Fentanyl (a topical pain medication that delivers medication through the skin) patch on his/her shoulder and also received pain and other medications through his/her gastronomy tube. -He/She had two gall bladder surgeries and had the gastronomy and cholecystostomy tubes placed then. -Nursing staff were not supposed to touch the surgical site but they did come in to clean around all of the tubing and empty the cholecystostomy drainage bag when full. During an interview on 7/17/24 at 2:40 P.M., Licensed Practical Nurse (LPN) A said: -The resident had two gallbladder drainage tubes and a gastrostomy tube. -The drainage bag from his/her cholecystostomy tubes was maintained and checked every two hours. -The nurse completed and documented a full body assessment on the resident and they usually documented information related to a pertinent health condition like wounds or skin issues. The nurse should document if a resident has a specialized care need like a cholecystostomy or gastrostomy tube. -Regarding this resident, they should have documented that the resident had a drainage tube on his/her admission Baseline Care Plan. 2. Review of Resident #155's Face Sheet showed the resident was admitted on [DATE], with diagnoses including osteoporosis (a disease in which the bones become very porous, break easily, and heal slowly), lower back pain, left hip pain, a left hip fracture, and a history of falling. Review of the resident's admission MDS showed the resident did not have a completed admission MDS at this time. Review of the resident's Nursing admission assessment dated [DATE], showed the resident was admitted after he/she had a left hip fracture resulting from a fall and was receiving rehabilitation services. The skin assessment showed the resident was admitted with a dressing on his/her left hip that was dry and intact. The pain assessment showed the resident had no pain. Review of the resident's Baseline Care Plan dated 7/8/24, showed the resident: -Needed one person assistance with hygiene, toileting, dressing, bathing, transferring and mobility and used a wheelchair. -Had no special treatments or procedures, but had a fall prior to admission and had a left hip fracture. -Had no pain and had no skin integrity issues. -The document did not show the resident had a surgical site to his/her left hip and had no interventions showing how the facility staff was to monitor the surgical site. Review of the resident's Physician's Order Sheet (POS) dated 7/2024, showed physician's orders for: -Tylenol 4 grams in 24 hours give every 6 hours as needed for Pain (7/9/24). -Hydrocodone-Acetaminophen 5-325 milligrams (mg) every 4 hours as needed for severe pain for 14 days (7/8/24). -The POS did not show any treatment to the resident's surgical site. Review of the resident's Functional Ability assessment dated [DATE] showed the resident: -Was independent with eating and hygiene. -Needed moderate assist with transfers, mobility, bathing dressing and toileting. -Was continent of bowel and bladder. -Used a wheelchair and walker for mobility. -Did not show the resident had a surgical site to his/her left hip. During an observation and interview on 7/15/24 at 11:44 A.M., the resident was sitting up in his/her recliner. The resident said he/she entered the facility after a surgical repair to his/her left hip and was here for rehabilitation. During an interview on 7/17/24 at 2:40 P.M., Licensed Practical Nurse (LPN) A said: -The Charge Nurse or admitting nurse completed the admission Nursing Assessment and Baseline Care Plan documents. -The information from the admission Nursing Assessment and any added information they know about the resident should be documented on the resident's Baseline Care Plan. -The nurse should document if a resident has a specialized care need and it should have shown the resident had a surgical site to his/her left hip due to the hip fracture repair on the resident's Baseline Care Plan. -Residents who have been admitted post-surgery should show the surgical site, any treatments or monitoring needs and pain management. This should also be on the resident's baseline care plan. During an interview on 7/18/24 at 9:51 AM the Director of Nursing (DON) said: -All of the information they obtain from the initial nursing assessment should be a part of the resident's Baseline Care Plan. -The MDS Coordinator usually developed the Baseline Care Plan, but nursing staff can update or add information to the Baseline Care Plan if there is information that has not been added to it.
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

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview and record review, the facility failed to ensure the low air loss mattress (LAL - an air mattres...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview and record review, the facility failed to ensure the low air loss mattress (LAL - an air mattress covered with tiny holes that are designed to let out air very slowly which helps keep the skin dry and [NAME] away any moisture) settings were set by weight according to physician orders for one sampled resident (Resident #20), who had pressure ulcers (pressure injuries - damage to an area of the skin caused by constant pressure on the area) out of 15 sampled residents. The facility census was 53 residents. Review of the facility policy for Use of Support Surfaces copyright 2023 showed: -Support surfaces will be used in accordance with evidence-based practices for resident with or at risk for pressure injuries. -For powered devises, or those requiring air, the licensed nurse will check each shift and as needed for proper functioning and inflation. -Support surfaces will be utilized accordance with manufacturer recommendations. 1. Review of the Resident #20's Physician Order Sheet (POS) dated 6/11/24, showed the resident had a physician order to have a LAL mattress in place for wound management. The settings for the mattress per resident's weight. Nursing staff were to monitor setting and LAL mattress every day and night shift. Review of the resident's Hospice physician order dated 6/24/24 showed he/she had a physician's order for a LAL Mattress and staff were to set air flow per resident weight. Review of the resident's weight record on 6/24/24 showed the resident's weight was at 166.8 pound. Review of the resident's Significant Change Minimum Data Set (MDS - a federally mandated assessment instrument completed by facility staff for care planning) dated 7/3/24, showed he/she: -Was severely cognitively impaired and had short term and long-term memory problems. -Had Stage II (partial thickness loss of dermis presenting as a shallow open ulcer with a red or pink wound bed, without slough. It may also present as an intact or open/ruptured blister) Pressure Ulcer/wound (PU, localized injury to the skin and/or underlying tissue usually over a bony prominence, because of pressure, or pressure in combination with shear and/or friction). -Had Stage III (a full thickness tissue loss. Subcutaneous fat may be visible, but bone, tendon or muscle is not exposed. Slough may be present but does not obscure the depth of tissue loss. May include undermining or tunneling) pressure ulcer/wound. Review of the resident's weights showed: -On 7/1/24 his/her weight was 162 pounds. -On 7/8/24 his/her weight was 160.5 pounds. Review of the resident's Treatment Administration Record (TAR) 7/1/24 to 7/16/24 showed: -Had a physician order (PO) to have a LAL mattress in place for wound management. The settings for the mattress per resident's weight. Nursing staff were to monitor setting and LAL mattress every day and night shift. --Had nursing initial for each day and night shift the LAL mattress was monitored. -Had PO for nursing staff were to obtain weekly weight for the resident, one time a day on Mondays. --Nursing staff documented the resident last weight was on 7/8/24, and his/her weight was 160.5 pounds. Review of the resident's care plan revised on 7/9/24 showed the resident: -Was at risk for skin breakdown. -The resident had an open area on his/her buttocks and on his/her coccyx at that time. -Intervention included: --The resident was to be utilizing a low air loss mattress: nursing was to verify settings were set for appropriate weight. Review of the resident Skin/Wound Note dated 7/14/24 at 12:20 P.M. showed: -The resident was seen by Hospice Licensed Practical Nurse (LPN) for weekly wound assessment on 7/11/24. -Areas to coccyx and right buttock assessed and measured by LPN. -The resident continues to have a LAL mattress in place at that time. NOTE: did not indicate what the LAL mattress setting were at that time. Observation on 7/16/24 at 9:15 A.M., of resident care showed: -His/Her low air loss mattress was set on 450 pounds was fully inflated. -Power devices had instruction the devices should be set by the resident weight. Observation on 7/17/24 at 10:00 A.M., of the resident showed: -He/she was laid in bed on his/her LAL mattress. -The LAL mattress was set at 450 pounds and fully inflated. During an interview on 7/17/24 at 10:08 A.M., CNA A said: -Once setting are set, he/she would observe the mattress and look for any flashing light which mean possible issue with the mattress, he/she would notify the charge nurse any concerns. -He/She was not aware of what the setting for the resident's LAL mattress should be. -Most of the LAL mattress go by the resident weights. -The resident charge nurse would be responsible monitoring LAL Mattress settings and documentation of monitoring. During an interview on 7/17/24 at 10:22 A.M., CNA C said: -He/She would check LAL mattress machine to ensure was running. -He/She thought the LAL mattress setting were set by maintenance staff when they would setup the mattress and machine. -The resident's LAL mattress should be set by his/her weight. -He/She was not aware the resident LAL mattress was set for 450 pounds. -Nursing staff would be responsible checking setting and documentation. Observation on 7/17/24 10:34 A.M. showed: -The nursing staff entered the resident room. -Did not observe the nursing staff looking at the LAL mattress settings at that time. During an interview on 7/17/24 at 10:41 A.M., LPN C said: -Nursing staff would ensure to have a physician order for the resident's LAL mattress with required setting. -The resident LAL mattress would be set by his/her weight. -The resident's weight was around 160+ pounds, so the setting should be around that weight. -LPN C had observe resident LAL mattress setting and noted was set at 450 pounds. -LPN C said that setting was too high. -LPN C changed the setting of the mattress to 180 pounds since the resident's weight was just a little over 160 pounds. (option was 160 or 180 pounds). -The nurse assigned that day or night shift would be responsible for monitoring and adjusting the resident's LAL mattress settings as needed. -Nursing staff would document on the resident's TAR with nursing initials and check mark that the resident's LAL mattress was set at the correct settings. -Nursing staff should review the resident's physician order to verify LAL mattress setting. -If the resident LAL mattress was not set at right setting, potential to affect the resident pressure relief, wound healing processing. During an interview on 7/17/24 at 12:44 P.M., Assistant Director of Nursing (ADON) said: -The resident had a Stage III wound on his/her coccyx. -Nursing staff would be responsible to ensure to have physician's order for LAL mattress, to include what the setting should be. Normally set by the resident's weight and to be monitored every shift by nursing staff. The resident LAL mattress set on 450 pounds was not correct. -The resident LAL mattress should be set at his/her current weight. -With resident LAL mattress setting not set correctly, he/she had potential to place the resident at risk for pressure point concerns and could affect the resident wound healing process. During an interview on 7/18/24 at 9:51 A.M., Director of Nursing (DON) said: -CNA's would be responsible for notify the charge nurse any error or concern with the resident's LAL mattress. -The charge nurse would be responsible for monitoring and documentation of the monitoring of the resident LAL mattress. -The nursing staff would document monitoring on the resident TAR. This would include the staff checked to ensure the LAL mattress was set at the correct settings. -LAL mattresses assist in pressure relief for those resident at risk for skin changes or currently have skin changes. -The resident does have a LAL mattress and should be set to his/her current weight. -He/She was not aware of the resident current weight. -The resident's setting for LAL mattress should not be set at 450 pounds. -With the incorrect mattress setting, could place the resident at risk of rolling out of his/her bed, and affect the process of wound healing due to improper pressure points.
CONCERN (D)

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

Respiratory Care (Tag F0695)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview and record review, the failed to ensure respiratory nasal cannulas (a device used to deliver sup...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview and record review, the failed to ensure respiratory nasal cannulas (a device used to deliver supplemental oxygen through a lightweight tube which on one end splits into two prongs which are placed in the nostrils and from which a mixture of air and oxygen flows), face masks and tubing was kept in a way to prevent cross contamination and failed to ensure that his/her care plan reflected that he/she used respiratory equipment and that there were interventions related to oxygen use for one sampled resident (Resident #36) out of 15 sampled residents. The facility census was 53 residents. 1. Review of Resident #36's Face Sheet showed the resident was admitted on [DATE], with diagnoses including chronic obstructive pulmonary disease (COPD- a progressive disease that is characterized by shortness of breath and difficulty breathing), and heart failure. Review of the resident's admission Minimum Data Set (MDS-a federally mandated assessment tool to be completed by facility staff for care planning) dated 6/28/24, showed the resident: -Was alert and oriented with no cognitive deficiencies or behaviors. -Had shortness of breath when lying flat and with exertion. -Used intermittent oxygen therapy and other respiratory treatments. Review of the resident's Physician's Order Sheet (POS) dated 7/2024, showed physician's orders for: -Supplemental oxygen at 2 liters per minute via nasal cannula every night for COPD (6/22/24). -Pulmicort Inhalation Suspension 0.5 milligrams (mg) inhale orally two times a day for COPD (6/21/24). -Brovana Inhalation Nebulization Solution 15 micrograms (mcg) inhale orally via nebulizer (a device used to administer medication to people in the form of a mist inhaled into the lungs) two times a day for COPD (6/21/24). Review of the resident's Nursing Notes dated 7/10/24, showed: -The resident had an occasional dry cough and a humidifier was added to his/her oxygen concentrator. -He/She continued on skilled services and was able to speak in complete sentences without signs or symptoms of shortness of air. -The resident's respirations were even and unlabored on 2 liters per minute of oxygen via nasal cannula. Observation on 7/14/24 at 10:56 A.M., showed the resident was sitting in his/her recliner and was not wearing oxygen. It was noted the resident's oxygen concentrator was next to his/her bed with the nasal cannula and tubing coiled around the concentrator and was uncovered. There was no plastic bag or covering beside or around the concentrator. There was a nebulizer machine on top of the dresser beside the bed and the face mask was covered with a plastic bag. Observation on 7/15/24 at 3:30 P.M., showed the resident was in his/her recliner with his/her eyes closed resting comfortably. The resident's oxygen concentrator was still beside his bed and the tubing was still coiled around the concentrator uncovered. Observation and interview on 7/15/24 at 12:17 P.M., showed the resident was in his/her recliner. His/Her oxygen concentrator was sitting beside his/her bed and the nasal cannula and oxygen tubing was coiled around the concentrator and was not in a bag. His/Her nebulizer machine was sitting on top of the dresser beside his/her bed and the face mask was covered with a plastic bag. The resident said: -Nursing staff had to assist him/her with all of his/her cares. -He/She used the nebulizer treatments during the day and in the evening. -He/She used oxygen at night. -He/She did not have a bag for his nasal cannula and tubing but they had put the facemask in a bag. Observation on 7/16/24 at 9:18 A.M., showed the resident was reclined in his/her recliner watching TV and eating a snack. His/Her nasal cannula and oxygen tubing was coiled around his/her oxygen concentrator that was sitting beside his/her bed, uncovered. His/Her nebulizer machine was sitting on top of the dresser beside his/her bed. The face mask was uncovered and sitting beside the nebulizer machine. During an interview on 7/17/24 at 11:32 A.M., Certified Nursing Assistant (CNA) D said: -There are usually little baggies on the oxygen concentrator that the tubing and nasal cannula is to be stored in when not in use. -The nursing staff usually checked to ensure the nasal cannulas, oxygen tubing and face masks were kept covered. -The resident wore oxygen as needed. -Oxygen supplies should have been kept in a plastic bag to prevent contamination. During and interview on 7/17/24 at 2:40 P.M., Licensed Practical Nurse (LPN) A said oxygen nasal cannulas, tubing and face masks were supposed to be kept in a plastic bag when not in use. She said the bags were usually placed on the oxygen concentrator. She said the resident's oxygen tubing should have remained covered as long as it was not in use and the bag should have been labeled and dated. During an interview on 7/18/24 at 9:51 AM the Director of Nursing (DON) said nasal cannulas, face masks and oxygen tubing should be stored in a bag marked with the date and time it was changed out when not in use. The oxygen supplies are changed out weekly, and the bags are usually placed on the oxygen concentrator. The nursing staff is responsible for monitoring to ensure the oxygen supplies are stored properly.
CONCERN (D)

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

Deficiency F0697 (Tag F0697)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview and record review, the facility failed to accurately assess resident pain risk and failed to ens...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview and record review, the facility failed to accurately assess resident pain risk and failed to ensure the resident's Baseline Care Plan included minimum healthcare information regarding the specific care need of the resident to include pain for one sampled resident (Resident #155) out of 15 sampled residents. The facility census was 53 residents. Review of the facility's Pain policy and procedure dated 2023, showed: -The facility will use a pain assessment tool, which is appropriate for the resident's cognitive status, to assist staff in consistent assessment of the resident's pain. -Based on professional standards of practice, an assessment of pain by the appropriate members of the interdisciplinary team may necessitate gathering the following information as applicable to the resident: -History of pain and its treatment including pharmacological and non-pharmacological and alternative medicine and whether or not this treatment has been effective, history of addiction, past and ongoing treatment for opiod (narcotics) use, asking the resident to rate pain intensity, reviewing the resident's current medical condition, identifying current characteristics of pain (duration, frequency, location, timing, pattern and radiation of pain). -Obtaining descriptors of pain, identifying impact of pain on the resident's quality of life, identifying activities, resident care or treatment that precipitate or exacerbate pain and those that eliminate pain. -Current pain medications, dosage and frequency, goals for [NAME] management and satisfaction with his/her current level of pain control. -Any physical or psychological issues that may exacerbate pain. -Based on the evaluation, the facility in collaboration with the physician other health care professionals and the resident or the resident's representative will develop, implement, monitor and revise as necessary, interventions to prevent or manage each individual resident's pain beginning at admission. 1. Review of Resident #155's Face Sheet showed the resident was admitted on [DATE], with diagnoses including osteoporosis (a disease in which the bones become very porous, break easily, and heal slowly), lower back pain, left hip pain, a left hip fracture, and a history of falling. Review of the resident's Fall Risk dated 7/8/24 showed the resident's fall risk score was 8.0 showing moderate to high risk. Review of the resident's Nursing admission assessment dated [DATE], showed the resident was admitted after he/she had a left hip fracture resulting from a fall and was receiving rehabilitation services. The skin assessment showed the resident was admitted with a dressing on his/her left hip that was dry and intact. The pain assessment showed the resident had no pain. There was no documentation showing the resident's source of pain, signs or symptoms of pain, what reduced his/her pain, pharmacological and non-pharmacological pain interventions and management interventions. Review of the resident's electronic Record showed the resident did not have a Pain Risk Assessment completed. Review of the resident's Baseline Care Plan dated 7/8/24, showed the resident: -Had no skin issues, had no pain and did not show the resident was admitted after surgical repair of his/her him with orders for narcotic pain medication. Review of the resident's Functional Ability assessment dated [DATE] showed the resident: -Was independent with eating and hygiene. -Needed moderate assist with transfers, mobility, bathing dressing and toileting. -Was continent of bowel and bladder. -Used a wheelchair and walker for mobility. -Did not show signs or symptoms of pain. Review of the resident's Pain Level Grid showed the nursing staff was assessing the resident's pain daily, from 7/8/24 to 7/16/24. On 7/8/24 the resident's pain level was checked four times and the scores were 4, zero, 8, and zero (on a scale from zero to 9, 9 was the highest level of pain). The daily pain assessments showed varying results showing the resident's pain was from zero pain to a pain level of 9. The resident's average level of pain was around 7. Review of the resident's Physician's Order Sheet (POS) dated 7/2024, showed physician's orders for: -Tylenol 4 grams in 24 hours give every 6 hours as needed for Pain (7/9/24). -Hydrocodone-Acetaminophen 5-325 milligrams (mg) every 4 hours as needed for severe pain for 14 days (7/8/24). Review of the resident's Medication Administration Record dated 7/2024, showed the nursing staff administered the resident Tylenol and Hydrocodone daily as needed according to the resident's physician's orders and documented his/her pain level at the time of administration. During an observation and interview on 7/15/24 at 11:44 A.M., the resident was sitting up in his/her recliner. He/She said: -He/she was in the facility after a hip repair and was receiving rehabilitation. -He/She had pain, was not on a scheduled pain pill and had to request it as needed and when he/she requested it, usually the aide came in and then he/she had to go to get the Certified Medication Technician (CMT) or nurse to give him/her the pain medication. -Sometimes he/she had to wait to receive the pain medication but when he/she received it, the medication did manage his/her pain. During an interview on 7/17/24 at 2:40 P.M., Licensed Practical Nurse (LPN) A said: -The Charge Nurse or admitting nurse completed the admission nursing assessment. -The nurse documented a full body assessment on the resident and they usually documented information related to all of the resident's pertinent health conditions, like wounds or skin issues. -The nurse should document if a resident has a specialized care need and it should have shown the resident had a hip fracture and repair. -Residents who have been admitted post-surgery should show pain (location, signs and symptoms and interventions) if they are taking pain medications and it should also be on the resident's baseline care plan. During an interview on 7/18/24 at 9:51 AM the Director of Nursing (DON) said: -The initial admission assessment should show all the information about the resident that they have upon admission. -The admitting nurse should complete a full body assessment, document vital signs of the resident and any/all of the health areas the resident may have or that they know about. -Residents with wounds or any skin issues should be documented on the initial nursing assessment and if the health issue is not documented on the form, the nurse can add it in the comments. -The risk assessments were completed in addition to the initial assessment on separate forms. -All of the risk assessments should be completed within 24 hours of the resident's admission (pain, falls, skin, elopement). -The Charge Nurse on duty at the time of the resident's admission is responsible for completing the initial admission assessment and risk assessments unless the resident comes to the facility in the evening. In this case, the Charge Nurse on the shift the resident is admitted on should complete the initial assessment and the following shift Charge Nurse should complete all of the risk assessments.
CONCERN (D)

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

Deficiency F0699 (Tag F0699)

Could have caused harm · This affected 1 resident

Based on interview and record review, the facility failed to ensure one sampled resident (Resident #22) who had a diagnosis of Post-Traumatic Stress Disorder (PTSD- a disorder in which a person has di...

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Based on interview and record review, the facility failed to ensure one sampled resident (Resident #22) who had a diagnosis of Post-Traumatic Stress Disorder (PTSD- a disorder in which a person has difficulty recovering after experiencing or witnessing a terrifying event) received trauma based interventions or develop a care plan that showed interventions for the staff to provide to protect the resident and prevent trauma from recurring out of 15 sampled residents. The facility census was 53 residents. Review of the facility's undated policy titled Comprehensive Care Plans showed: -Trauma-informed care was an approach to delivering care that involved understanding, recognizing, and responding to the effects of all types of traumas. -A trauma-informed approach to care delivery recognized the widespread impact, and signs and symptoms of trauma in residents, and incorporated knowledge about trauma into care plans, policies, procedures and practices to avoid re-traumatization. -The care planning process would include an assessment of the resident's strength and needs. -Services provided or arranged by the facility, as outlined by the comprehensive care plan should be culturally competent and trauma-informed. -The comprehensive care plan would describe the services that were to be furnished to attain or maintain the resident's highest practicable physical, metal, and psychosocial well-being. -The comprehensive care pan would describe the individualized interventions for trauma survivors that would recognize the interrelation between trauma and symptoms of trauma, as indicated. -Trigger-specific interventions would be used to identify ways to decrease the resident's exposure to triggers which re-traumatize the resident, as well as identify ways to mitigate or decrease the effect of the trigger on the resident. 1. Review of Resident #22's face sheet showed he/she admitted to the facility with the following diagnoses: -PTSD. -Generalized Anxiety Disorder (any group of mental conditions characterized by excessive fear of or apprehension about real or perceived threats). -Major Depressive Disorder (MDD- a mental health disorder characterized by persistently depressed mood or loss of interest in activities, causing significant impairment in daily life). Review of the resident's Quarterly Minimum Data Set (MDS- a federally mandated assessment instrument completed by facility staff for care planning) dated 6/19/24 showed: -The resident was moderately cognitively impaired. -The resident had little interest or pleasure in doing things 2-6 days in the seven days look back period of the assessment. -The resident felt socially isolated sometimes. -The resident had PTSD. Review of the resident's care plan dated 7/1/24 showed: -No care plan related to the resident's diagnosis of PTSD or trauma-informed care. -The resident required a Level II Pre-admission Screening and Resident Review (PASARR- a federally mandated screening process for individuals with serious mental illness and/or intellectual disability/developmental disability related diagnosis who apply or reside in Medicaid Certified beds in a nursing facility regardless of the source of payment) related to the resident's intellectual disability. -The resident had met the federal definition of intellectual disability/related conditions but had not required specialized services. During an interview on 7/15/24 at 12:02 P.M. the resident said: -His/Her PTSD affected him/her some of the time. -He/She had not had any services provided by the facility related to his/her diagnosis of PTSD. -He/She would like to see a therapist related to his/her diagnosis of PTSD. During an interview on 7/16/24 at 12:46 P.M. the resident said: -He/She felt lonely. -In the past, his/her family provided most of his/her mental support, but most of his/her family was gone now. -He/She felt that seeing a therapist would be beneficial for all aspects of his/her mental health. -He/She had told a Certified Nursing Assistant (CNA) about wanting to see a therapist. Review of the resident's medical record on 7/16/24 at 1:06 P.M. showed no documentation the resident had received psychiatric and/or mental health services related to his/her PTSD diagnosis. During an interview on 7/16/24 at 1:10 P.M. the Director of Nursing (DON) said: -The resident was not receiving any psychiatric or mental health services. -No notes could be provided related to his/her mental health services. During an interview on 7/17/24 at 10:38 A.M. CNA E said: -He/She was unaware of the resident's PTSD diagnosis. -He/She was unsure of how the PTSD affected the resident or of the resident had any specific triggers. -He/She thought the resident's diagnosis of PTSD and any interventions should be on the resident's care plan. During an interview on 7/17/24 at 11:46 A.M. Licensed Practical Nurse (LPN) C and LPN E said: -They were unaware of the resident's PTSD diagnosis. -They were unsure of how the PTSD affected the resident or if any interventions were in place for the resident. -They thought the resident's diagnosis of PTSD should be on the care plan. -The MDS Coordinator was the staff person who updated the care plans, the nurses only had access to view the care plans. During an interview on 7/17/24 at 12:49 P.M. the Social Services Designee (SSD) said: -He/She was aware of the resident's PTSD diagnosis. -When he/she performed the trauma-informed care assessment on the resident on 9/22/23, the resident reported no problems. -The resident had not asked him/her about seeing a therapist. -The resident's guardian was willing to do whatever was needed for the resident to maintain his/her highest practicable physical, mental, and psychosocial well-being. -He/She thought the care plan should address the resident's PTSD, so the staff would have the access and knowledge of the resident's diagnosis. -The MDS Coordinator was responsible for updating care plans. -Anyone had access to care plans and could edit the care plan as needed. During an interview on 7/18/24 at 8:29 A.M. the MDS Coordinator said: -He/She had not remembered the resident's diagnosis of PTSD. -The resident was not receiving any psychiatric or mental health services. -The resident's diagnosis of PTSD should be on the care plan. -Anyone, including therapy, SSD, dietary, activities and nursing services, had access and could update care plans as needed. -He/She was responsible for reviewing the care plans after the initial care plan was completed and quarterly. -He/She was also responsible for ensuring the completion and accuracy of the care plans. During an interview on 7/18/24 at 9:06 A.M. the Assistant Director of Nursing (ADON) said: -He/She was unaware of the resident's PTSD diagnosis. -The resident's diagnosis of PTSD should be on the care plan and include any triggers or interventions needed to care for the resident. -Nurses did have access to place interventions in resident care plans. -The MDS Coordinator was responsible for updating the care plans and ensuring the completion of care plans. During an interview on 7/18/24 at 9:51 A.M. the DON said: -He/She was unaware of the resident's PTSD diagnosis. -He/She was unsure of any triggers the resident had related to the PTSD. -He/She was unsure what interventions the resident had in place related to the PTSD. -The care plan should have reflected the resident's PTSD diagnosis to ensure appropriate and trauma-informed care to the resident. -He/She would have expected the care plan to have been updated by the MDS Coordinator. -Nurses were able to place interventions and update resident care plans. -The MDS Coordinator was responsible for the accuracy of care plans and ensuring the completion of care plans.
CONCERN (D)

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

Deficiency F0726 (Tag F0726)

Could have caused harm · This affected 1 resident

Based on observation, interview and record review, the facility failed to ensure nursing staff had the proper skills and competencies to promote resident safety when a Certified Medication Technician ...

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Based on observation, interview and record review, the facility failed to ensure nursing staff had the proper skills and competencies to promote resident safety when a Certified Medication Technician (CMT) who was not certified to administer insulin (a drug used to manage blood sugar levels) injections administered insulin to two residents (Resident #156 and Resident #157) sampled for insulin administration. The facility census was 53 residents. Review of an undated facility policy titled Medication Administration showed medications were to be administered by staff who were legally authorized to administer those medications and in accordance with professional standards of practice. Review of an undated facility policy titled Insulin Pen showed staff were to: -Perform hand hygiene prior to the insulin administration. -Prime the insulin needle by dialing the pen to two units of insulin and pushing the plunger until at least one drop of insulin appears on the tip of the needle. -Administer the insulin. -Perform hand hygiene after the administration. Review of the Certified Medicine Technician (CMT) job description, dated 2024, showed: -CMTs prepared, administered, and charted oral, topical and suppository drugs. -No mention of the administration of insulin. 1. Review of the July 2024 Physician Order Summary (POS) for Resident #157 showed orders for Humalog (a rapid acting insulin) four units subcutaneously (in fatty tissue via injection) three times per day. Observation on 7/16/24 at 10:47 A.M., showed CMT A retrieved an insulin pen from the medication cart containing Humalog insulin. CMT A entered the resident's room without performing hand hygiene, donned gloves, cleansed an area on the resident's upper arm for insulin administration, applied a needle to the insulin pen, set the pen to four units, then administered the insulin to the resident without priming the needle. Review of the resident's July 2024 POS showed orders for Novolog (a rapid acting insulin) at a dose that was blood glucose level dependent (4 units for the resident's blood glucose at that time), three times per day. Observation on 7/16/24 at 10:52 A.M., showed CMT A returned to the medication cart, took out a second insulin pen and applied the needle to the pen. -At 10:53 A.M., CMT A donned gloves, cleansed an area on the resident's upper arm, set the pen to four units, which was consistent with physician orders for the resident's blood glucose level at the time, then administered the insulin to the resident without priming the needle. -At 10:55 A.M., CMT A returned to the medication cart without sanitizing his/her hands and began further preparation of medications. During an interview on 07/16/24 at 11:21 A.M., CMT A said: -When administering insulin to residents, he/she would apply the needle, clean the area, set the insulin pen to the correct dose and administer the drug. -He/She thinks he/she had primed insulin pens in the past. -He/She usually tried to prime insulin pens before administration, but the problem was if he/she waited too long after priming, the pen would not work correctly. -He/She primed the insulin pens prior to administration of the insulin doses to both residents. -He/She was unable to describe the method used to prime the insulin pens. -He/She performed hand hygiene before and after each insulin administration. -Administering insulin was part of his/her daily duties. During this interview CMT A did not state whether he/she was certified to administer insulin on the Missouri Nurse Aide Registry. Review of the Missouri Nurse Aide Registry showed CMT A did not hold an insulin administration certification. Review of the employee file for CMT A did not show certification or specialized training on insulin administration, but did show a competency evaluation dated 5/14/24, showing he/she administered insulin using proper technique. During an interview on 7/17/24 at 11:24 A.M., Licensed Practical Nurse (LPN) A said: -Hand hygiene must be performed before and after insulin administration because staff may come into contact with blood or other pathogens. -The insulin pen needle must be primed prior to administering insulin to residents to ensure the proper dose. -CMTs can give insulin at the facility as long as they have the proper certification. During an interview on 7/18/24 at 9:50 A.M., the Director of Nursing (DON) said: -He/She would expect staff to perform hand hygiene before and after insulin administration. -He/She would expect the needle to be primed with insulin prior to administration to ensure the proper dosage of medication. -CMTs who administer insulin in the facility must have the certification to do so. -He/She was unaware CMT A was not certified to administer insulin.
CONCERN (D)

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

Drug Regimen Review (Tag F0756)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to ensure resident's attending physicians documented their review of a...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to ensure resident's attending physicians documented their review of and response to irregularities identified by the facility's consulting pharmacist during monthly Medication Regimen Reviews (MRRs) for two residents (Resident #8 and Resident #32) of five residents reviewed for unnecessary medications. The facility census was 53. Review of an undated facility policy titled Psychotropic Medications showed effects of psychotropic medications on a resident's well-being would be monitored on an ongoing basis including during the pharmacist's monthly medication review but provided no other information on pharmacist medication reviews. A policy on pharmacist medication reviews was requested, but not provided prior to exit. 1. Review of Resident #8's Quarterly Minimum Data Set (MDS-a federally mandated comprehensive assessment), dated 4/15/24, showed the resident had: -Diagnoses including dementia with behavioral disturbance, bipolar disorder (a mental disorder associated with mood swings ranging from depression to manic highs), depression, and anxiety. -Received antipsychotic, anticoagulant, and diuretic medications. Review of the resident's Physician Order Summary (POS), dated 7/17/24, showed orders for: -Eliquis, an anticoagulant medication used to prevent blood clots, 5 milligrams (mg) twice daily. -Furosemide, a diuretic medication used to treat fluid buildup in the body, 20 mg daily. -Risperidone, an antipsychotic used to treat bipolar disorder, 0.5 mg daily. Review of the resident's care plan on 7/17/24 showed: -The resident was at risk for bleeding related to long term use of anticoagulant medications. -The resident was at risk for changes in mood and behavior as well as adverse reactions related to psychotropic medication use. -The resident exhibited verbal behavioral symptoms directed at others. -The resident was at risk for a hydration deficit related to diuretic use. -Staff were to obtain a pharmacy consult. Review of the resident's progress notes made by Consultant Pharmacist (PH) A, from the previous six months, showed pharmacist MRR's were completed on: -1/25/24 with recommendations to the physician. -2/20/24 with no recommendations. -3/26/24 with recommendations to the physician. -4/19/24 with recommendations to the physician. -5/14/24 with no recommendations. -6/6/24 with no recommendations. Review of the resident's medical record showed one Consultant Pharmacist Recommendations to Physician sheet, dated 4/19/24, with a response from the physician. No MRR reports were provided for 1/25/24, or 3/26/24 which had unknown recommendations to the resident's physician. 2. Review of Resident #32's Quarterly MDS, dated [DATE], showed the resident had: -Diagnoses including degeneration of the brain, dementia with behavioral disturbance, anxiety and depression. -Received antianxiety and antidepression medications. Review of the resident's POS, dated 7/17/24, showed orders for: -Divalproex, a medication used to treat seizures and the manic phase of bipolar disorder, listed in the POS as prescribed for mood stabilization, 125 mg two times daily. -Lorazepam, an antianxiety medication, 0.5 mg two times daily. -Zoloft, an antidepressant medication, 50 mg once daily. Review of the resident's care plan on 7/17/24 showed: -The resident had impaired cognitive function. -The resident needed a pharmacy consult for antipsychotic and antidepressant medication use. Review of the resident's progress notes made by Consultant Pharmacist (PH) A, from the previous six months, showed pharmacist MRR's were completed on: -1/25/24 with recommendations to the physician. -2/20/24 with recommendations to the physician. -3/26/24 with no recommendations. -5/14/24 with no recommendations. -6/6/24 with recommendations to the physician. -No note was found for the month of April, 2024. Review of the resident's medical record showed three Consultant Pharmacist Recommendations to Physician sheets: -A sheet dated 1/25/24, showed pharmacist recommendations, a physician response, and a change made by the facility. -A sheet dated 2/20/24, showed pharmacist recommendations to attempt a dose reduction for Divalproex, Lorazepam and Zoloft, no physician response, and no further documentation by the facility. -A sheet dated 6/6/24, showed pharmacist recommendations to attempt a gradual dose reduction for Divalproex 125 mg twice daily, recommended a dose of 125 mg once daily, and had a reminder that the dose reduction was due. The sheet from 6/6/24 contained no physician response and no further documentation by the facility. 3. During an interview on 7/18/24 at 9:50 A.M., the Director of Nursing (DON) said: -The consulting pharmacist performed a monthly review of resident's medication regimen and made recommendations to the physician. -The physicians should have responded within two to three weeks to the recommendations. -The Assistant Director of Nursing was responsible for sending the MRR to the physician and ensuring a response. -He/She expected physician responses to each MRR to be in the resident's medical record. -He/She did not expect MRRs to go without a response from the physician. -Staff should have followed up with the physician to receive a response to the MRRs.
CONCERN (D)

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

Deficiency F0790 (Tag F0790)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, and record review, the facility failed to ensure two sampled residents (Resident #6 and #1) rec...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, and record review, the facility failed to ensure two sampled residents (Resident #6 and #1) received routine dental services (an annual inspection of the oral cavity for any signs of disease, diagnosis of dental disease, dental radiographs as needed, dental cleaning, fillings, minor partial or full denture adjustments, smoothing of broken teeth, and limited prosthodontic (a specialized branch of dentistry dedicated to making artificial teeth) care and procedures) out of 15 sampled residents. The facility census was 53 residents. Review of the facility's undated policy titled Dental Services showed: -It was the policy of the facility to assist residents in obtaining routine and emergency dental care. -The dental needs of each resident were identified through physical assessment and the Minimum Data Set (MDS- a federally mandated assessment instrument completed by facility staff for care planning) assessment processes and were addressed in each resident's plan of care. -For residents or resident representatives who did not wish to be referred for dental services, the resident's care plan would be revised to reflect the preferences. -All actions and information regarding dental services, including any delay related to obtaining dental services, would be documented in the resident's medical record. 1. Review of Resident #6's face sheet showed an initial admission date of 3/2/2020 and was admitted to the facility with the following diagnoses: -Pain, Unspecified. -Age-Related Osteoporosis (a condition in which the bones become brittle and fragile from loss of tissue). Review of the resident's Annual Minimum Data Set (MDS- a federally mandated assessment instrument completed by facility staff for care planning) dated 5/9/24 showed the resident was cognitively intact. He/She had no dental issues or concerns at that time. Review of the resident's care plan dated 6/24/24 showed no focus, goal, or interventions related to the resident's dental services or needs. Review of the resident's Physician Order Sheet (POS) dated July 2024 showed: -An order for Acetaminophen (Tylenol- used to treat mild pain or fevers) Oral Tablet 325 milligrams (mg), give 650 mg by mouth two times a day. -An order for Acetaminophen Oral Tablet 325mg, give two tablets by mouth as needed every four hours for mild pain or temperature greater than 100.0 degrees Fahrenheit (F). -An order for Tramadol (Ultram- used as a pain reliever) HCl Oral Tablet 50 mg, give 50 mg by mouth every eight hours as needed for pain. Review of the resident's Medication Administration Record (MAR) dated July 2024 showed: -The resident received Acetaminophen Oral Tablet 325 mg, give two tablets by mouth as needed every four hours for increased pain on: -7/11/24 with a pain scale rating of 4 out of 10 (0 indicating no pain, 10 being the worst pain). The documentation did not indicate where the resident's pain was located. -7/14/24 with a pain scale rating of 6 out of 10. The documentation did not indicate where the resident's pain was located. -7/15/24 the resident received two doses. One was for a pain scale of 6 out of 10 and the second dose was for a pain scale of 4 out of 10. The documentation did not indicate where the resident's pain was located. -The resident received Tramadol HCl Oral Tablet 50 mg on: -7/13/24 with a pain scale of 7 out of 10. The documentation did not indicate where the resident's pain was located. -7/14/24 the resident received two doses. Both were for a pain scale of 7 out of 10. The documentation did not indicate where the resident's pain was located. Observation on 7/15/24 at 10:05 A.M. showed the resident was holding his/her hand up to his/her lower lip and was grimacing. During an interview on 7/15/24 at 10:06 A.M. the resident said: -He/She had a toothache to one of his/her bottom teeth. -The toothache had started around three days prior. -He/She had not seen a dentist yet related to his/her toothache. -The staff were aware of the resident's toothache. -He/She was unsure of what the facility was doing for his/her toothache besides giving him/her pain medication. -The staff had not offered for him/her to see the dentist related to his/her toothache. -He/She had not seen a dentist since before he/she admitted to the facility. During an interview on 7/16/24 at 12:48 P.M. the resident said he/she was eating soup for lunch due to the toothache bothering him/her. Review on 7/16/24 at 1:06 P.M. of the resident's medical record showed no documentation related to dental services received while residing at the facility. During an interview on 7/16/24 at 2:00 P.M. the Director of Nursing (DON) said he/she could not find any dental notes for the resident. 2. Review of Resident #1's face sheet showed an initial admission date of 3/9/23 and was admitted to the facility with the following diagnoses: -Diabetes Mellitus (DM II- a complex disorder of carbohydrate, fat, and protein metabolism that is primarily a result of a deficiency or complete lack of insulin secretion in the pancreas or resistance to insulin). -Gastro-Esophageal Reflux Disease (GERD- a digestive disease in which stomach acid or bile irritates the food pipe lining). Review of the resident's care plan dated 6/24/24 showed no focus, goal, or interventions related to the resident's dental services or needs. Review of the resident's Quarterly MDS dated [DATE] showed the resident was cognitively intact. During an interview on 7/15/24 at 1:15 P.M. the resident said: -He/She had not been to a dentist in over a year. -He/She would like to see a dentist for a general check-up. Review on 7/16/24 at 1:06 P.M. of the resident's medical record showed no documentation related to dental services received while residing at the facility. During an interview on 7/16/24 at 2:00 P.M. the Director of Nursing (DON) said he/she could not find any dental notes for the resident. 3. During an interview on 7/17/24 at 10:46 A.M. Certified Nursing Assistant (CNA) E said: -He/She thought residents had to go out of the facility to see a dentist. -He/She was unsure of when Resident #1 or Resident #6 last saw a dentist. -He/She was aware of Resident #6's toothache. -Whenever Resident #6 needed any type of acute care, Resident #6 would request to see the facility's doctor. -The Social Services Designee (SSD) was responsible for setting up resident appointments. During an interview on 7/17/24 at 11:51 A.M. LPN C said: -Residents were sent out of the facility to see a dentist. -He/She was unsure when Resident #1 and Resident #6 last saw the dentist. -He/She was aware of Resident #6's toothache. -He/She had not set up or scheduled Resident #6 to see a dentist. -Resident #1's and Resident #6's families were both really involved in the resident's care and would help with appointments. -He/She thought dentist appointments were scheduled based off resident preference. -The nurses or the SSD could set up a dentist appointment for any resident as needed. During an interview on 7/17/24 at 12:57 P.M. the SSD said: -Residents went out of the facility to see a dentist. -Residents were seen by a dentist as needed or upon family request. -He/She was not aware that Resident #1 or Resident #6 wanted to see the dentist. -Resident #1's and Resident #6's families were very involved in the residents' care and were on top of these things. -He/She would need to ask Resident #1's and Resident #6's families when they last saw a dentist. -Both Resident #1 and Resident #6 were still able to make their own medical decisions. -He/She was not aware of the facility's policy or regulation related to dental services. -Dental preferences should be added to all resident care plans. During an interview on 7/18/24 at 8:34 A.M. the MDS Coordinator said: -He/She was unsure how residents were seen for their dental care. -Dental needs and preferences were not discussed at care plan meetings. -He/She never included dental preferences on the care plans. -He/She was only just made aware of the facility's policy and the federal regulation related to dental services. During an interview on 7/18/24 at 9:13 A.M. the Assistant Director of Nursing (ADON) said: -Residents were sent out of the facility to see a dentist. -He/She was unsure how the facility ensures residents dental needs were met. -Dental needs and preferences should be on resident care plans. -He/She was unaware of Resident #6's toothache. -He/She was unaware of Resident #'1 want to go to a dentist. During an interview on 7/18/24 at 10:01 A.M. the DON said: -The residents were sent out of the facility to see a dentist. -The family members of residents would assist in making appointments including dentist appointments. -Nurses could also assist in scheduling appointments including dental appointments. -He/She was unaware of Resident #6's toothache. -He/She would have expected the staff to have set up a dental appointment for Resident #6 or at least checked in with Resident #6's family by now. -He/She was unaware of the facility's policy and the federal regulation related to dental services. -Dental preferences should be on care plans. -The SSD usually set up the facility's podiatry appointments, so he/she would also be responsible for setting up facility wide dental services.
CONCERN (D)

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

Deficiency F0849 (Tag F0849)

Could have caused harm · This affected 1 resident

Based on observation, interview and record review, the facility failed to ensure to have monitoring and required documentation of Hospice care (a type of health care that focuses on comfort care of a ...

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Based on observation, interview and record review, the facility failed to ensure to have monitoring and required documentation of Hospice care (a type of health care that focuses on comfort care of a terminally ill resident) visits and failed to obtain pertinent documentation of the the delivery of Hospice care services for one sampled resident (for one sampled resident (Resident #35) out 15 sampled residents. The facility resident census of 53 residents. Review of the facility's Hospice Agreement dated and signed on 8/2/18 showed: -Hospice and the facility shall each establish and maintain it's own clinical record for each resident in Hospice program. -All services performed directly by the Hospice or under arrangement by the facility shall be promptly entered into respective clinic record. -The Hospice nurse will complete a system assessment of each resident enrolled in the program, make recommendation interventions for resident and reviewed with the facility. 1. Review of Resident #35's admission Record showed the resident was admitted to Hospice services. Review of the resident's Physician Order Sheet (POS) dated 7/16/24 showed the resident had a physician order to admit to Hospice services and recertified for Hospice Care dated 11/2/23. Review of the resident's Annual Minimum Data Set (MDS - a federally mandated assessment instrument completed by facility staff for care planning) dated 6/16/24, showed he/she: -Was cognitively intact and able to make his/her need known. -admitted to Hospice services while a resident at the facility. Review of the resident's Care Plan revised on 6/24/24 showed the resident did not have a hospice care plan in his/her electronic medical record. During an interview on 7/15/24 at 10:48 A.M. the resident said: -He/She was on Hospice services. -Hospice staff assist the resident with bathing and cares as needed. -He/She was not sure how often the Hospice staff come to facility. Review of the resident's Hospice Binder on 7/17/24 at 9:35 A.M., showed the resident: -Had Hospice staff sign-in form to include signature for Registered Nurse (RN) visit on 6/25/24 and on 7/15/24. -NOTE: did not have the documentation for RN visit on 6/25/24 and 7/15/24. -His/Her Hospice Plan of Care for certified period from 1/7/24 to 3/6/24 to include nursing visit one time a week for nine weeks, Hospice Aide visit for two times a week for nine weeks. --No documentation of a hospice certification after the certified period ending 3/6/24 and no documentation of an updated hospice care plan. -Most current resident's Hospice Nursing Visit Summary completed by Licensed Practical Nurse (LPN) was dated 6/19/24. Review of the resident's facility medical record dated 6/25/24 and 7/15/24 showed no communication documented related to Hospice nurse visit. During an interview on 7/17/24 at 9:58 A.M., Licensed Piratical Nurse (LPN) E and LPN C said: -The resident was on Hospice services. -Facility nursing would contact hospice by phone or address any concern with the Hospice nurse visiting that day. -Normally Hospice staff were at facility at least twice a week and Hospice staff document the visit in the resident hospice binder. -Facility nursing would document any new resident concerns and contact with Hospice staff in the resident's progress note . -Hospice case manager would be responsible for sending the nursing summary visit to the facility. -As the charge nurses, LPN E and LPN C did not monitor or review the resident's Hospice binder. -Hospice staff would inform the Assistant Director of Nursing (ADON) with any concern. During an interview on 7/17/24 at 12:24 P.M., the ADON said: -He/She would review any documentation provided by Hospice staff. -If the Hospice nurse received a change in physician orders, he/she would ensure to update the residents POS with the new physician order. -Medical records would be responsible for placing those Hospice documents in the resident's Hospice binder or scan the documents into the resident's Electronic Medical Record. During an interview on 7/17/24 at 12:58 P.M., Medical Records Staff said: -He/She received the resident's Hospice documentation from Hospice staff and would file that documentation in the resident's Hospice binder. -Hospice staff would be responsible to ensure a current assessment and care plan was in the resident's Hospice binder. -He/She just completed an audit of all residents on Hospice services, Hospice binders, including Resident #35's Hospice binder. -He/She had just received documentation from Hospice. -He/She was not aware the resident's Hospice certification and care plan were not current. -Medical Records staff would be responsible for scanning documents from Hospice or place Hospice documents into the resident's Hospice binder. During an interview on 7/18/24 at 9:51 A.M., the Director of Nursing (DON) said: -Hospice documentation: -Hospice documentation should be placed in the resident's Hospice binder or scanned into the resident's medical record. -The DON/ADON would be responsible for reviewing the Hospice binder for coordination of care and for missing Hospice documentation. -Resident #35 was on Hospice services, he/she was not sure the frequencies of the hospice visits. -He/She would expect to have current Hospice nursing summary in the Hospice binder binder. -Would expect to have current Hospice care plan and certification in Hospice binder. -He/She would expect nursing staff to document Hospice communication in the resident's progress notes. During an interview on 7/24/24 at 2:28 P.M., the Hospice Nurse/Case Manager said: -The resident was receiving Hospice services. -He/She would expect the resident's Hospice nurse visit summary be placed in the resident's Hospice binder weekly. -Hospice staff were responsible for ensuring the resident's Hospice binder was updated with the current certification, care plan and visit notes. -He/She was not aware until the week of 7/24/24 that the resident was missing nurse visit summaries and required an updated care plan and recertification to be completed.
CONCERN (D)

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

Deficiency F0925 (Tag F0925)

Could have caused harm · This affected 1 resident

Based on observation and interview, the facility failed place a screen over the louvered vent in the basement boiler room to keep pests out of the boiler room area. This practice affected the boiler r...

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Based on observation and interview, the facility failed place a screen over the louvered vent in the basement boiler room to keep pests out of the boiler room area. This practice affected the boiler room area. The facility census was 53 residents. 1. Observation with the Maintenance Director on 7/16/24 at 9:45 A.M. showed the absence of a screen from the louvered vent in basement boiler room and the presence of dead insects, bird droppings and dried vegetation in the boiler room area. During an interview on 7/16/24 at 9:47 A.M., the Maintenance Director said birds have been in the boiler room in the past and he/she noticed there was no screen over the louvered vent.
CONCERN (E)

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

Deficiency F0568 (Tag F0568)

Could have caused harm · This affected multiple residents

Based on interview and record review, the facility failed to prepare and deliver quarterly statements to the Public Administrator (a guardian usually appointed or elected, who is responsible for the m...

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Based on interview and record review, the facility failed to prepare and deliver quarterly statements to the Public Administrator (a guardian usually appointed or elected, who is responsible for the management of each ward's life, including where they reside, needed medical attention, and other decisions pertaining to personal well-being) who was the guardian for four sampled residents (Residents #14, #12, #15 and #22) who had resident funds at the facility. The facility census was 53 residents. 1. Review of the resident trust records for Residents #14, #12, #15 and #22, showed the absence of quarterly statements which were supposed to be prepared and delivered to their Public Administrator. During an interview on 7/17/24 at 12:50 P.M. the Business Office Manager (BOM) said: -He/She was hired as the BOM in April 2023. -He/She was not trained in preparing and sending quarterly statements. During an interview on 7/17/24 at 1:49 P.M., the Administrator said: -He/She did not know that the current BOM was not trained in preparing quarterly statements. -He/She expected the BOM to prepare and send out quarterly statements to the residents and/or their responsible parties.
CONCERN (E)

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

Abuse Prevention Policies (Tag F0607)

Could have caused harm · This affected multiple residents

Based on interview and record review, the facility failed to follow facility policies and procedures for checking Nurse Aide Registry and completing criminal background checks (CBC) within a timely ma...

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Based on interview and record review, the facility failed to follow facility policies and procedures for checking Nurse Aide Registry and completing criminal background checks (CBC) within a timely manner and in accordance with state requirements prior to employing four of 10 employees sampled for the criminal background screening. The facility census was 53 residents. Review of the facility's Abuse and Neglect policy and procedure dated 2023, showed: -The facility, to provide these protections (protecting the health, welfare and rights of each resident in the facility), the facility must develop written policies and procedures to prohibit and prevent abuse, neglect, exploitation of residents and misappropriation of resident property. -The facility must not hire an employee or engage an individual who was found guilty of abuse, neglect, exploitation, mistreatment of residents or misappropriation of a resident's property by a court of law; who has a finding in the state nurse aide registry concerning abuse, neglect, exploitation, mistreatment of residents or misappropriation of a resident's property, or has had a disciplinary action in effect taken against his/her professional license. -The facility must report knowledge of actions by a court of law against an employee that indicates the employee is unfit for duty. 1. Review of four employee records on 7/17/24, showed: -Cook A was hired on 4/29/24; documentation showed staff requested the CBC on 6/13/24 and received it on 6/13/24. -Certified Medication Technician (CMT) B was hired on 12/1/23; documentation showed staff requested the CBC on 4/12/24 and received it on 4/12/24. -Dietary Aide A was hired on 12/28/23; the documentation showed the facility staff requested the CBC on 1/10/24 and received it on 1/13/24. -Certified Nursing Assistant (CNA) was hired on 9/11/23; documentation showed the facility staff checked the Nurse Aide Registry on 6/13/24. During an interview on 7/18/24 at 8:38 A.M., the Human Resource Manager said: -Some of the staff were hired under the former company and they were not completing the criminal background screenings correctly or timely. -He/She had been auditing employee files and making corrections but noticed there were several mistakes or missing information. -Regarding [NAME] A, he/she was not in the Family Safety Care Registry upon hire so they waited to run his/her CBC and eventually they had to pay for him/her to become registered and that's when they ran the CBC. -Regarding CMT B and Dietary Aide A, he/she did not know why the CBC was not completed timely. -Regarding CNA F, he/she could not find the Nurse Aide Registry report showing it was run upon hire.
CONCERN (E)

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

Unnecessary Medications (Tag F0759)

Could have caused harm · This affected multiple residents

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, and record review, the facility failed to ensure staff administered medications to residents wi...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, and record review, the facility failed to ensure staff administered medications to residents with a medication error rate of less than 5%. Facility staff made five medication errors out of 27 attempts, for a medication error rate of 18.52%. This affected five out of ten residents observed during medication pass (Resident #156, #157, #6, #33, #47). The facility census was 53 residents. Review of an undated facility policy titled Medication Administration showed medications in accordance with professional standards of practice. Review of an undated facility policy titled Medication Errors showed: -The facility should have ensured medications were given per physician orders, according to manufacturers specifications regarding the preparation and administration of the drug, and in accordance with professional standards of practice. -The facility must have ensured a medication error rate of less than 5%. -The facility considered factors indicating medication errors to include: --Medication omission. --Incorrect dose, route, dosage form, or timing. --Incorrect medication. Review of an undated facility policy titled Insulin Pen showed staff were to: -Prime the insulin needle by dialing the pen to two units of insulin and pushing the plunger until at least one drop of insulin appears on the tip of the needle. -Administer the insulin. Review of the product insert for Humalog dated 2023 showed: -Prime before each injection. Priming your pen means removing the air from the needle and cartridge that may collect during normal use and ensures that the pen is working correctly. If you do not prime before each injection, you may get too much or too little insulin. -To prime your pen, turn the dose knob to select 2 units. Hold your pen with the needle pointing up. Tap the cartridge holder gently to collect air bubbles at the top. Continue holding your pen with the needle pointing up. Push the dose knob in until it stops, and 0 is seen in the dose window. Hold the dose knob in and count to 5 slowly. You should see insulin at the tip of the needle. If you do not see insulin, repeat priming steps no more than 4 times. If you still do not see insulin, change the needle and repeat priming steps. Review of the Novolog product insert dated 2/2023 showed: -Before each injection small amounts of air may collect in the cartridge during normal use. To avoid injecting air and to ensure proper dosing turn the dose selector to select 2 units. Hold your NovoLog FlexPen with the needle pointing up. Tap the cartridge gently with your finger a few times to make any air bubbles collect at the top of the cartridge. Keep the needle pointing upwards, press the push-button all the way in. The dose selector returns to 0. A drop of insulin should appear at the needle tip. If not, change the needle and repeat the procedure no more than 6 times. 1. Review of Resident #157's Physician Order Summary (POS) showed orders for Humalog (a rapid acting insulin) four units subcutaneously (in fatty tissue via injection) three times per day. Observation on 7/16/24 at 10:47 A.M., showed Certified Medication Technician (CMT) A retrieved an insulin pen from the medication cart containing Humalog insulin. CMT A entered the resident's room, applied a needle to the insulin pen, set the pen to four units, then administered the insulin to the resident without priming the needle. 2. Review of Resident #156's POS showed orders for Novolog (a rapid acting insulin) at a dose that was blood glucose level dependent (4 units for the resident's blood glucose at that time), three times per day. Observation on 7/16/24 at 10:52 A.M.,showed CMT A returned to the medication cart, took out an insulin pen and applied the needle to the pen. Observation on 7/16/24 at 10:53 A.M., CMT set the pen to four units, which was consistent with physician orders for the resident's blood glucose level at the time, then administered the insulin to the resident without priming the needle. During an interview on 07/16/24 at 11:21 A.M., CMT A said: -When administering insulin to residents, he/she would apply the needle, set the insulin pen to the correct dose and administer the drug. -He/She thought he/she had primed insulin pens in the past. -He/She usually tried to prime insulin pens before administration, but the problem was if he/she waited too long after priming, the pen would not work correctly. -He/She primed the insulin pens prior to administration of the insulin doses to both residents. -He/She was unable to describe the method used to prime the insulin pens. -Administering insulin was part of his/her daily duties. During an interview on 7/17/24 at 11:24 A.M., Licensed Practical Nurse (LPN) A said the insulin pen needle must be primed prior to administering insulin to residents to ensure the proper dose. During an interview on 7/18/24 at 9:50 A.M., the Director of Nursing (DON) said he/she would expect the needle to be primed with insulin prior to administration to ensure the proper dosage of medication. 3. Review of the Food and Drug Administration (FDA) detailed instructions for Calcitonin (Salmon) Nasal Spray Solution (used to treat bone loss in women with postmenopausal osteoporosis) dated September 2017 showed: -The pump did not need to be primed before each use of the solution. -To administer the solution, the nozzle needed to be carefully placed into the resident's nostril, while the resident's head was in an upright position. Review of Resident #6's face sheet showed he/she admitted to the facility with a diagnosis of Age-Related Osteoporosis (a condition in which the bones become brittle and fragile from loss of tissue). Review of the resident's Annual Minimum Data Set (MDS- a federally mandated assessment instrument completed by facility staff for care planning) dated 5/9/24 showed the resident was cognitively intact. Review of the resident's Physician Order Sheet (POS) dated July 2024 showed an order for Calcitonin Nasal Spray Solution 200 Unit (U), one spray in alternating nostrils during the day shift. Observation on 7/16/24 at 9:27 A.M. of the resident's Calcitonin administration completed by Licensed Practical Nurse (LPN) D showed: -He/She told the resident he/she would spray the medication into the resident's left nostril. -He/She then inserted the tip of the bottle into the resident's left nostril and instructed the resident to lean his/her head backwards. -He/She sprayed the medication into the nostril without agitating the solution, occluding the right nostril, or instructing the resident to inhale with his/her mouth closed. -He/She then sprayed a second dose of the medication into the same nostril due to not hearing the solution spray into the left nostril without agitating the solution, occluding the right nostril, or instructing the resident to inhale with his/her mouth closed. -The resident stated that he/she had not felt the medication go into his/her nose, so LPN D sprayed a third dose of the medication into the resident's left nostril without agitating the solution, occluding the right nostril, or instructing the resident to inhale with his/her mouth closed. 4. Review of Resident #33's face sheet showed he/she admitted to the facility with the following diagnoses: -Right-Sided Heart Failure (when the heart's right ventricle is too weak to pump enough blood to -the lungs). -Gastro-Esophageal Reflux Disease (GERD- a digestive disease in which stomach acid or bile irritates the food pipe lining). -Long-Term Use of Anticoagulants (blood thinners) (used to reduce the risk of blood clots and/or stroke). -Edema (fluid retention). -Vitamin Deficiency (a long-term lack of a vitamin). Review of the resident's Quarterly MDS dated [DATE] showed the resident was cognitively intact. Review of the resident's POS dated July 2024 showed: -An order for Eliquis (Apixaban- used to treat people who have had a health problem caused by a blood clot) 2.5 milligrams (mg), give one tablet by mouth two times a day. -An order for Furosemide (Lasix- used to remove excess fluid from the body to decrease the workload of the heart) 40 mg, give one tablet by mouth in the morning every other day. -An order for Famotidine (used to treat GERD) 20 mg, give one tablet by mouth during the day shift. -An order for Spironolactone (used to treat edema) Oral Tablet 25 mg, give one tablet by mouth during the day shift. -An order for Multivitamin Oral Tablet, give one tablet by mouth during the day shift. Observation on 7/16/24 at 9:36 A.M. of the resident's medication administration completed by LPN D showed: -He/She reviewed the resident's orders and took the resident's medication strip pack out of the medication cart. -He/She placed the Furosemide, Eliquis, Spironolactone, and the Multivitamin into a medication cup. -He/She was unable to find the resident's Famotidine on the resident's medication strip pack. -He/She entered the resident's room and administered the Furosemide, Eliquis, Spironolactone, and Multivitamin to the resident, without indicating the Famotidine was missing. Review of an Orders-Administration Note dated 7/16/24 at 9:46 A.M. completed by LPN D showed the medication was not available at that time. NOTE: No other notes were made related to the omission of the medication. 5. Review of Resident #47's face sheet showed he/she admitted to the facility with the following diagnoses: -Anxiety Disorder (any group of mental conditions characterized by excessive fear of or apprehension about real or perceived threats). -Primary Hypertension (high blood pressure). -Hypothyroidism (a condition in which the thyroid gland doesn't produce enough thyroid hormone). Review of the resident's Quarterly MDS dated [DATE] showed the resident was severely cognitively impaired. Review of the resident's POS dated July 2024 showed: -An order for Lexapro (Escitalopram Oxalate- used to treat certain mental/mood disorders such as anxiety) 5 mg, give 5 mg by mouth in the morning. -An order for Amlodipine Besylate (used to treat high blood pressure) 5 mg, give two tablets by mouth one time a day. -An order for Atenolol (used to treat high blood pressure) 50 mg, give one tablet by mouth in the morning. -An order for Calcium-Vitamin D Oral Tablet (used to treat a vitamin deficiency or taken as a supplement) 600-3.125 mg-micrograms (mcg), give one tablet by mouth one time a day. -An order for Losartan Potassium (used to treat high blood pressure) 100 mg, give one tablet by mouth in the morning. -An order for Cholecalciferol (Vitamin D3- used to treat a vitamin deficiency or taken as a supplement) Oral Tablet, give one tablet by mouth one time a day. Observation on 7/16/24 at 9:49 A.M. of the resident's medication administration completed by LPN D showed: -He/She reviewed the resident's orders and took the resident's medication strip pack out of the medication cart. -He/She placed the Lexapro, Amlodipine, Calcium-Vitamin D, Losartan Potassium, and Cholecalciferol into a medication cup. -He/She had attempted to place the Atenolol in the medication cup but had missed the medication cup and the tablet spilled onto the medication cart. -He/She then entered the resident's room and administered the Lexapro, Amlodipine, Calcium-Vitamin D, Losartan Potassium, and Cholecalciferol, without indicating the Atenolol was missing. Review of an Orders-Administration Note dated 7/16/24 at 10:02 A.M. completed by LPN D showed the medication had been dropped during medication pass. NOTE: No additional notes or follow-up had been completed related to the dropped medication. Review of Resident #47's vital signs in the Electronic Medical Record (EMR) on 7/17/24 at 9:52 A.M. showed: -LPN D had documented the resident's blood pressure on 7/16/24 at 10:03 A.M. as 147/75 millimeters of Mercury (mmHg). -LPN D had not recorded any other blood pressure during his/her shift into the resident's EMR. 6. During an interview on 7/16/24 at 10:04 A.M. LPN D said: -He/She thought the medication pass went okay. -The only thing he/she would have done differently was not drop the Atenolol during the medication administration to Resident #47. -He/She was going to waste the pill with another nurse after the medication pass was completed. During an interview on 7/16/24 at 11:20 A.M. LPN D said: -He/She had not wasted the Atenolol yet. -The nasal spray bottles could be tricky and not all of the medication would not come out sometimes during administration. -He/She would normally just administrate one spray of the Calcitonin Nasal Spray to Resident #6 but had been nervous during the medication administration. -Famotidine was normally in the medication packs for each resident provided by the pharmacy. -He/She would check Resident #47's blood pressure later on in the shift if Resident #47 let him/her do so. -No other follow-up needed to be completed related to the omitted medications during the medication administrations. During an interview on 7/17/24 at 11:29 A.M. LPN C said: -During nasal spray administration, the spray needed to be primed before the spray could be used and the resident's head needed be in a downward position. -The nurse had not given the nasal spray correctly and should have not sprayed three doses of medication into the nostril regardless of whether or not the nurse questioned if the resident had received the first dose. -Most medications, including Famotidine were included in the resident's medication strip pack. -If a medication was not found in the medication strip pack, he/she would contact pharmacy and see if the medication could be pulled from the facility's emergency supply or use a different day's dose of the medication. -Once contact with the pharmacy was made, he/she would then document a note related to the conversation with the pharmacy, including what instructions the pharmacy provided. -If a pill had been dropped during medication pass then the same process would be used for missing medication. -If any medication could not be given during medication pass, then he/she would contact the doctor and document a note related to the conversation and any new orders that were provided. -What the nurse had done related to the omitted medications was incorrect. -He/She would have additionally checked the resident's blood pressure throughout the shift if the Atenolol was not able to be given. During an interview on 7/18/24 at 8:42 A.M. the Assistant Director of Nursing (ADON) said: -During nasal spray administration, the spray needed to be primed before the spray could be used, the resident's opposite nostril needed to be held down, and the resident's head needed to be in an upright position only slightly tilted back. -The nurse had not given the nasal spray correctly. - The nurse should not have administered additional doses of the nasal spray even if the nurse thought the dose was not fully given during the first spray of the medication. -All medications given to residents were provided by the pharmacy. -The medications were either in the strip pack or in their own individual box for each resident. -If a medication could not be found on a medication strip pack, then he/she would expect the nurse to check other locations, contact pharmacy, and document a progress note with the inclusion of what the pharmacy instructed the nurse to do. -Only documenting a note that the medication was not available was not satisfactory and the nurse should have contacted the pharmacy. -If a pill were to be dropped during medication pass, he/she would expect the nurse to destroy the pill and a note be documented. -The nurse should have pulled the Atenolol for the end of the strip and contacted the pharmacy to inform them of the additional dose that had been used. -He/She would have also expected the nurse to have contacted the facility's doctor and document a note. -The note the nurse documented related to the pill being dropped was not sufficient. During an interview on 7/18/24 at 9:51 A.M. the Director of Nursing (DON) said: -During the administration of nasal spray, the spray needed to be primed before the spray could be used and the resident's head should be in an upright position, not tilted too far back. -The nurse had not administered the nasal spray correctly. -The nurse should not have given the second and third dose of the medication even if he/she thought the full dose had not been administered. -If a medication could not be found on the resident's medication strip pack, then he/she would have expected the nurse to have pulled the medication from the facility's emergency supply. -The pharmacy should have also been contacted and informed to send any missing medication in a STAT (immediate) order. -He/She would have expected the nurse to document a note after the pharmacy was contacted. -Only documenting that the medication was missing was not sufficient. -If a medication were to be dropped during medication pass, then he/she would expect the nurse to pull the medication from the end of the medication strip pack. -He/She would have expected the nurse to contact the pharmacy and inform the pharmacy which day of the dose was used and to have documented a note related to the pharmacy contact. -He/She would have expected the nurse to have contacted the facility's doctor and inform the doctor of why the medication was not given. -The note the nurse documented was not sufficient related to the dropped medication.
CONCERN (E)

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

Deficiency F0804 (Tag F0804)

Could have caused harm · This affected multiple residents

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, and record review, the facility failed to ensure the pureed (cooked food, that has been ground,...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, and record review, the facility failed to ensure the pureed (cooked food, that has been ground, pressed, blended or sieved to the consistency of a creamy paste or liquid) eggs were not bland; and failed to ensure that hot foods on room trays were at or close to 120 ºF (degrees Fahrenheit) at the time of delivery. This practice potentially affected one resident with a pureed diet and three residents who received room trays. The facility census was 53 residents. 1. Review of the recipe for five serving of pureed eggs, copyrighted 2024, showed: -Five boiled eggs and ¼ cup of warm milk. -Directions included: Place prepared eggs and milk in a washed and sanitized food processor, blend until smooth. Reheat to 165 ºF for at least 15 seconds and maintain at 135 ºF. Observation on 7/17/24 from 7:01 A.M. through 7:04 A.M. showed the Dietary [NAME] (DC) A made the pureed eggs, by adding 2 boiled eggs and a small portion of cold milk to the food processor. During an interview on 7/17/24 at 7:04 A.M., DC A said he/she usually used milk with the pureed eggs. Observation on 7/17/24 at 7:36 A.M., during a taste test by the state surveyor, showed the pureed eggs were very bland. Observation on 7/17/24 at 7:37 A.M., during a taste test the Dietary Director (DD) tasted pureed eggs and observed the flavor was very bland. During an interview on 7/17/24 at 7:39 A.M. the DD said the following regarding the pureed eggs: -He/She only placed the recipe for hard boiled eggs and pureed eggs into the recipe book about 2 weeks prior to the survey. -He/She was not sure if anyone had tasted the hard-boiled eggs in a pureed form. -That day (7/17/24), was the first time they had hard-boiled eggs on the menu. During a phone interview on 7/17/24 at 12:31 P.M., the Consultant Registered Dietitian said: -The dietary staff has not contacted him/her about the flavor of the pureed eggs. -He/She had not looked at the egg recipe in a while. -The first thing they can do is change the recipe and then taste the recipe and find out what the recipe is like. 2. Observation on 7/17/24 at 8:35 A.M., showed the sausage on a test room tray for the 200 Hall room tray was 101.3 ºF. During an interview on 7/17/24 at 8:37 A.M., the DD said since he/she has been the DD he/she has not had her dietary staff check the temperatures of the food items on the room trays. During an interview on 7/17/24 at 9:18 A.M., the DD said he/she has not been taught to check room trays and some of the residents who received room trays have mentioned the food was cold in the past. Review of Resident #155's Admission's Minimum Data Set (MDS--a federally mandated assessment tool completed by the facility for care planning) dated 6/19/24, identified the resident as cognitively intact. During an interview on 7/18/24 at 9:51 A.M., the resident said about half the time when the food was delivered to him/her, it was cold. Review of Resident #49's admission MDS dated [DATE], identified the resident as cognitively intact. During an interview on 7/18/24 at 9:53 A.M., the resident said, sometimes all the meals may be cold, but breakfast meals are the meals that are is cold the most.
CONCERN (F)

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

Deficiency F0727 (Tag F0727)

Could have caused harm · This affected most or all residents

Based on interview and record review, the facility failed to provide sufficient proof of the Registered Nurse (RN) eight consecutive hours a day coverage during the Fiscal Year Quarter Two 2024 Payrol...

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Based on interview and record review, the facility failed to provide sufficient proof of the Registered Nurse (RN) eight consecutive hours a day coverage during the Fiscal Year Quarter Two 2024 Payroll Based Journal (PBJ- a report that provides staffing dataset information submitted by nursing homes on a quarterly basis) for all the dates triggered within the quarter equaling 26 total days. This deficient practice had the potential to affect all residents within the facility. The facility census was 53 residents. Review of the facility's undated policy titled Nursing Services- Registered Nurse showed: -The intent of the policy was for the facility to comply with Registered Nurse staffing requirements. -The facility would utilize the services of a Registered Nurse for at least eight consecutive hours per day, seven days per week. -The facility was responsible for submitting timely and accurate staffing data through the CMS PBJ system. 1. Review of the PBJ Fiscal Year Quarter Two PBJ data report showed the facility had no RN coverage for the following dates: -Eight out of 31 days in January 2024: --1/6/24, 1/7/24, 1/13/24, 1/14/24, 1/20/24, 1/21/24, 1/27/24, 1/28/24, -Eight out of 29 days in February 2024: --2/3/24, 2/4/24, 2/10/24, 2/11/24, 2/17/24, 2/18/24, 2/24/24, 2/25/24. -Ten out of 31 days in March 2024: --3/2/24, 3/3/24, 3/9/24, 3/10/24, 3/16/24, 3/17/24, 3/23/24, 3/24/24, 3/30/24, 3/31/24. Review of a Daily Staffing Roster dated 1/6/24 and 1/7/24 showed no assigned RN coverage in the building. Review of a Payroll Detail Sheet dated 1/7/24 showed the Minimum Data Set (MDS- a federally mandated assessment instrument completed by facility staff for care planning) who was also an RN was in the building for 4.98 hours. Review of a Daily Staffing Roster dated 1/13/24 showed no assigned RN coverage in the building. Review of an undated RN Coverage Data Sheet showed the Director of Nursing (DON) was the assigned RN coverage for 1/13/24. Review of a Payroll Detail Sheet dated 1/13/24 showed the MDS Coordinator was in the building for 3.75 hours. Review of a Daily Staffing Roster dated 1/20/24 showed the MDS Coordinator was the assigned RN coverage in the building for that day. Review of a Payroll Detail Sheet dated 1/20/24 showed the MDS Coordinator had no work hours for that date. Review of a Daily Staffing Roster dated 1/21/24 showed the MDS Coordinator was the assigned RN coverage in the building for that day. Review of a Payroll Detail Sheet dated 1/21/24 showed the MDS Coordinator was in the building for four hours. Review of a Daily Staffing Roster dated 1/27/24 and 1/28/24 showed no assigned RN coverage in the building. Review of a Payroll Detail Sheet dated 1/28/24 showed the MDS Coordinator was in the building for four hours. Review of a Daily Staffing Roster dated 2/3/24 showed no assigned RN coverage in the building. Review of an undated RN Coverage Data Sheet showed the Director of Nursing (DON) was the assigned RN coverage for 2/3/24. Review of a Daily Staffing Roster dated 2/4/24 showed RN Supervisor A was the assigned RN coverage in the building. Review of a Payroll Data Sheet dated 2/4/24 showed RN Supervisor A had no work hours for that date. Review of an undated RN Coverage Data Sheet showed the DON was the assigned RN coverage for 2/4/24. Review of a Daily Staffing Roster dated 2/10/24 showed no assigned RN coverage in the building. Review of a Daily Staffing Roster dated 2/17/24 showed RN Supervisor A was the assigned RN coverage in the building. Review of an undated RN Coverage Data Sheet showed RN Supervisor A was the assigned RN coverage for 2/17/24. Review of a Payroll Data Sheet dated 2/17/24 showed RN Supervisor A was in the building for 1.37 hours. Review of a Daily Staffing Roster dated 2/18/24 showed no assigned RN coverage in the building. Review of a Payroll Data Sheet dated 2/18/24 showed the MDS Coordinator was in the building for three hours. Review of a Daily Staffing Roster dated 2/24/24 showed no assigned RN coverage in the building. Review of an undated RN Coverage Data Sheet showed the DON was the assigned RN coverage for 2/24/24. Review of a Daily Staffing Roster dated 2/25/24, 3/2/24, 3/3/24, and 3/9/24 showed no assigned RN coverage in the building. Review of a Payroll Data Sheet dated 3/9/24 showed the MDS Coordinator was in the building for four hours. Review of a Daily Staffing Roster dated 3/10/24 showed no assigned RN coverage in the building. Review of a Payroll Data Sheet dated 3/10/24 showed the MDS Coordinator was in the building for two hours. Review of a Daily Staffing Roster dated 3/16/24, 3/17/24, and 3/23/24 showed no assigned RN coverage in the building. Review of a Payroll Data Sheet dated 3/23/24 showed the MDS Coordinator was in the building for 5.45 hours. Review of a Daily Staffing Roster dated 3/24/24, 3/30/24, and 3/31/24 showed no assigned RN coverage in the building. During an interview on 7/14/24 at 11:56 A.M. the DON said: -From the end of last year into the springtime the facility lacked RN coverage. -He/She had started to work at the facility some time in February this year and provided most of the RN coverage. During an interview on 7/17/24 at 10:34 A.M. Certified Nursing Assistant (CNA) E said: -The RN coverage was usually marked on the Daily Staffing Roster. -The DON provided the RN coverage most of the time. During an interview on 7/17/24 at 1:40 A.M. Licensed Practical Nurse (LPN) C said: -The MDS Coordinator and the DON provided most of the RN coverage. -The RN coverage was usually marked on the posted staffing sheets, but the sheet would not indicate who was the assigned RN. -He/She had been aware that the building lacked RN coverage in the past and it seemed to improve once the DON started. During an interview on 7/18/24 at 8:25 A.M. the MDS Coordinator said: -He/She and the DON provided the RN coverage in the building. -Whenever he/she was the assigned RN, he/she would stay in the building for at least eight consecutive hours. -He/She was unsure how the facility would indicate the RN coverage hours provided by the DON on the PBJ report due to the DON being a salaried employee. During an interview on 7/18/24 at 9:01 A.M. the Assistant Director of Nursing (ADON) said: -The DON and the MDS Coordinator were the RN coverage for the building. -He/She was unsure how the facility would indicate the RN coverage hours provided by the DON on the PBJ report due to the DON being a salaried employee. During an interview on 7/18/24 at 9:36 P.M. the Administrator said: -He/She thought the PBJ data report for Fiscal Year Quarter Two was accurate and reflected the facilities actual RN coverage in the building. -The facility had gone through multiple staffing coordinators, and they would have been the ones to mark the RN coverage on the Daily Staffing Roster during that time frame.
CONCERN (F)

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

Food Safety (Tag F0812)

Could have caused harm · This affected most or all residents

Based on observation and interview, the facility failed to maintain the baffle vents (metal vents which trap oil and grease that would make it into a kitchen's atmosphere by passing air through a seri...

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Based on observation and interview, the facility failed to maintain the baffle vents (metal vents which trap oil and grease that would make it into a kitchen's atmosphere by passing air through a series of interlocking baffles, because the oil gets stuck to the stainless steel or aluminum interior walls of the range hood (an open metal enclosure over cooking surfaces through which air is drawn in from the surrounding spaces to exhaust heat and grease, and to control the flow of rising hot air)) over the deep fat fryer free of a heavy buildup of grease; failed to maintain the floor behind the deep fat fryer free of a heavy buildup of grease; failed to maintain packages of zucchini sticks, breaded okra and frozen meat patties with a date and closed in the freezer; failed to maintain two cutting boards in an easily cleanable condition; failed to ensure the food processor was washed in a 3-step process between uses in processing different foods; failed to maintain the milk in the dining room at or close to 41 ºF (degrees Fahrenheit). This practice potentially affected all residents. The facility census was 53 residents. 1. Observations during the initial kitchen tour on 7/14/24 from 12:54 A.M. through 1:16 P.M., showed: -A buildup of grease on the baffle vents over the deep fat fryer. -A buildup of grease and cooking debris around the rim of the deep fat fryer. -Three packages of zucchini sticks, one package of breaded okra, one package of breaded chicken tenders and one package of frozen meat patties, which were not labeled with a date the packages were opened and the packages were not sealed. -The presence of red and brownish stains under one shelf which held meat. During an interview on 7/14/24 at 1:05 P.M., Dietary [NAME] (DC) A said: -He/She worked every other weekend and during the week. -Items in the freezer should all be sealed, labeled and dated and identified the packages of breaded okra, chicken tenders and frozen chicken were unsealed and unlabeled with a date they were opened. -They have ordered a solution to get the stains up but it had not come in yet. 2. Observations during the breakfast meal on 7/17/24 from 5:46 A.M. through 8:12 A.M., showed: -Two blue cutting boards not in an easily cleanable condition. -A buildup of grease on the baffle vents over the deep fat fryer. -A buildup of grease and cooking debris around the rim of the deep fat fryer. -DC A used the food processor to process and puree eggs and just rinsed the food processor instead of washing the food processor in a 3-step process (washing, rinsing and sanitizing). -DC A then used the food processor to process mechanical soft and pureed sausage. -DC A then only rinsed out the food processor -At 8:26 A.M., the milk in the bottle in the main dining room was 51.4 ºF During an interview on 7/17/24 at 8:29 A.M., the Dietary Director (DD) said he/she was not sure if the dietary staff had checked the temperature of the milk and the milk was not on ice. During interviews from 9:08 A.M. through 9:16 A.M., the DD said: -He/She had not conducted any in-services regarding the cutting boards since he/she has taken over. -The dietary staff were supposed to clean behind the deep fat fryer every two weeks. -He/She did not have the dietary staff to clean the baffle vents because he/she thought the range hood cleaning company cleaned the baffle vents. - He/She expected the dietary staff to do a three-step process or run the food processor through the dishwasher after each food is processed.
CONCERN (F)

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

Staffing Data (Tag F0851)

Could have caused harm · This affected most or all residents

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to submit the required staffing data to the Payroll Based Journal (PBJ...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to submit the required staffing data to the Payroll Based Journal (PBJ- a report that provides staffing dataset information submitted by nursing homes on a quarterly basis) for two of the last four quarters which had the potential to affect all residents. The facility census was 53 residents. Review of the facility's undated policy titled Payroll Based Journal showed: -It is the policy of the facility to electronically submit timely to CMS complete and accurate direct care staffing information, based on payroll and other verifiable and auditable data in uniform format according to specifications established by CMS. -The facility would submit direct care staffing information on the schedule specified by CMS, but no less than quarterly. -The reporting deadlines included: --Fiscal Quarter One (October 1- December 31): [DATE]. --Fiscal Quarter Two (January 1- March 31): May 15. --Fiscal Quarter Three (April 1- June 30): August 14. --Fiscal Quarter Four (July 1- September 30): November 14. -Responsibilities for data submission included: --The Administrator, HR Director, and Director of Nursing were responsible for verifying accuracy of the staffing data that was submitted to CMS using various facility audit forms and/or payroll vendor reports. --The Business Office Manager was responsible for verifying the accuracy of census [NAME] and collaborating with the Minimum Data Set (MDS- a federally mandated assessment instrument completed by facility staff for care planning) for any needed corrections. --The Designated individual or vendor was responsible for submitting data and obtaining validation reports. --The Administrator was responsible for reviewing validation reports and ensuring that any needed corrections were made before the quarterly deadline. 1. Review of the Fiscal Year Quarter Three 2023 report showed the facility had failed to submit the required staffing data for the quarter. Review of the Fiscal Year Quarter Four 2024 report showed the facility failed to submit the required staffing data for the quarter. During an interview on 7/18/24 at 8:27 A.M. the MDS Coordinator said he/she thought the admissions nurse, or the Administrator were the staff responsible for submitting the PBJ data. During an interview on 7/18/24 at 9:00 A.M. the Assistant Director of Nursing (ADON) said he/she thought Human Resources, or the Administrator were the staff responsible for submitting the PBJ data. During an interview on 7/18/24 at 9:33 A.M. the Administrator said: -He/She was responsible for submitting the PBJ staffing data. -The previous management company had not let him/her submit the PBJ data and it was the responsibility of someone higher up then him/her to submit the data. -He/She would not have been the one responsible for the data submissions for Fiscal Year Quarter Three 2023 or Fiscal Year Quarter Four 2024.
CONCERN (F)

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

Infection Control (Tag F0880)

Could have caused harm · This affected most or all residents

6. Review of an undated facility policy titled Insulin Pen showed staff were to: -Perform hand hygiene prior to the insulin administration. -Perform hand hygiene after the administration. 7. Review o...

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6. Review of an undated facility policy titled Insulin Pen showed staff were to: -Perform hand hygiene prior to the insulin administration. -Perform hand hygiene after the administration. 7. Review of Resident #157's POS showed orders for Humalog (a rapid acting insulin) four units subcutaneously (in fatty tissue via injection) three times per day. Observation on 7/16/24 at 10:47 A.M., showed Certified Medication Technician (CMT) A retrieved an insulin pen from the medication cart containing Humalog insulin. CMT A entered the resident's room without performing hand hygiene, donned gloves, applied a needle to the insulin pen, administered insulin and left the room without performing hand hygiene. 8. Review of Resident #156's the POS showed orders for Novolog (a rapid acting insulin) at a dose that was blood glucose level dependent (4 units for the resident's blood glucose at that time), three times per day. Observation on 7/16/24 at 10:52 A.M., showed CMT A returned to the medication cart, took out an insulin pen and applied the needle to the pen. CMT A, without washing or sanitizing his/her hands, donned gloves, cleansed an area on the resident's upper arm, administered the insulin and left the room without performing hand hygiene throughout the procedure. During an interview on 07/16/24 at 11:21 A.M., CMT A said he/she performed hand hygiene before and after each insulin administration. During an interview on 7/17/24 at 11:24 A.M., LPN A said hand hygiene must be performed before and after insulin administration because staff may come into contact with blood or other pathogens. During an interview on 7/18/24 at 9:50 A.M., the DON said he/she would expect staff to perform hand hygiene before and after insulin administration. 2. Review of an undated facility policy titled Nasal Spray Administration showed staff were to: -Wash hands thoroughly before beginning the procedure and don gloves. -Rinse the tip of the medication container in lukewarm water, and allow to dry. -Replace the cap. -Remove and discard gloves. Review of Resident #6's face sheet showed he/she admitted to the facility with the following diagnosis: -Age-Related Osteoporosis (a condition in which the bones become brittle and fragile from loss of tissue). -Nasal Congestion. Review of the resident's POS dated July 2024 showed an order for Calcitonin (Salmon) Nasal Spray Solution (used to treat bone loss in women with postmenopausal osteoporosis) 200 Units (U), one spray in alternating nostrils during the day shift. Observation on 7/16/24 at 9:27 A.M. of the resident's medication administration completed by LPN D showed: -He/She did not perform hand hygiene before dispensing the medication into the medication cup. -He/She grabbed gloves before entering the resident's room. -He/She did not perform hand hygiene upon entry to the resident's room. -He/She handed the medication cup to the resident and donned the gloves that were in his/her hands without performing hand hygiene prior to donning the gloves. -He/She then administered the nasal spray into the resident's left nostril. -He/She re-capped the nasal spray solution without cleaning the tip of the medication container. -He/She removed his/her gloves and exited the resident's room without performing hand hygiene. 3. Review of Resident #33's face sheet showed he/she admitted to the facility with the following diagnoses: -Right-Sided Heart Failure (when the heart's right ventricle is too weak to pump enough blood the lungs). -Gastro-Esophageal Reflux Disease (GERD- a digestive disease in which stomach acid or bile irritates the food pipe lining). -Vitamin Deficiency (a long-term lack of a vitamin). -Diarrhea, Unspecified. Observation on 7/16/24 at 9:36 A.M. of the resident's medication administration completed by LPN D showed: -He/She did not perform hand hygiene before dispensing the medication into the medication cup. -He/She did not perform hand hygiene upon entry into the resident's room. -He/She handed the medication cup to the resident, making contact with the resident's hand. -He/She then exited the resident's room without performing hand hygiene. 4. Review of Resident #47's face sheet showed he/she admitted to the facility with the following diagnoses: -Carcinoma in Situ of Rectum (a precancerous condition characterized by the presence of abnormal cells in the inner lining of the rectum). -Primary Hypertension (high blood pressure). -Chronic Kidney Failure (a long-standing kidney disease based on kidney damage or decreased kidney function for three or more months), Stage 3 (an indication of mild to moderate kidney damage). -Diarrhea, Unspecified. Observation on 7/16/24 at 9:49 A.M. of the resident's medication administration completed by LPN D showed: -He/She entered the resident's room without performing hand hygiene. -He/She checked the resident's blood pressure with a wrist cuff making contact with the resident's left arm and hand. -He/She exited the resident's room without performing hand hygiene. -He/She then started to dispense the resident's medication from the resident's medication strip pack. -He/She then knocked his/her pen to the floor and picked it up from the ground and continued to dispense the resident's medication into the medication cup without performing hand hygiene. -He/She then re-entered the resident's room without performing hand hygiene upon entry. -He/She then handed the medication cup to the resident, making contact with the resident's hand. -He/She then exited the resident's room and applied ABHR to his/her hands. During an interview on 7/16/24 at 10:04 A.M. LPN D said: -He/She had not realized that he/she had not performed hand hygiene in between residents during the medication pass. -He/She would normally perform hand hygiene in between each resident during medication pass. 5. During an interview on 7/16/24 at 11:20 A.M. LPN D said: -He/She had been nervous during the nasal spray administration and had not realized he/she had not performed hand hygiene during the procedure. -He/She knew that he/she had worn gloves during the procedure. -He/She should have used hand sanitizer (ABHR) after picking up the pen from the floor during Resident #47's medication pass. During an interview on 7/17/24 at 11:37 A.M. LPN C said: -Hand hygiene should be performed before and after each resident's medication pass, when entering and exiting resident rooms, and before and after any type of resident procedure is completed. -Gloves were not a substitute for hand hygiene. -The nurse had not performed hand hygiene appropriately during the medication pass and when administering the nasal spray. -He/She would have sanitized his/her hands after picking up an item that was dropped on the floor. During an interview on 7/18/24 at 8:22 A.M., the MDS Coordinator said: -Hand hygiene should be performed anytime a person feels it should be completed. -Hand hygiene should be performed before and after each resident's medication pass, before and after resident contact is made, and before and after using gloves. -Gloves were not a substitute for hand hygiene. -The nurse had not performed hand hygiene adequately during the medication pass. During an interview on 7/18/24 at 8:55 A.M., the Assistant Director of Nursing (ADON) said: -Staff should perform hand hygiene by washing their hands before starting medication pass. -Staff were to use ABHR between each resident during medication pass. -After three residents, staff needed to wash their hands before continuing the medication pass. -Gloves were not a substitute for hand hygiene. -The nurse had not performed hand hygiene correctly during the whole medication pass procedure. -The nurse should have washed his/her hands after picking up the pen from the floor. During an interview on 7/18/24 at 9:51 A.M., the DON said: -Hand hygiene should be performed before the start of medication pass and in between each resident. -Gloves were not a substitute for hand hygiene. -The nurse had not performed hand hygiene correctly during the whole medication pass procedure. -He/She would have expected the nurse to have washed his/her hands after picking up the pen off the floor, before continuing the medication pass. Based on observation, interview, and record review, the facility failed to follow appropriate infection control practices during incontinence care for one sampled resident (Resident #20) who was on Enhanced Barrier Precaution (EBP - refer to an infection control intervention designed to reduce transmission of multi--resistant organisms that employs targeted gown and glove use during high contact resident care activities), who was at risk for infection due to an open wound on his/her coccyx (tail bone) area; failed to perform adequate hand hygiene during medication administration for one sampled resident (Resident #6) and two supplemental residents (Resident's #33 and #47) out of 15 sampled residents and nine supplemental residents; failed to screen all employees for tuberculosis (TB-a communicable disease that affects especially the lungs, that is characterized by fever, cough, difficulty in breathing, and abnormal lung tissue and function) and maintain documentation of all employees' tuberculin screening, and to ensure the facility policy and procedures for TB screening was followed for three of ten sampled employees. The facility census was 53 residents. Review of the facility's undated Enhanced Barrier Precautions Policy copyright 2024 showed: -Implement enhance barrier precaution for the prevention of transmission of multidrug resistant organisms. -Implementation of EBP: making gowns and gloves available immediately near or outside the resident's room. -Personal Protective Equipment (PPE) for EBP is only necessary when performing high contact care activities and may not need to be donned prior to entering the resident room. -High contact resident care include but not limited to: transferring a resident, bathing, providing hygiene, changing briefs or toileting and wound care. -EBP should be used for the duration of the affected resident's stay in the facility or until resolution of the wound that placed the resident at higher risk. Review of the Center of Disease and Control (CDC), Center for Clinical Standards and Quality/Quality, Safety & Oversight Group, Ref: QSO-24-08-NH updated on 3/20/24 showed: -(EBP) recommendations now include use of EBP for residents with chronic wounds during high-contact resident care activities regardless of their multidrug-resistant organism status. -Enhanced Barrier Precautions require the use of gown and gloves only for high-contact resident care activities (unless otherwise indicated as part of Standard Precautions). they are intended to be in place for the duration of a resident's stay in the facility or until resolution of the wound that placed them at higher risk. Review of the facility's undated policy titled Hand Hygiene showed: -All staff would perform proper hand hygiene procedures to prevent the spread of infection to other personnel, residents, and visitors; this applied to all staff working in all locations within the facility. -Hand Hygiene was a general term for cleaning hands by handwashing with soap and water or the use of anti-septic hand rub, also known as alcohol-based hand rub (ABHR). -Hand hygiene with soap and water was to be performed under the listed conditions, but not limited to: --Hands being visibly soiled. --Hands being soiled with blood or other bodily fluids. -Hand Hygiene with ABHR was to be performed under the listed conditions, but not limited to: --Between resident contacts. --After handling contaminated objects. --Before applying and after removing personal protective equipment (PPE), including gloves. --Before preparing or handling medications. -The use of gloves did not replace hand hygiene; if a task required gloves staff were to perform hand hygiene prior to donning gloves, and immediately after removing gloves. 1. Review of Resident #20's Physician Order Sheet (POS) dated 7/1/24 showed: -Cleanse areas to right buttocks and coccyx with hypochlorous acid (is a solution that helps clean wounds and prevent infections). Apply Calmoseptine ointment (is barrier cream commonly used to treat and prevent minor skin irritations) to both areas and cover with an abdominal pad (ABD, is an extra thick primary or secondary dressing designed to care for moderate to heavily draining wounds pad). Change daily and as needed for Wound care. -No physician order found related to the resident on EBP. Review of the resident's Significant Change Minimum Data Set (MDS - a federally mandated assessment instrument completed by facility staff for care planning) dated 7/3/24, showed he/she: -Was severely cognitively impaired and had short term and long-term memory problems. -Had Stage II (partial thickness loss of dermis presenting as a shallow open ulcer with a red or pink wound bed, without slough. It may also present as an intact or open/ruptured blister) Pressure Ulcer/wound (PU, localized injury to the skin and/or underlying tissue usually over a bony prominence, because of pressure, or pressure in combination with shear and/or friction). -Had Stage III (a full thickness tissue loss. Subcutaneous fat may be visible, but bone, tendon or muscle is not exposed. Slough may be present but does not obscure the depth of tissue loss. May include undermining or tunneling) pressure ulcer/wound. -Was always incontinent of bowel and bladder. -Was dependent on facility staff for all cares. Review of the resident's care plan revised on 7/9/24 showed the resident: -Was at risk for skin breakdown related to incontinent of bowel and bladder, impaired mobility, weakness. The resident had an open area on his/her buttocks and on his/her coccyx at that time. -Interventions included: --A sign on door indicating the need for EBP. --Staff member was to wear gown and gloves when providing care for the resident. -Initiated on 7/9/24, the resident had a Stage II wound to his/her right buttock; refer to POS for current treatment. -Initiated on 7/9/24, the resident had a stage III wound to coccyx, refer to POS for current treatment. Observation on 7/14/24 at 10:14 P.M., the resident room showed: -Had signage on the door stating a resident in that room was on Enhanced Barrier Precautions. -Staff were to wear gown and gloves when providing direct contact care for the resident, including incontinent care and wound care. Observation on 7/16/24 at 9:15 A.M., of resident care showed: -The resident had EBP signage posted on the door. -Certified Nursing Assistant (CNA) A and CNA B entered the resident's room washed their hands and applied gloves. They did not wear PPE gown prior to transferring the resident or when providing incontinent care. -CNA A and CNA B transferred the resident with a Hoyer lift (a mechanical transfer device) from his/her chair to the bed. -While in bed CNA A and CNA B removed the resident's pants and briefs. -CNA A provided incontinent care for the resident while CNA B assisted in holding/positioning the resident on his/her left side for cares. -The resident did not have a dressing on his/her coccyx wound at the time of incontinent care. -The resident had an open area on his/her coccyx. The open area was like a slit in buttocks crack area about 1/2 inch or less in length with white outer edges and reddish pink inside. -The buttocks had irritation on both side of cheeks, a with few spots with shearing (peeling of skin) observed. -He/She also had a dime sized scabbed over area on his/her right knee. -CNA A said the charge nurse would provide wound care and treatment later that morning. During an interview on 7/16/24 at 1:09 P.M., CNA A said: -He/She was not aware the resident was on EBP. -He/She went to ask the nurse if the resident was on EBP. -CNA A was informed by the nurse the resident was on EBP. -He/She should have worn a gown during the resident's incontinent care. -He/She did not realize the resident had open wound area on his/her coccyx prior to care. -He/She did not see the EBP signage on the resident's door. -EBP would be used when a resident had the potential of infection due to wounds or other risk factors. During an interview on 7/15/24 at 12:36 P.M., Licensed Practical Nurse (LPN) B said: -The resident was on EBP for wounds. -The resident only has a small open area on coccyx. -He/She would expect CNAs and nurses to wear gown and gloves when providing incontinent care or wound care. During an interview on 7/17/24 at 10:22 A.M., CNA C said: -The resident was on EBP for wounds and required gowning and gloving with direct care. -He/She had not had any recent training related to EBP. During an interview on 7/17/24 at 12:14 P.M., CNA D said he/she would wear gloves and gown with any direct contact care for any resident on EBP. During an interview on 7/17/24 at 1:16 P.M., the Infection Control Preventionist said: -Enhanced Barrier Precaution would be used for those residents at risk for multi-drug resistant, to include residents with wounds. -For those residents on EBP, the PPE should be in the resident's room located in a drawer. -He/She would expect all care staff to wear gowns and gloves while providing incontinent care or other direct contact care for residents on EBP. -The resident was on EBP due to wounds. During an interview on 7/18/24 at 9:51 A.M., the Director of Nursing (DON) said: -Residents on EBP would be any resident with wounds and other risk factors. -Resident #20 was on EBP related to his/her wound. -He/She would expect nursing staff and care staff to wear PPE to include, gown and gloves when providing incontinent care or wound care for residents on EBP. -The Infection Control Preventionist would educate nursing staff and the facility nursing staff would educate CNAs or other care staff related to residents on EBP and what PPE required. -The resident on EBP should either have isolation cart outside room or staff can obtain gowns from the clean utility room. 9. Review of the facility's Infection Control policy and procedure updated 2024, showed direct care staff shall comply with physical examinations and immunization screening requirements upon employment and annually. Review of the following employee records showed there was no documentation showing these employees were given a two-step TB test upon hire or that there was documentation showing a previous TB test or X-ray to rule out TB had been completed prior to or upon employment: -Security A was hired on 10/21/23. Documentation showed the TB screening was not conducted until 4/13/24. There was no documentation showing the employee had a TB screening upon hire or provided documentation to rule out TB upon hire. -Housekeeper A was hired on 8/19/23. Documentation showed the TB screening was not conducted until 8/24/24. There was no documentation showing the employee had a TB screening upon hire or provided documentation to rule out TB upon hire. -Dietary Aide A was hired on 12/28/23. There was no documentation showing the employee had a 2 step TB test or provided documentation to rule out TB. This employee was no longer employed at the facility. During an interview on 7/18/24 at 8:38 A.M., the Human Resource Director said: -Some of the staff were hired under the former company and they were not completing the TB screenings correctly or timely. -He/She had been auditing employee files and making corrections but noticed there were several mistakes or missing information. -Regarding Housekeeper A, he/she thought the nurse mistakenly documented the year 2024 instead of 2023 on the 2 step TB form. -He/She did not know why Security A or Dietary Aide A was not completed upon hire but he/she was unable to find this documentation. During an interview on 7/18/24 at 9:51 A.M., the DON said: -Nursing completes employee TB testing and they try to complete it 3 days prior to hire. -The Human Resource Director tracks the TB tests and will bring the documentation to him/her so he/she can ensure they are completed correctly and timely. -He/She was aware that there were TB tests that were not done correctly under the prior owners and management and they were trying to correct those as they saw issues.
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 and record review, the facility failed to have a Infection Control Surveillance process for monitoring and tracking the use of long-term antibiotic usage to be included in the month...

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Based on interview and record review, the facility failed to have a Infection Control Surveillance process for monitoring and tracking the use of long-term antibiotic usage to be included in the monthly review and monitoring of the antibiotics for one sampled resident (Resident #17), who was on an antibiotic as a preventative measure for Chronic Urinary Tract Infection (UTI - an infection of one or more structures in the urinary system) out 15 sampled residents. This failure had the potential to affect all residents at the facility. The facility census was 53 residents. Review of the Facility's undated Infection Prevention and Control Program showed: -An Antibiotic Stewardship program will be implemented as part of the overall infection prevention and control program. -Antibiotic use protocols and system to monitor antibiotic use will be implemented as part of the antibiotic stewardship program. Review of the facility Antibiotic Stewardship Program Policy dated 8/10/23 showed: -Infection Preventionist utilizes expertise and data to inform strategies to improve antibiotic use to include tracking of antibiotic starts, monitoring adherence to evidence-based published criteria during evaluation and management of treated infections, and reviewing antibiotic resistance patterns in the facility to understand which infections are caused by resistant organisms. -All prescription for antibiotics shall specify the does, duration, and indication for use. -The facility uses the Center of Disease Control (CDC's) National Healthcare Safety Network (NHSN, is the nation's most widely used healthcare-associated infection tracking system) surveillance definition, McGreer criteria ,or other surveillance tool to define infection. -Monitoring during each monthly Medication Regimen Review when the resident has been prescribed or is taking an antibiotic or any antibiotic regimen as requested by the Quality Assessment and Assurance (QAA) committee. -The Licensed Practical Nurse (LPN) participates in the program through assessment of the resident and following protocols as established by the program. -Monitor response to antibiotics, and laboratory results when available, to determine if the antibiotic is still indicated or adjustment should be made. -All prescriptions for antibiotics shall specify the dose, duration and indication for use. -Clinical justification for the use of an antibiotic beyond the initial duration ordered such as a review of laboratory reports or cultures in order to determine if the antibiotic remains indicated or if adjustment to therapy should be made. 1. Review of Resident #17's admission Face sheet showed the resident had a history of UTI. Review of the resident's Annual Minimum Data Set (MDS - a federally mandated assessment instrument completed by facility staff for care planning) dated 6/3/24, showed he/she: -Was moderately cognitively impaired and had short term and long-term memory problems. -Received antibiotics during the look back assessment period. -His/Her diagnoses did not indicate the resident had a UTI in the last 30 days. Review of the resident's Physician Order Sheet dated 7/16/24 showed Nitrofurantoin Monohyd Macro (Macrobid, is an antibiotic used to treat or prevent a urinary tract infection,UTI), 100 milligrams (mg) capsule. Take one capsule by mouth every morning for treatment of candidiasis (yeast infection). (For long term use). Review of the resident's Medication Administration Record (MAR) dated 7/1/24 to 7/31/24 showed Macrobid 100 mg one cap to be give by mouth in morning, for Candidiasis, given daily as ordered. Review of the resident electronic medical record showed no current or past documentation of a Situation-Background-Assessment-Recommendation (SBAR, is technique provides a framework for communication between members of the health care team about a patient's condition) or McGreer Criteria (for Infection Surveillance Checklist) completed related to the resident's use of an antibiotic. During the facility Infection Control Surveillance review on 7/17/24 at 11:36 A.M. showed no documentation to demonstrate tracking of long-term antibiotic use for preventative measures for the resident. During an interview on 7/17/24 at 9:19 A.M., the Infection Control Preventionist (ICP) said: -The resident was on Macrobid antibiotic for long-term chronic UTI due to colonized bacteria in his/her body. -Review of the resident's physician order had the wrong diagnosis noted for use. -He/She does not review, record, or track monthly any residents on long-term antibiotics. During an interview on 7/17/24 at 10:00 A.M., Licensed Practical Nurse (LPN) D said: -The resident was on long-term antibiotics for colonized bacteria, prevent UTI's. -The charge nurse would review orders when placed in the resident's electronic medical record. -The nursing staff only document on the resident's Medication Admisnitstration Record (MAR) as given for long-term use of antibiotic. -The facility nursing staff does not complete monthly antibiotic review or reassessment for resident on long-term antibiotics. During an interview on 7/17/24 10:14 A.M., the Assistant Director of Nursing (ADON) said: -The resident was on a long-term antibiotic for UTI. -The facility nursing staff do not document antibiotic use for long-term usage. -Nursing staff only document antibiotic medication when given on the resident MAR. -If resident would get an UTI, then the physician would stop or hold the resident's Macrobid. At that time nursing staff would complete a new SBAR for the resident antibiotic use. -The physician would review the resident's Macrobid monthly during the medication review. -The facility does not track long-term antibiotic use. During an interview on 7/17/24 at 1:16 P.M., the ICP said: -For antibiotic surveillance, he/she runs a report from the facility electronic medical record and reviewed during the facility morning clinics for any residents on new antibiotics. -Any resident on any antibiotic or an infection were to be documented on the infection control spread sheet. -The facility nursing staff would complete an SBAR and McGreer prior to the resident's use of antibiotics. -The facility does not have a system in place to track or monitor long-term antibiotic use. -Residents on long-term antibiotics are on the report received but he/she does not include them as a new infection and does not monitor or track long-term use. During an interview on 7/18/24 at 9:51 A.M., the Director of Nursing (DON) said: -ICP would be responsible for Infection Control Surveillance and monitoring of the facility's antibiotic stewardship program. -ICP does not track long-term use of antibiotics as part of the Infection Control Surveillance program. -The facility Infection Control Surveillance only documents and tracks for any new antibiotic usage and new infections monthly. -The resident was on Macrobid when he/she was admitted to the facility for long-term preventative management UTI. He/she had colonized bacteria. -If the resident would get a new infection or UTI, then the facility would change the type of antibiotic and he/she would be included in the facility monthly Infection Control Surveillance and monitoring for antibiotics. -A diagnosis of fungal infection would not be an acceptable use for Macrobid. -He/she would expect the pharmacy monthly drug regimen review to ensure the correct use and diagnosis for all resident's medication. The ADON would be responsible for follow-up on pharmacy recommendations and physicians' response to the recommendation.
CONCERN (F)

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

Deficiency F0947 (Tag F0947)

Could have caused harm · This affected most or all residents

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to ensure Certified Nursing Assistants (CNAs) received 12 hours of in-...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to ensure Certified Nursing Assistants (CNAs) received 12 hours of in-service education (which was to include abuse, neglect, and dementia training) per year by not being able to produce documentation for five out of five CNAs employed with the facility for greater than 12 months reviewed and failed to monitor what education the CNAs had received. This had the potential to affect all residents within the facility. The facility census was 53 residents. Review of the facility's undated policy titled Continuing Education showed: -All levels of employees were expected to complete required trainings within the designated time frames. -It was the responsibility of each employee to complete the required training. -For training that was assigned as self-paced, the employee was responsible for completing the training by the deadline. Review of the facility's undated policy titled Required Training, Certification and Continuing Education of Nurse Aides showed: -The facility would provide at least 12 hours of in-service training annually, based on employment, not calendar date. -Documentation of in-services would be forwarded to the Human Resources (HR) Director and maintained in the employee's personnel file. -It was the responsibility of the employee to attend required in-service trainings to maintain employment status within the facility. -In-service training would be provided by qualified personnel and would be based on the needs of the residents in the facility and any areas of weakness determined in the nurse aide's performance reviews and facility assessment. -The minimum training included: --Effective communication. --Dementia (a progressive organic mental disorder characterized by chronic personality disintegration, confusion, disorientation, stupor, deterioration of intellectual capacity and function, and impairment of control of memory, judgement, and impulses) management and care of the cognitively impaired. --Abuse, neglect, and exploitation prevention. --Elements and goals of the facility's Quality Assurance and Performance Improvement (QAPI) program. --Resident rights and facility responsibilities. --Written standards, policies, and procedures for the facility's infection prevention and control program. --Requirements under the facility's compliance and ethics program. --Safety and emergency procedures. --Behavioral health (e.g., mental, psychosocial, or substance use disorders, a history of trauma, and/or Post Traumatic Stress Disorder (PTSD), or other behavioral health conditions). --Identification of changes in condition. --Cultural competency. Review of the Facility's Facility assessment dated [DATE] showed: -15% of the resident population had diagnoses of Alzheimer's Disease (a progressive mental deterioration that can occur in the middle or old age, due to generalized degermation of the brain) or related dementias. -Two percent of the resident population had been diagnoses of mental illness. -65% of the resident population had falls within the previous 12 months. -Three percent of the resident population received anti-psychotic (a type of psychiatric medication used for certain mental health problems) medication. -Nursing services included: --Activities of Daily Living (ADL) care. --Mobility and fall prevention. --Bowel and bladder needs. --Skin integrity management. --Mental health and behavior management. --Medication management. --Pain management. --Infection prevention and control. --Management of medical conditions. --Nutrition and hydration management. --Ostomy (an artificial opening in an organ of the body) care. --End of life care. 1. Review of an in-service training completed on 4/18/24 showed: -The in-service was related to communication with resident families and proper use of personal protective equipment (PPE). -CNA A and CNA G had attended the in-service training. -CNA E, CNA H, and CNA J had not attended the in-service training. Review of an in-service training completed on 5/9/24 showed had only been about medication pass/administration. None of the sampled CNA staff were documented as attending this in-service. Review of an in-service training completed on 6/13/24 showed: -The in-service was related to infection control and medication pass. -CNA A and CNA G had attended the in-service. -CNA E, CNA H, and CNA J had not attended the in-service training. During an interview on 7/15/24 at 9:21 A.M. the Administrator said: -The facility had been utilizing Relias (a provider of education and training within the workplace) for the monthly in-service education for all staff. -The company had filed for bankruptcy in December 2023. -Relias had let the facility continue to use their education services through March 2024 until they learned the facility had not been able to pay their bill from before the bankruptcy date. -Relias would not allow the facility access to the training records until the bill was paid. -He/She would work with the bankruptcy lawyer in order to attempt to gain access to the records. -After the facility was not able to access any Relias training, the facility started to do in person in-service training. Review of the Relias training report received 7/17/24 showed: -CNA A had completed 36 out of 43 of courses assigned to him/her from 1/1/23-12/31/23 but did not indicate which courses were completed. -CNA E had completed zero out of three courses assigned to him/her from 1/1/23-12/31/23. -CNA G was not shown on the report. -CNA H was not shown on the report. -CNA J was not shown on the report. During an interview on 7/17/24 at 10:35 A.M. CNA E said: -He/She could not name any of the in-services he/she received in the last year. -The facility had been using the Relias learning as the only way to educate staff until about March 2024. -He/She thought the Administrator was responsible for keeping the in-service records and ensuring the completion of the Relias training. -He/She was unsure of the number of in-service hours he/she needed annually. During an interview on 7/17/24 at 11:44 A.M. LPN C said: -The facility had been doing monthly in-service training. -The facility also had been using the Relias training for staff education. -He/She thought the HR Director was in-charge of keeping the in-service records. During an interview on 7/18/24 at 8:27 A.M. the Minimum Data Set (MDS- a federally mandated assessment instrument completed by facility staff for care planning) Coordinator said: -He/She was not responsible for providing any education to staff. -The facility had been using the Relias learning as the only way to educate staff. -When the DON started in February, he/she had started monthly in-service training. During an interview on 7/18/24 at 9:03 A.M. the Assistant Director of Nursing (ADON) said: -He/She thought the 12 hours of required in-services for CNAs had not been provided due to the bankruptcy in December 2023. -The facility had only been utilizing Relias for the monthly in-service training. -The department heads were responsible for ensuring completion of the assigned in-services. During an interview on 7/18/24 at 9:43 A.M. the Administrator said the department heads were responsible for ensuring the completion of in-service trainings.
Sept 2022 15 deficiencies
CONCERN (D)

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

Deficiency F0567 (Tag F0567)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to maintain authorization forms for three sampled residents (Residents...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to maintain authorization forms for three sampled residents (Residents #1, #9 and #27), whose funds were managed by facility personnel, and to place the resident funds for two sampled residents (Residents #1 and #9) in an interest bearing account, since the total of their accounts exceeded $50.00. This practice affected all three residents whose resident funds were managed by facility personnel. The facility census was 50 residents. 1. Record review of Resident #1's guardianship paperwork, showed he/she was originally appointed a guardian on 10/22/08 and then appointed a successor guardian on 12/31/20, and the absence of an authorization form signed by the public administrator. 2. Record review of Resident #9's guardianship paperwork, showed the resident was originally appointed a guardian on 5/31/11 and appointed a successor guardian on 12/31/20, and the absence of an authorization form signed by the public administrator. 3. Record review of Resident #27's paperwork showed the absence of an authorization form signed by the resident, since this residents did not have a legal guardian. 4. During an interview on 9/27/22 at 9:37 A.M., the Social Service Designee (SSD) said: -Resident #1 got $30.00 in personal spending allowance per month from Medicaid. -Resident #9 got $30.00 in personal spending allowance per month from Medicaid. -Both Residents #1 and #9 had a guardian from the local County Public Administrator's (PA's) Office. 5. Record review of Resident #1's resident fund spreadsheet showed: -The starting amount of the resident's trust fund on 1/21/21, was $241.82. -The most recent amount calculated on 6/8/22 was $451.16. 6. Record review of Resident #9's resident fund spreadsheet showed: -The starting amount of the resident's trust fund on 1/18/21, was $83.75. -The most recent amount calculated on 8/27/22 was $196.96. 7. During an interview on 9/27/22 at 9:39 A.M., the Resident Account Biller said he/she had been at the facility for five months and the resident funds had operated that way (without written authorizations and the money not being in a bank), before he/she got there. During an interview on 9/27/22 at 9:41 A.M., the SSD said: -He/she had worked at the facility for about two years. -The resident funds had operated that way (without written authorizations and the money not being in a bank) before he/she started employment at the facility. -He/she was under the impression that they (the Resident Account Biller and himself/herself) just kept the money in a safe and he/she purchased items that were needed by the residents. During an interview on 9/27/22 at 9:50 A.M., the Resident Account Biller and the SSD both said no one had gone over the state regulations regarding obtaining written authorizations and placing the resident's funds in an interest bearing account with them. During an interview on 9/28/22 at 8:49 A.M., SSD said: -There was a verbal conversation between the PA's office and him/her. -The conversation was about how the SSD would purchase things that the residents' needed. - The PA's office said to him/her that whatever was good for Residents #1 and #9 was what was acceptable. -The PA just wanted the residents to be taken care of and happy. - The PA knew the money came to the facility and the SSD would purchase incidental items. -They did not place the funds of Residents #1 and #9 in an interest bearing account. -They did not obtain written authorization to handle the resident funds from the PA's office. During an interview on 9/28/22 at 8:54 A.M., the Resident Account Biller said it was the lack of knowledge of state regulations as the reason why he/she had not placed the money in an interest bearing account for Residents #1 and #9. During a phone interview on 10/3/22 at 10:20 A.M., the local PA said: -He/she had been the PA since [DATE]. -His/her office paid the facility expenses for Residents #1 and #9 which included the personal spending allowance of $30.00 per month for the residents' personal needs. -He/she would not have any problems signing a written authorization for the facility to handle the resident's funds. -If the facility sent the authorization form to him/her, he/she would sign it and send it back. -He/she would look to see if there was a written authorization from his/her office to the facility. During a follow-up phone interview on 10/3/22 at 12:15 P.M., the local PA said: -He/she found no office paperwork for the authorization. -A written authorization would formalize the process that had occurred for a number of years.
CONCERN (D)

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

Comprehensive Assessments (Tag F0636)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to ensure a comprehensive Minimum Data Set (MDS-a federally mandated a...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to ensure a comprehensive Minimum Data Set (MDS-a federally mandated assessment instrument completed by facility staff for care planning) was completed and submitted timely for one sampled resident (Resident #1) out of 13 sampled residents. The facility census was 50 residents. Record review of the facility's policy titled Resident Assessments dated November 2019 showed comprehensive MDS assessment was to be conducted no less than once every 12 months. 1. Record review of Resident #1's Face Sheet showed he/she was admitted to the facility on [DATE]. Record review of the resident's Centers for Medicare and Medicaid (CMS) MDS database submissions showed: -A Comprehensive Significant Change MDS assessment with an Assessment Reference Date (ARD) of 4/30/21. -A Quarterly MDS assessment with an ARD of 7/6/21. -A Quarterly MDS assessment with an ARD of 10/5/21. -A Quarterly MDS assessment with an ARD of 1/27/22. -A Quarterly MDS assessment with an ARD of 4/29/22. --This assessment was required to be a comprehensive assessment. -NOTE: No Comprehensive MDS assessment had been completed for this resident since April 2021. Record review of the facility's electronic medical record showed The last comprehensive MDS assessment with an ARD date of 4/30/21, submitted was on 5/4/21. During an interview on 9/28/22 at 1:48 P.M., the MDS Coordinator said: -He/she manually entered when each resident's assessment was due on an electronic calendar. -He/she did not audit to see what was done or late because he/she didn't know how to do that. -He/She was new to the position and to his/her knowledge all MDS submissions were current when he/she took over the position. During an interview on 9/29/22 at 11:51 A.M., the Director of Nursing (DON) said: -The MDS Coordinator was responsible for submitting MDS's accurately and timely. -He/she did not believe the MDS Coordinator was aware there was a report that showed when each MDS was due. -He/she was aware the MDS Coordinator used a schedule that he/she made manually.
CONCERN (D)

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

Deficiency F0638 (Tag F0638)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to ensure the residents' Minimum Data Sets (MDS-a federally mandated a...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to ensure the residents' Minimum Data Sets (MDS-a federally mandated assessment instrument completed by facility staff for care planning) were submitted quarterly (at least every 92 days) for one sampled resident (Resident #1) out of 13 sampled residents. The facility census was 50 residents. Record review of the facility's policy titled Resident Assessments dated November 2019 showed: -A Quarterly MDS assessment was to be conducted no less than once every 3 months. -NOTE: The facility's policy did not address the time frame for submission. 1. Record review of Resident #1's Face Sheet showed he/she was admitted to the facility on [DATE]. Record review of the resident's Centers for Medicare and Medicaid (CMS) MDS database submissions showed: -A Quarterly MDS assessment with an ARD of 7/6/21 with a completion date (section Z0500b) of 8/16/21, 41 days after the ARD date. -A Quarterly MDS assessment with an ARD of 10/5/21 with a completion date (section Z0500b) of 10/26/21, 21 days after the ARD date. -A Quarterly MDS assessment with an Assessment Reference Date (ARD) of 4/29/22 with a completion date (section Z0500b) of 6/16/22, 48 days after the ARD date. Record review of the resident's electronic medical record showed A Quarterly MDS assessment with an ARD of 4/29/22 was completed and submitted 6/16/22, 48 days after the ARD date. During an interview on 9/28/22 at 1:48 P.M., the MDS Coordinator said: -He/she manually entered when each resident's assessment was due on an electronic calendar. -He/she did not audit to see what was done or late because he/she didn't know how to do that. -He/She was new to the position and to his/her knowledge all MDS submissions were current when he/she took over the position. During an interview on 9/29/22 at 11:51 A.M., the Director of Nursing (DON) said: -The MDS Coordinator was responsible for submitting MDS's accurately and timely. -He/she did not believe the MDS Coordinator was aware there was a report that showed when each MDS was due. -He/she was aware the MDS Coordinator used a schedule that he/she made manually.
CONCERN (D)

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

MDS Data Transmission (Tag F0640)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to transmit required Minimum Data Set (MDS-a federally mandated assess...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to transmit required Minimum Data Set (MDS-a federally mandated assessment instrument completed by facility staff for care planning) assessments within the regulatory time frame for one sampled resident (Resident #1) out of 13 sampled residents. The facility census was 50 residents. Record review of the Resident Assessment Instrument (RAI) Manual, dated 10/1/17 showed all MDS assessments must be submitted within 14 days of the Assessment Reference Date (ARD). 1. Record review of Resident #1's Face Sheet showed he/she was admitted to the facility on [DATE]. Record review of the resident's Centers for Medicare and Medicaid Services (CMS) MDS database submissions showed: -A Quarterly MDS assessment with an ARD of 7/6/21 was submitted 8/16/21, 41 days after the ARD date. -A Quarterly MDS assessment with an ARD of 10/5/21 was submitted 10/26/21, 21 days after the ARD date. -A Quarterly MDS assessment with an ARD of 4/29/22 was submitted 6/16/22, 48 days after the ARD date. Record review of the resident's electronic medical record showed a Quarterly MDS assessment with an ARD of 4/29/22 was completed and submitted 6/16/22, 48 days after the ARD date. During an interview on 9/28/22 at 1:48 P.M., the MDS Coordinator said: -He/she manually entered when each resident's assessment was due on an electronic calendar. -He/she did not audit to see what was done or late because he/she didn't know how to do that. -He/She was new to the position and to his/her knowledge all MDS submissions were current when he/she took over the position. During an interview on 9/29/22 at 11:51 A.M., the Director of Nursing (DON) said: -The MDS Coordinator was responsible for submitting MDS's accurately and timely. -He/she did not believe the MDS Coordinator was aware there was a report that showed when each MDS was due. -He/she was aware the MDS Coordinator used a schedule that he/she made manually.
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

Based on interview and record review, the facility failed to create a comprehensive care plan for a Continuous Positive Airway Pressure machine (CPAP - a machine that uses mild air pressure to keep br...

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Based on interview and record review, the facility failed to create a comprehensive care plan for a Continuous Positive Airway Pressure machine (CPAP - a machine that uses mild air pressure to keep breathing airways open while you sleep) for one sampled resident (Resident #42) out 13 sampled residents. The facility census was 50 residents. Record review of the facility policy and procedure Care Plans-Service Plans dated 8/5/15 showed: -A preliminary Care Plan/Service Plan shall be developed upon the resident's admission to the community to meet his/her immediate care needs based on the initial nursing admission assessment. The preliminary Care Plan/Service Plan shall be used only until the comprehensive Care Plan/Service Plan has been developed. -The comprehensive Care Plan/Service Plan is developed within 14 days of the resident's admission unless state regulations state differently. -In coordination with resident's legal representative, the interdisciplinary team develops and maintains the Care Plan/Service Plan. A group conference shall be scheduled at least on a quarterly basis and/or on the significant changes in the resident's condition. A dated signature sheet shall be completed and maintained to indicate family and interdisciplinary team participation. -Copies of the Care Plan/Service Plan shall be mailed to those families/legal representatives, only if they are unable to attend the scheduled conferences in person and shall be mailed to those family members/legal representatives residing out to state. The mailings must be tracked in order to prove they were done. A telephone conference call with the resident's legal representative shall also be scheduled if and when necessary. -of Life Enrichment, Director of Culinary Services and Executive Director -The Care Plans/Service Plans are revised/updated as necessary in conjunction with updates of the resident's Quality of Life Assessments (QLA). Reviews are conducted at least quarterly. 1. Record review of Resident #41's significant change Minimum Data Set (MDS- a federally mandated assessment instrument completed by facility staff for care planning) dated 8/31/22 showed the resident had a CPAP. Record review of the resident's physician orders showed the physician ordered CPAP starting 6/22/22 to be applied every night at bed time. Monitor through the night for proper placement. Remove CPAP in the morning. Record review of the resident's care plan dated 6/14/22 to present showed no care plan for CPAP machine. During an interview on 9/29/22 at 9:06 A.M., Certified Nursing Assistant (CNA) E said: -Resident care plan needs are on the computer. -He/she would expect a CPAP machine be in red as it is important to the resident. During an interview on 9/29/22 at 9:01 A.M., Licensed Practical Nurse (LPN) A said he/she was not sure how to get to the resident care plans. During an interview on 9/28/22 at 1:48 P.M., the MDS Coordinator said: -He/she does the care plans. -Any of the nurses or Director of Nursing (DON) can update the care plans. -Expectation is that CPAP machine should be in care plan. -The care plan should reflect resident accurately. During an interview on 9/29/22 at 11:50 A.M., the DON said: -It is the expectation that a CPAP machine be in resident's care plan.
CONCERN (D)

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

Incontinence Care (Tag F0690)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** 2. Record review of Resident #32's Face sheet he/she was admitted to the facility on [DATE] with diagnoses of urine retention an...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** 2. Record review of Resident #32's Face sheet he/she was admitted to the facility on [DATE] with diagnoses of urine retention and rectal cancer. Record review of the resident's Foley catheter care plan dated 8/20/22 showed: -The resident had a Foley catheter due to urinary retention. -His/her goal was for the resident to be free of infection during this 90 day review period. -Facility staff were to provide routine catheter care as needed with soap and water wipe away. -Monitor for signs and symptoms of infections and report to his/her physician. Record review of the resident's POS showed: -Had a physician order dated 8/20/22 for Foley catheter care, due to retention of urine. -Had order for his/her Foley catheter to be changed as needed, using a 16 French (Fr a measure of the outer diameter of a catheter ) tip. Record review of the resident's significant change MDS dated [DATE] showed: -The resident Brief Interview of Mental Status (BIMS) was 9 out 15, indicating he/she had moderate cognitive impairment. -He/she was able to make his/her needs known. -The resident had a Foley catheter in place at time admission. Observation and interview on 9/26/22 at 12:35 P.M., of the resident showed: -He/she was not aware of any current infections. -He/she had complaints of pain at catheter insertion site. -His/her catheter drainage bag was placed in a privacy bag located on the right side of the bed frame. -The catheter tubing had yellow, cloudy thick substance inside and no odors noted. Observation on 9/26/22 at 1:20 P.M., of the resident's catheter care/personal care showed: -CNA D and CNA B entered the resident's room and donned (put on) gloves without washing or sanitizing their hands. -The resident was transferred to his/her bed with a mechanical lift. -The CNA's had adjusted the resident in bed and then CNA B began catheter care. -CNA B and CNA D did not change their gloves or sanitize their hands prior to providing the resident's personal hygiene and catheter care. -The resident's catheter drainage bag was placed on the bed toward the foot of the bed. -The resident was assisted to his/her right side and CNA B continued personal care. -CNA B did not change his/her gloves before cleaning the resident's backside. -The resident's whole bottom was soiled with a brownish pudding-like bowel movement. -The resident had an open area on his/her buttock that was red and excoriated (irritated redden skin). -The resident complained of discomfort while CNA B was cleaning his/her bottom area. -CNA B did not change gloves throughout the whole task of providing personal and catheter care. -The mechanical sling was soiled and was rolled up underneath the resident to be removed. -With the same soiled gloves, CNA B placed a clean brief under the resident and then applied barrier cream (skin protective cream) to the resident's bottom area. -CNA B then removed soiled gloves and donned new gloves without washing or sanitizing his/her hands. -The resident was assisted to his/her back. -CNA B moved the catheter drainage bag to the left side of the bed frame below the bladder after care. -The resident was turned to his/her left side and CNA D removed the soiled sling and brief. -CNA B and CNA D did not provide additional cleaning of the resident's left side of his/her bottom area. -CNA B and CNA D repositioned the resident for comfort. -CNA B and CNA D then removed the soiled gloves and washed their hands with soap and water prior to leaving resident's room. During an interview on 9/26/22 at 1:20 P.M. CNA B said: -The resident had a treatment in place to be performed by nursing staff. -the CNA's would apply barrier cream (a protective cream for the skin) to the skin after care. Record review of the resident's nursing note dated 9/27/22 at 6:27 A.M. showed: -Nursing staff had replaced the resident's Foley drainage bag. -The bag had about 30 milliliters (ml) of dark urine, the nursing staff had obtained a urine specimen. -Urinalysis (UA) had been obtained due to the resident having cloudy yellow urine, nausea and vomiting. During an interview on 9/28/22 at 10:05 A.M., CNA B said: -He/she should have performed hand hygiene upon entering and exiting the resident's room, after each glove change and from a dirty to a clean process. -He/she should have removed his/her soiled gloves, performed hand hygiene and then donned new gloves before he/she started care of the resident back side, after he/she finished care, and before applying a clean brief. -He/she should not use the same soiled gloves to apply barrier cream to resident's bottom area. During an interview on 9/28/22 at 12:42 P.M., LPN C said: -The facility had provided a hand hygiene in-service last week. -He/she had helped provide the education to facility care staff and had gone over hand hygiene with all care staff multiple times. -Hand hygiene should be performed before and after patient care, and after gloves change. Observation on 9/28/22 at 1:20 P.M. of the resident while in bed showed: -The resident's catheter drainage bag had a new date of 9/27/22. -The urine in the drainage bag was a dark tea color. Observation on 9/29/22 at 10:17 A.M., of the resident while in bed showed: -The resident's urine in the catheter drainage bag was a dark tea color. During an interview on 9/29/22 at 10:20 A.M. CNA E said: -He/she would perform hand hygiene before and after patient care, and after each glove change. -The resident's catheter drainage bag should be kept below the bladder at all times and not be laid on top of the bed during cares. -He/she would place catheter drainage bag hook onto side of the bed frame and keep it below the bladder after the resident transferred to bed. During an interview on 9/29/22 at 10:26 A.M., CNA B said: -He/she would keep the catheter drainage bag lower than the resident's bladder during transfers. -The catheter drainage bag should not be placed on top of the resident bed during personal cares. -The resident's catheter drainage bag should be kept below the bladder at all times. -He/she would have secured the catheter drainage bag to the resident's bed frame and ensured it was not touching the floor. -He/she was not aware the resident's catheter drainage bag was laid on the resident's bed during care. During an interview on 9/29/22 10:27 A.M., LPN B said: -The resident's catheter drainage bag should not be put on the bed during cares. -The catheter drainage bag should be kept below bladder at all times. During an interview on 9/29/22 at 10:37 A.M., the Infection Preventionist (IP) said: -He/she would expect hand hygiene to be performed before entering and leaving a resident's room and from a dirty to clean process or when the gloves were soiled. During an interview on 9/29/22 11:50 A.M., the DON said: -He/she would expect hand hygiene to be performed before entering and leaving a resident's room and from a dirty to clean task or if his/her gloves were soiled. -He/she would expect staff to change gloves and perform hand hygiene after providing the resident's personal incontinence care and before applying barrier cream or starting a clean process. -When someone had gloves on and was getting ready to perform a task then touched self or other belongings, he/would expect staff to remove the gloves and re-perform hand hygiene and place new gloves on his/her hands. Based on observation, interview and record review, the facility failed to ensure the physician's order included the type of catheters (a flexible tube that a clinician passes through the urethra and into the bladder to drain urine) the resident used to self-catheterize, how the facility would monitor urine output from the resident's self-catheterization and check for signs and symptoms of infection; to adequately assess the resident's knowledge of the process for self-catheterization and hand hygiene through demonstration; to monitor and document urine output for one sampled resident (Resident #146); to ensure infection control practices in prevention of cross contamination during care by performing hand hygiene (is a term used to cover both hand washing using soap and water, and cleaning hands with waterless or alcohol-based hand sanitizers) before and after assisting a resident with a personal and catheter care; and to monitor placement of a catheter drainage bag during cares for one supplemental resident (Resident #32), who had a history of Urinary Tract Infection (UTI - an infection of one or more structures in the urinary system), out of 13 sampled residents The facility census was 50 residents. Record review of the facility's Foley Catheter Care policy and procedure dated April 2017, showed residents who have a Foley catheter and require assistance with emptying and/or routine catheter care shall require a physician's order for care. Removal or insertion of a Foley catheter will be managed by a third party provider. The policy showed the procedure for cleaning an indwelling catheter but not for a self-catheterization or intermittent catheterization that was not indwelling. 1. Record review of Resident #146's Face Sheet showed he/she was admitted on [DATE] with diagnoses including respiratory tuberculosis (a bacterial infection of the lungs that can cause symptoms such as chest pain, breathlessness and severe coughing), obesity, lack of coordination, kidney failure, and muscle weakness. Record review of the resident's Physician's Order Sheet (POS) dated 9/2022, showed: -A physician's order for Foley catheter care as needed. The order showed self- catheter. The start date of the order was 9/21/22. -The physician's orders did not show orders for the type of catheter tubes the resident used to self-catheterize, how the facility was monitoring the frequency of self-catheterization, assessment of the resident's ability to self-catheterize, how the facility was going to monitor the resident's self-catheterization to ensure adequate care, or monitoring his/her urine output. Record review of the resident's Minimum Data Set (MDS-a federally mandated assessment tool to be completed by facility staff for care planning), showed the resident's admission comprehensive assessment had not been completed yet. Record review of the resident's Treatment Administration Record (TAR) dated 9/2022, showed an order for a Foley catheter as needed starting 9/21/22 with notes showing self-catheter. The TAR showed there was no documentation of how the staff was monitoring the frequency of the resident's self-catheterization or monitoring of his/her urine output. Record review of the resident's Care Plan dated 9/21/22, showed the resident was at risk for infection due to self-catheterization. Interventions showed staff was to: -Implement infection control precautions per physician's orders. -Administer medications per physician's orders. -Observe for signs and symptoms of worsening infection and notify the physician if present. Record review of the resident's Nursing Notes showed: -On 9/21/22 the resident was alert and oriented and said he/she had to self-catheterize himself/herself three times daily and when I start dribbling that's when I know I need to do it. Per the resident, he/she was mostly continent of bowel and bladder. -On 9/22/22 the resident had not requested to self-catheterize thus far, had been continent of bowel and bladder and required assistance of two persons for activities of daily living (bathing, dressing, toileting mobilizing and eating). -NOTE: The notes did not show the nursing staff assessed the resident for his/her ability to self-catheterize or that they observed the resident self-catheterize and determined that he/she was able to complete self-catheterization correctly and use adequate infection control practices. Record review of the resident's Self-Administer of Medications Assessment and Informed Consent form dated 9/22/22, showed: -The assessment criteria was for self-administration of medications and showed eleven questions/tasks that required the assessor to observe to determine if the resident was able to independently complete each task, needed assistance to complete each task or was unable to complete each task. Each area was marked not applicable with no process related to self-catheterization documented on the form. -Comments showed performs hand hygiene, cleans peri area, maintains sterile technique during self-catheterization, performs hand hygiene and verbalizes signs and symptoms of urinary infection and when to report to the charge nurse. -Assessment outcome showed the resident was fully able to self-catheterize as needed. -Informed consent showed the resident would like to self-catheterize without reminders. -The form was signed by the Registered Nurse (RN) A and the resident and dated 9/22/22. -NOTE: The assessment did not show that the nurse observed the resident perform each task of self-catheterization and whether the resident completed each task independently, with assistance or was unable to complete the task. Record review of the resident's Nursing Notes showed: -On 9/23/22 the resident self-catheterized in his/her room. The note did not show whether nursing staff observed the resident at the time or whether the resident completed the process adequately using infection control practices to prevent contamination. -On 9/24/22 the resident continued to self-catheterize this shift. The note did not show whether staff observed or assessed the resident at the time or how much output the resident had. -On 9/25/22 the resident self-catheterized multiple times during the day for bladder emptying. The note did not show whether the staff monitored the frequency of self-catheterization or the resident's output. Observation and interview on 9/26/22 at 1:18 P.M., showed the resident was sitting in his/her recliner wearing oxygen. There was a long box sitting on his/her bed that showed there were self-catheter tubes that were individually wrapped inside of the box. The resident said: -He/she was able to control his/her bowel and bladder but he/she used the catheters when he/she felt dribbling. -He/she had been self-catheterizing at home for years prior to coming into the facility. -He/she had his/her family bring his/her catheters from home because he/she wanted to use the size he/she used at home. -The nursing staff tried to assist him/her when he/she first came to the facility, but he/she does it himself/herself. -Nursing staff had not observed him/her self-catheterize but they know he/she has been doing it. -He/she does not report to the nursing staff when he/she used the catheters, but if they asked he/he would tell them. -When he/she was admitted the nursing staff asked him/her how he/she self-catheterized and he/she told them and said he/she had always done it at home using his/her own supplies. During an interview on 9/29/22 at 9:44 A.M., RN A said: -The resident was self-catheterizing at home and when he/she was in the hospital before admitting to the facility. -Nursing staff have been in the resident's room while he/she had performed self-catheterizing, but the resident would not allow them to do it for him/her or demonstrate how he/she does it for them. -The documentation of their observation of the resident should be in the nursing notes. -They did not have an assessment for the resident's self-catheterization. -They should have gotten a physician's order for the resident to self-catheterize and it should be on the POS. -He/she did not know if the resident followed the correct procedure to self-catheterize. During an interview on 9/29/22 at 9:50 A.M., Licensed Practical Nurse (LPN) B said: -When the resident was admitted , they found out that he/she self-catheterized, so one of the nurses observed the resident during the process and observed that the resident used the correct procedure. -The nurse should have documented their observation in the nursing notes at that time because it was within the first few days after the resident was admitted . -The resident told them that he/she had been self-catheterizing at home. -The resident's family brought in the resident's catheter supplies (tubing). -The nurses were not monitoring the resident regarding when he/she self-catheterized or the amount of urine output he/she had. -He/she had never been instructed to monitor or record his/her output or the frequency of self-catheterization. During an interview on 9/29/22 at 11:47 A.M., RN A said: -He/she and another nurse completed the assessment on the resident's ability to self-catheterize. -During their assessment, they asked the resident about the self-catheterization process he/she used and he/she told them that he/she washed his hands before and after self-catheterization, and if he/she saw or felt any signs or symptoms of infection, he/she would report it to the nurse. -They did not watch the resident demonstrate how he/she performed the self-catheterization process. -No one to his/her knowledge had actually seen the resident demonstrate the self-catheterization procedure, but nursing staff had been in the resident's room while the resident was performing it. -The resident said he/she self-catheterized three times daily but they were not documenting each time it occurred. -They were not documenting how much fluid he/she voided during the process. During an interview on 9/29/22 at 11:50 A.M., the Director of Nursing (DON) said: -He/she thought the unit manager and charge nurse watched the resident perform the self- catheterization process on the day after he/she was admitted to ensure that he/she knew how to self-catheterize safely using correct infection control measures. -The nurses were supposed to watch the resident perform the task to make sure that he/she was doing it correctly and they were supposed to go over signs and symptoms of infection with the resident verbally to make sure he/she understood what the symptoms were to know what to report. -If the resident was able to report signs and symptoms, then his/her expectation was to just monitor the resident for signs and symptoms. -They also completed weekly skin assessments so they already check the resident's skin for any issues. -They had not been monitoring the resident's urine output when he/she self-catheterized, but they should start documenting it. -The reason they would monitor his/her urine output would be to see if he/she had any urinary retention. -There should be a physician's order to measure input/output because they monitor urine output on all residents who have catheters. -There should be a Foley catheter order with orders for the type of catheter the resident used. -(After looking in the resident's electronic record), he/she said the resident did not have an order that included the type of catheter the resident used or for input/output measurement.
CONCERN (D)

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

Respiratory Care (Tag F0695)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview and record review, the facility failed to ensure physician's orders for oxygen were obtained and...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview and record review, the facility failed to ensure physician's orders for oxygen were obtained and documented on the Physician's Order Sheet (POS) timely and upon admission for one sampled resident (Resident #146); and to ensure a nasal cannula and Bilevel Positive Airway Pressure machine (Bipap a non-invasive ventilation with two pressures settings, one for inhalation and one for exhalation, to assist with breathing) cannula and tubing were stored in a way to prevent cross contamination for one sampled resident (Resident #146) and one supplemental resident (Resident #145) out of 13 sampled residents and 5 supplemental residents. The facility census was 50 residents. Record review of the facility's Oxygen policy and procedure dated 3/2008, showed there was no procedure showing how oxygen equipment (nasal cannulas, face masks tubing) was to be stored when not in use. There was no documentation showing the physician's orders needed to be obtained prior to or upon administering any oxygen or breathing treatments. 1. Record review of Resident #146's Face Sheet showed he/she was admitted on [DATE] with diagnoses including respiratory tuberculosis (a bacterial infection of the lungs that can cause symptoms such as chest pain, breathlessness and severe coughing), obesity, lack of coordination, kidney failure (one or both kidneys can no longer function well on their own), and muscle weakness. Record review of the resident's Minimum Data Set (MDS-a federally mandated assessment tool to be completed by facility staff for care planning), showed the resident's admission comprehensive assessment had not been completed yet. Record review of the resident's admission Nursing Note dated 9/21/22, showed the resident was admitted on oxygen at 2 liters per minute. Record review of the resident's POS upon admission, showed there were no physician's orders for oxygen upon admission. Record review of the resident's Care Plan dated 9/21/22, showed the resident was at risk for respiratory distress and required oxygen. Interventions showed staff would: -Monitor and report signs and symptoms of color, respiratory rate, depth, effort, rhythm, and report any significant changes in lung sounds. -Check oxygen saturation levels every shift and as needed. -Change oxygen equipment weekly and clean the oxygen filter weekly. -Encourage fluids to decrease secretions. -Encourage task segmentation or rest periods as needed. -Increase activity as tolerated to facilitate diaphragm excursion (movement of the diaphragm during breathing). -Instruct the resident on coughing and deep breathing exercises. -Elevate the head of his/her bed to assist air exchange as indicated. Record review of the resident's History and Physical (H&P) dated 9/23/22 showed the resident was not receiving oxygen. Record review of the resident's POS dated 9/1/22 to 9/30/22 showed the following physician's orders: -Oxygen as needed starting 9/26/22, citrate as needed to keep oxygen saturation levels above 90 percent, discontinued 9/26/22. -Oxygen tubing, humidifier and bag change every week on Friday when in use, starting 9/30/22. -Oxygen Concentrator, clean concentrator filter every two weeks on Friday when in use starting 9/30/22. Observation and interview on 9/28/22 at 8:54 A.M., showed the resident was sitting in his/her recliner dressed for the weather wearing his/her oxygen nasal cannula. There was a small portable oxygen device sitting on top of his/her vanity. The tubing and nasal cannula were draped across the top of the machine and were not covered. There was no bag available to put the nasal cannula in. The resident said: -He/she had portable oxygen that he/she used when he/she was outside of his/her room, but staff did not give him/her a bag to put the nasal cannula and tubing in. -He/she had a storage bag for the tubing from his/her oxygen concentrator. Observation on 9/28/22 at 10:26 A.M., the resident was sitting in his/her recliner wearing his/her nasal cannula. The resident's portable oxygen machine was still sitting on top of the vanity. The oxygen tubing and nasal cannula were still draped across the machine and were uncovered. 2. Record review of Resident #145's Face Sheet showed he/she was admitted on [DATE] with diagnoses including leg fracture, heart failure, muscle weakness, pain, sleep apnea (a breathing disorder where breathing stops and starts periodically during sleep) and high blood pressure. Record review of the resident's POS dated 9/2022, did not show treatment orders for the resident's bipap machine at night for sleep apnea. Record review of the resident's MDS showed the resident's admission comprehensive assessment had not been completed yet. Observation and interview on 9/26/22 at 12:36 P.M., showed the resident was in his/her room in bed but was dressed for the weather. There was a bipap machine sitting on the night stand beside his/her bed and the nasal pads and tubing were uncovered and laying next to the bipap machine. There was no storage bag visible for the nasal pads and tubing. The resident said he/she used his/her bipap machine and oxygen only at night. Observation on 9/27/22 at 9:50 A.M., showed the resident was laying down in his/her bed. He/she was not wearing his/her oxygen or bipap cannula. His/Her bipap machine was sitting on his/her night stand and the cannula and oxygen tubing was laying on his/her bed above his/her head uncovered. Observation and interview on 9/28/22 at 9:15 A.M., showed the resident was laying in his/her bed and was not wearing his/her bipap. The bipap machine was sitting on the night stand next to his/her bed and the cannula was draped across the machine uncovered. The resident said: -He/She had a case for his/her bipap machine, but he/she did not store it in the case daily. -He/She did not have a bag to store the cannula and tubing in daily, he/she just draped the tubing and cannula over the machine when he/she was not using it. -Staff had not provided a bag to put the tubing and cannula in during the day. 3. During an interview on 9/28/22 at 10:40 A.M., Certified Nursing Assistant (CNA) B said: -They were supposed to check all residents who have oxygen, nebulizers and breathing treatment machines daily to make sure they all had a bag for storage of their nasal cannulas, facemasks, oxygen tubing and equipment. -If they removed their nasal cannula/facemask, they were supposed to store them in the plastic bag to prevent contamination. -Some residents would remove their nasal cannula/face mask themselves, but the nursing staff was supposed to monitor each time they entered the resident's room to ensure the equipment was stored in the bags when not in use. -The nursing staff usually changed out nasal cannulas/facemasks/tubing weekly. During an interview on 9/29/22 at 10:01 A.M., Licensed Practical Nurse (LPN) A said: -The oxygen supplies were supposed to be stored in bags when not in use. -The facility provided the plastic bags and they were supposed to be changed weekly. -If the CNA was assisting the resident, they should put the oxygen supplies in the storage bag for the resident when not in use. -The nurse would also check to ensure the storage bags were available to the resident and the oxygen supplies were being stored in them when not in use. -There should be a physician's order for oxygen if the resident used oxygen and there should be an order for a bipap machine if the resident used a bipap machine. -The oxygen order should show the resident was to receive oxygen and show the amount and frequency; monitoring of the resident's oxygen and when the oxygen supplies were to be changed. -The bipap order should show the frequency of use and monitoring of the bipap and when the cannula should be changed. -The unit manager was responsible for ensuring the order was on the POS and on the treatment document. During an interview on 9/29/22 at 11:50 A.M., the Director of Nursing (DON) said: -He/She would expect oxygen orders and bipap orders to be on the POS upon admission if the resident was using oxygen upon admission. -All oxygen supplies (nasal cannulas, oxygen tubing, face masks) should be stored in a bag if not in use. -All staff were responsible for ensuring there were bags available to place oxygen supplies in and they were all supposed to monitor to ensure the supplies were stored properly in the plastic bag.
CONCERN (D)

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

Unnecessary Medications (Tag F0759)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, and record review, the facility failed to ensure a medication error rate of less than 5 percent...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, and record review, the facility failed to ensure a medication error rate of less than 5 percent (%). Out of 29 observed medication opportunities, two errors occurred during insulin (Insulin is a hormone that lowers the level of glucose (a type of sugar) in the blood) administration resulting in an error rate of 6.9% for two sampled residents (Resident # 16 and Resident #41). The facility census was 50 residents. Record review of the facility's Insulin Injection Policy dated 6/2017 showed no mention of proper procedure for using insulin pens. 1. Record review of Resident #16's face sheet showed he/she admitted to the facility on [DATE] with the following diagnosis of Type II Diabetes Mellitus (DMII-a complex disorder of carbohydrate, fat, and protein metabolism that is primarily a result of a deficiency or complete lack of insulin secretion in the pancreas or resistance to insulin). Record review of the resident's Physician Order Sheet (POS) dated September 2022 showed Novolin (short acting insulin) injection solution 100 units/milliliters (ml) vial. Administer two units with meals three times a day. Observation on 9/27/22 at 11:32 A.M. showed Licensed Practical Nurse (LPN) C: -Gave the resident insulin via a pen. -Did not prime the insulin pen prior to giving the resident the insulin. 2. Record review of Resident #41's face she showed he/she admitted to the facility on [DATE] with the diagnosis of Type II DM. Record review of the resident's POS dated September 2022 showed Humalog (short acting insulin) Kwik Pen 100 units/ml. Administer 12 units four times a day at meals and at bedtime. Observation on 9/27/22 at 11:39 A.M. showed LPN C did not prime the insulin pen prior to giving the resident the insulin. 3. During an interview on 9/27/22 at 11:50 A.M. LPN C said: -The facility only used insulin pens. -He/she would not prime the insulin pen before giving insulin. During an interview on 9/29/22 at 11:50 A.M. the Director of Nursing (DON) said he/She expected nursing staff to prime the insulin pen prior to giving insulin to residents.
CONCERN (E)

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

Safe Environment (Tag F0584)

Could have caused harm · This affected multiple residents

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview and record review, the facility failed to maintain a clean mattress for one sampled resident (Re...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview and record review, the facility failed to maintain a clean mattress for one sampled resident (Resident #32); to maintain the fans in the beauty shop free of a heavy dust buildup; to maintain a fan in resident room [ROOM NUMBER] free of a dust buildup; to maintain the floors in resident rooms 301, 306, 308, 310, 312, 317, 316 and 321, free from debris buildup and dust; to maintain the commode seat in resident room [ROOM NUMBER] in an easily cleanable condition; to maintain commode risers (an extender to an existing toilet, under or over the lid, that lifts the seat height to a more comfortable level for residents who may be disabled) in resident rooms [ROOM NUMBERS]; to maintain a stand-up lift free from a crack in the base of that lift, and to clean debris from that lift. This practice potentially affected at least 20 residents. The facility census was 50 residents. 1. Record review of Resident #32's Significant Change Minimum Data Set (MDS-a federally mandated assessment tool completed by facility staff for care planning) dated 9/12/22 showed he/she was moderately cognitively impaired. Observation on 9/26/22 at 12:35 P.M., showed the resident's mattress had a white substance on it and not clean. During an interview on 9/26/22 at 12:35 P.M., the resident said he/she had a wound on his/her bottom area that the facility was treating and it gets on the linens. Observation on 9/28/22 at 9:33 A.M., showed the resident's mattress had a white looking powdery substance on it. During an interview on 9/28/22 at 9:36 A.M., Registered Nurse (RN) A said nursing staff should clean the mattresses daily, once the resident was out of his/her bed. 2. Observation on 9/27/22 at 11:29 A.M. with the Maintenance Director and Maintenance Assistant A showed two fans in the beauty shop room with a heavy buildup of dust. During an interview on 9/27/22 at 11:31 A.M., Maintenance Assistant A said the beautician was supposed to clean his/her equipment in his/her shop and he/she did not let housekeeping clean the fans in the beauty shop. During an interview on 9/28/22 at 9:15 A.M., the Housekeeping Supervisor said he/she was not sure about the procedures for cleaning the fans in the beauty shop because the beautician does the cleaning of the equipment in that room. 3. Observation on 9/27/22 at 12:35 P.M., with the Maintenance Director and Maintenance Assistant A showed a fan with a heavy buildup of dust in resident room [ROOM NUMBER]. During an interview on 9/28/22 at 9:15 A.M., the Housekeeping Supervisor said the housekeepers can submit a ticket to notify the maintenance department to clean the fans in resident rooms because the housekeepers did not have the tools to clean the fans. 4. Observations on 9/27/22 with the Maintenance Director and Maintenance Assistant A , showed: - At 11:34 A.M., there were food particles behind the bed in resident room [ROOM NUMBER]. - At 11:56 A.M., there was a buildup of dust and debris behind the bed in resident room [ROOM NUMBER]. - At 12:01 P.M., there was a buildup of dust and debris behind the bed in resident room [ROOM NUMBER]. - At 12:14 P.M., there was a buildup of dust and debris behind the bed in resident room [ROOM NUMBER]. - At 12:16 P.M., there was a buildup of dust and debris behind the bed in resident room [ROOM NUMBER]. - At 12:27 P.M., there was a buildup of dust and debris behind the recliner in resident room [ROOM NUMBER]. - At 12:36 P.M., there was a buildup of dust and debris under the bed in resident room [ROOM NUMBER]. - At 12:39 P.M., there was a buildup of dust and debris under the bed in resident room [ROOM NUMBER]. During an interview on 9/27/22 at 11:59 A.M., Housekeeper A said: - The housekeepers were not always able to get under the bed to clean those areas because some residents store items under the bed. - On his/her side of the facility there was just one housekeeper at times and with one housekeeper, they were not always able to get to all the areas that are needed to be cleaned. - In resident room [ROOM NUMBER], he/she had a difficult time in trying to move the bed because of the position of the recliner, which the resident in that room, used frequently. During an interview on 9/28/22 at 9:16 A.M., the Housekeeping Supervisor said he/she expected his/her staff to get behind recliners and beds a couple of times per week. 5. Observation on 9/27/22 at 11:54 A.M. with the Maintenance Director and Maintenance Assistant A, showed a commode seat in resident room [ROOM NUMBER] with damage to the clear covering of the commode seat, which caused the seat to not be easily cleanable. During an interview on 9/27/22 at 11:55 A.M., the Maintenance Director said he/she was not aware of the damage to that commode seat. 6. Observation on 9/27/22 at 12:03 P.M. with the Maintenance Director and Maintenance Assistant A, showed a commode riser with a brown colored substance in resident room [ROOM NUMBER]. During an interview on 9/27/22 at 12:04 P.M., the Maintenance Director said he/she was not sure what the substance was but agreed it needed to be cleaned. 7. Observation on 9/27/22 at 12:25 P.M. with the Maintenance Director and Maintenance Assistant A, showed a three inch area of rust on a commode riser in resident room [ROOM NUMBER]. 8. Observation on 9/27/22 at 12:37 P.M. showed a stand-up lift in the lift storage room with a two in. crack and a buildup of debris on the base of the lift. Observation on 9/28/22 at 9:19 showed Certified Nursing Assistant (CNA) A and CNA F brought the stand-up lift with the crack in the base and the debris on the base, back into the lift storage room. During an interview on 9/28/22 at 9:29 A.M., CNA A said the following in regards to what he/she checked for in a stand-up lift prior to using it: -He/she wanted to make sure the battery was charged. -He/she made sure nothing was broken. -He/she did not notice the two in. crack in the base of the lift before he/she used it earlier that day. -The CNA's should clean the base of the lift 2-3 times per week. -He/she would let the maintenance department know about the lift. During an interview on 9/28/22 at 11:02 A.M., CNA F, said - He/she did not notice that the lift was cracked that morning. -He/she did not notice the dust and debris and on the base of the stand-up lift. -He/she said that damage to the lift was absolutely something that the CNA's should be checking for. During a phone interview on 10/4/22 at 12:08 P.M., the Director of Nursing (DON) said: -The CNA's needed to look at the lift every time before they used it. -If they visibly see something wrong with it, they should not use the lifts. -The night shift staff, should clean the lifts. Record review of the facility's undated cleaning schedule showed: -Each night the CNA's must initial with the date on the calendar after they had completed the list below. --The wheelchair cleaning list. --Weekly: respiratory equipment. --Monthly: replace toothbrushes and denture cups. --Nightly: Clean and sanitize Hoyer and stand-up lift.
CONCERN (E)

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

Abuse Prevention Policies (Tag F0607)

Could have caused harm · This affected multiple residents

Based on interview and record review, the facility failed to ensure all employees were screened through the Nurse Aide Registry as part of the facility screening for Employee Disqualification and Crim...

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Based on interview and record review, the facility failed to ensure all employees were screened through the Nurse Aide Registry as part of the facility screening for Employee Disqualification and Criminal Background Check procedure upon hiring new employees for three of 10 sampled employee records. The facility census was 50 residents. Record review of the Facility's Abuse and Neglect policy and procedure dated May 2017, showed the facility would not knowingly employ any individual convicted of resident abuse, neglect, or misappropriation of property. The community would not knowingly employ any direct care staff convicted of any of the crimes listed in the state criminal history of nurse aides or any other unlicensed employees or with a finding of abuse listed on the Nurse Aide Registry or criminal background check. 1. Record review of 10 sampled employee personnel files for the purpose of completing the criminal background check and employee disqualification listing portion of the survey process on 9/27/22, showed the following employee records did not include the Nurse Aide Registry check as part of the employee background screening: -Respiratory Therapist A was hired on 5/12/22 and was still a current employee. -Dietary Aide A was hired on 7/21/22 and was still a current employee. -Housekeeping Aide B was hired on 5/5/22 and was still a current employee. During an interview on 9/27/22 at 2:54 P.M., the Business Office Manager said: -They probably would not have a Nurse Aide Registry check on these employees. -He/she did not know that the Nurse Aide Registry check was supposed to be completed on all staff hired. -The Nurse Aide Registry check was only completed on nursing staff.
CONCERN (E)

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

Drug Regimen Review (Tag F0756)

Could have caused harm · This affected multiple residents

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to ensure resident monthly pharmacy drug regimen review recommendation...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to ensure resident monthly pharmacy drug regimen review recommendations were reviewed and acted upon by the physician for three sampled residents (Resident #1, #5, and #15) out of 13 sampled residents. The facility census was 50 residents. Record review of the facility's policy Medication Regimen Reviews dated May 2019 showed: -The consulting pharmacist was to perform a Medication Regimen Review (MMR) for every resident in the facility receiving medication upon admission and at least monthly thereafter. -The pharmacist was to provide a written, signed, and dated copy of all medication regimen reports, including recommendations, to the Director of Nursing (DON) and Medical Director within 24 hours of the MMR. -The physician was required to document that the irregularity had been reviewed and what, if any, action was taken. -The facility was to maintain copies of the MMR reports, including the physician's response, as part of each resident's permanent medical record. 1. Record review of Resident #1's Face Sheet showed he/she was admitted on [DATE] with a diagnosis of Type 2 Diabetes Mellitus (a long-term medical condition in which your body doesn't use insulin properly, resulting in unusual blood sugar levels). Record review of the resident's Note to Attending Physician/Prescriber completed by the pharmacists showed: -On 4/14/22, the pharmacist recommended discontinuing sliding scale insulin (the increasing administration of the pre-meal insulin dose based on the blood sugar level before the meal) due to potential for worsening glucose control and adding a basal insulin (a longer acting form of insulin to keep blood glucose levels stable through periods of fasting); physician marked no change without rationale. -On 6/21/22, the pharmacist recommended discontinuing the resident's monthly blood glucose (a laboratory test that shows the amount of glucose in the blood at the time of the blood collection) with no response from the physician. -On 6/21/22, the pharmacist recommended discontinuing sliding scale insulin due to potential for worsening glucose control and adding a basal insulin with no response from the physician. -No documentation in the resident's medical record of MMRs for the following months: September 2021 - March 2022, May 2022, and July 2022 Record review of the resident's Physician Order Sheet (POS) dated September 2022 showed: -An order for Novolog (a fast acting insulin) to be given according to a sliding scale ordered 5/6/21 with no discontinuation date. -An order for Lantus (a basal insulin as recommended by the pharmacist) ordered 9/9/22. --This order was written five months after the pharmacists recommendation on 4/14/22. 2. Record review of Resident #5's Face Sheet showed he/she was admitted on [DATE] with the following diagnoses: -Unspecified Dementia with Behavioral Disturbances (a chronic or persistent disorder of the mental processes caused by brain disease or injury and marked by memory disorders, personality changes, and impaired reasoning). -Generalized Anxiety Disorder (a disorder characterized by excessive or unrealistic anxiety [feeling of worry, nervousness, or unease, typically about an imminent event or something with an uncertain outcome] about two or more aspects of life, often accompanied by symptoms such as palpitations, shortness of breath, or dizziness). -Altered Mental Status (a disruption in how your brain works that causes a change in behavior). Record review of the resident's Nursing Recommendations completed by the pharmacist showed: -A MMR for the month of June 2022 had a recommendation for a bi-yearly assessment for tardive dyskinesia (repetitive, involuntary movements, such as grimacing and eye blinking caused by long-term use of psychotropic drugs, which are used to treat psychiatric conditions). -A MMR for the month of August 2022 with no recommendations. -No documentation in the resident's medical record of MMRs for the following months: September 2021 - May 2022, and July 2022. 3. Record review of Resident #15's Face Sheet showed he/she was admitted on [DATE] with the following diagnoses: -Alzheimer's disease (progressive mental deterioration that can occur in middle or old age, due to generalized degeneration of the brain. It is the most common cause of premature senility). -Dementia. -Anxiety disorder. -Pneumonia (lung inflammation caused by bacterial or viral infection, in which the air sacs fill with pus and may become solid). Record review of the resident's Nursing Recommendations completed by the pharmacist showed: -On 6/21/22, the pharmacist requested the resident's Albuterol Sulfate (a bronchodilator used to treat or prevent bronchospasm in people with reversible obstructive airway disease) order be updated to include frequency of administration. -On 6/21/22, the pharmacist requested the resident's Venlafaxine (a drug used to treat depression and certain anxiety disorders) diagnosis be changed from Alzheimer's disease to depression with anxiety. Record review of the facility's Consultant Pharmacist's Medication Regimen Review Active Recommendations Lacking a Final Response, dated 8/25/22 showed: -The pharmacist had recommended a gradual dose reduction be attempted, according to federal guidelines, for the resident's Venlafaxine, and had not received a response. -No documentation in the resident's medical record of MMRs for the following months: April 2022, May 2022, and July 2022 Record review of the resident's POS dated August 2022 showed: -Venlafaxine 150 milligrams (mg) daily ordered 4/14/22 with a diagnosis of Alzheimer's Disease was discontinued 8/4/22. -Venlafaxine 150 mg daily for anxiety dated. 8/5/22. -Albuterol Sulfate 90 micrograms (mcg) was ordered 4/14/22 with instructions to give as needed with no frequency, was discontinued 8/5/22. -Albuterol Sulfate 90 mcg every four hours as needed for Pneumonia dated 8/5/22. 4. During an interview on 9/29/22 at 9:12 A.M., Licensed Practical Nurse (LPN) A said: -The pharmacy faxed all recommendations to the facility. -The nurses were responsible for putting the recommendations in the physician's folder for the physician to review at their next visit. -He/she was unsure who was responsible for ensuring the recommendations were reviewed by the physician and completed. During an interview on 9/29/22 at 9:17 A.M., LPN B said: -He/she did not know anything about the MMR process. -He/she thought that the Director of Nursing (DON) took care of it. During an interview on 9/29/22 at 11:51 A.M., the DON said: -He/she and the Infection Control Preventionist (ICP) received the pharmacist's monthly report via email. -Once the report was received, he/she or the ICP sent the reports to the physician for review. -He/she admitted there had been no process for ensuring these recommendations were completed prior to the annual survey.
CONCERN (E)

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

Deficiency F0813 (Tag F0813)

Could have caused harm · This affected multiple residents

Based on observation, interview, and record review, the facility failed to ensure that food items were labeled with a name and date when they were placed in to the resident food storage refrigerator, ...

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Based on observation, interview, and record review, the facility failed to ensure that food items were labeled with a name and date when they were placed in to the resident food storage refrigerator, so the facility could follow the policy about discarding foods that needed to be discarded within 72 hours. This practice potentially affected two to three residents who had food items that were stored in that refrigerator. The facility census was 50 residents. Record review of the facility's policy entitled Foods brought by Family/Visitors revised 10/17, showed: -Food brought to the facility by visitors and family was permitted. Facility staff would strive to balance resident choice and a homelike environment with the nutritional and safety needs of residents. -Family members and visitors were requested to inform nursing staff of their desire to bring foods into the facility. -Food brought by family/visitors that was left with the resident to consume later would be labeled and stored in a manner that was clearly distinguishable from facility prepared food. -Foods that must be kept under refrigeration must be labeled with the resident's name, room number and date. Those food items would be stored in the nurse's refrigerator. Foods would be discarded after 72 hours. use by date. 1. Observation on 9/26/22 at 4:19 P.M., with the Dietary Manager (DM) showed: -One frozen treat without a name or date. -Two bottles of juice without a date they were received. -Nine bottles of supplement without a date they were received. -Four containers of balanced nutritional drink without a date received. During an interview on 9/26/22 at 4:22 P.M., the DM said: -He/she expected facility staff to place a date on the items when they received those items to place in the refrigerator. -There were two or three residents who have people bring them items from the outside. During an interview on 9/28/22 at 10:09 A.M., the DM said the dietary department employees have been informed about placing a date on the items that are received but he/she was not sure about employees from other departments.
CONCERN (E)

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

Infection Control (Tag F0880)

Could have caused harm · This affected multiple residents

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** 5. Record review of Resident #18's Quarterly MDS dated [DATE] showed: -Had a diagnosis of Congestive Heart Failure (CHF A weaken...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** 5. Record review of Resident #18's Quarterly MDS dated [DATE] showed: -Had a diagnosis of Congestive Heart Failure (CHF A weakened heart condition that causes fluid buildup in the feet, arms, lungs, and other organs) and was on Hospice services (is a special way of caring for people who are terminally ill). -The resident was cognitively intact and his/her Brief Interview for Mental Status (BIMS) score was of 13 out 15. -Required extensive assistant with transfer of one staff person. Observation on 9/27/22 at 9:25 A.M., of the resident's transfer showed: -Certified Nursing Assistant (CNA) A and CNA C entered the resident's room to assist with a gait belt transfer. -CNA A and CNA C did not sanitize or wash their hands upon entering the resident's room. -CNA A and CNA C placed a gait belt around the resident and, with a CNA on each side of the resident, had hold of gait belt and under the resident's arms. -The resident stood up and pivoted to his/her recliner chair. -CNA A and CNA C obtained the resident's blanket from the bed to cover the resident and then handed the call light to the resident. -CNA A and CNA C left the resident's room and did not wash or sanitize their hands after assisting the resident or touching the resident personal items. -The CNAs went into another resident's room after. During an interview on 9/28/22 at 10:05 A.M., CNA B said he/she should perform hand hygiene upon entering and exiting the resident's room, after each glove change, and from a dirty to a clean process. 6. During an interview on 9/28/22 at 12:33 P.M. CNA E said: -The facility has online training in regard to hand hygiene that the staff are assigned. -He/she gave some examples of when to perform hand hygiene including: --Before and after resident care. --In between dirty to clean tasks. --When going to and from different resident rooms. --Any time before and after gloves are worn. During an interview on 9/28/22 at 12:38 P.M. LPN A said: -He/she was new to the facility and was not sure if there had been recent training on hand hygiene. -He/she gave some examples of when to perform hand hygiene including: --In between each tray when handing out resident meal trays. --Before and after resident care. --When going to and from different resident rooms. --When there is any contact with bodily fluids. During an interview on 9/28/22 at 12:42 P.M., LPN C said: -The facility had provided hand hygiene in-service training last week. -He/she had helped in providing the training to facility care staff and had gone over hand hygiene with all care staff multiple times. -Hand hygiene should be performed before and after patient care and after gloves change. During an interview on 9/29/22 at 10:20 A.M., CNA E said he/she would perform hand hygiene before and after patient care and after each glove change. During an interview on 9/29/22 at 10:37 A.M., the Infection Control Preventionist (ICP) said: -He/she would expect hand hygiene to be performed before entering and leaving a resident's room and from a dirty to clean process or when the gloves were soiled. -He/she would place a barrier down on a clean surface before putting a glucometer on any surface. -He/she would expect staff to perform hand hygiene between getting supplies and going into a resident room. -He/she would expect hand hygiene to be performed again if a staff person had gloves on and touched unclean surfaces. -He/she would expect staff to perform hand hygiene when entering and leaving a resident room. During an interview on 09/29/22 11:50 A.M., the DON said: -He/She would expect hand hygiene to be performed before entering and leaving a residents room and from a dirty to clean task or if his/her gloves were soiled. -Would expect change gloves and hand hygiene after provided the resident's personal incontinent care and before applying barrier cream or starting clean process. -When someone is getting ready to perform a task then touches self or other belongings, he/would expect care staff to removed gloves and re-perform hand hygiene and place new gloves on his/her hands. -He/She expected staff to perform hand hygiene when: --Going from a dirty to clean task. --When a staff member with gloves touches an unclean surface. --When entering and exiting a resident room. Based on observation, interview, and record review, the facility failed to maintain infection control practices during blood glucose monitoring, including handwashing and glove changing and glucometer sanitation for one sampled resident (Resident #41) and one supplemental resident (Resident #16); failed to perform handwashing and glove changing before and after assisting a resident with a transfer for one supplemental sampled resident (Resident #18); and failed to perform hand hygiene upon entering a resident's room to perform blood pressure monitoring and before exiting the resident's room for one sampled resident (Resident #146) out of 13 sampled residents and four supplemental residents. The facility census of 50 residents. Record review of facility Blood Glucose Monitoring Policy and Procedure, dated 06/28/2017, showed: -Routine Procedure for Performing Finger Stick Blood Glucose. -Collect items needed to perform procedure, including gloves, alcohol wipes, blood glucose meter, lancet, blood glucose meter testing strip, gauze and sharps container. -Take items to the resident's room or to a designated procedure area. This procedure should not be done in common-use areas such as an activity room or a dining room. Do not carry supplies in pockets. -Perform procedure on a solid surface that can be disinfected or place a disposable cover on the surface to provide a barrier in the event of a blood contamination. -Perform hand hygiene by washing hands with soap and water or using an alcohol-based hand sanitizer. -Put on gloves and perform finger stick using a single-use lancet. Immediately discard the used lancet in an approved sharps container. Insert test strip into blood glucose meter. -When wearing gloves, before touching clean surfaces, change gloves that have touched objects or surfaces potentially contaminated with blood. -While continuing to wear gloves, complete the testing procedure by removing the test strip from the blood glucose meter and discarding it in a regular trash receptacle or sharps container. -Remove gloves and place them in trash receptacle. -Perform hand hygiene by washing hands with soap and water or using an alcohol-based hand sanitizer. -Ensure the blood glucose meter is cleaned and disinfected after use according to manufacturer's recommendations and stored appropriately (i.e. in a storage case, labeled with the resident's name if dedicated for individual use). -If at any time during the procedure, hands or any other body surface become contaminated with blood or body fluids, remove gloves and wash affected area(s) immediately and thoroughly with soap and water. -If the procedure surface becomes contaminated, absorb flood/body fluids with a paper towel and disinfect the surface with an EPA-registered disinfectant. Always put on gloves before cleaning and disinfecting surfaces. Perform hand hygiene after glove removal. Record review of the facility's undated Infection Control policy showed staff must change gloves and wash hands between task with the same resident when the gloves come into contact with infectious materials. 1. Record review of Resident #16's face sheet showed he/she was admitted on [DATE] with a diagnosis of Diabetes Mellitus (DM - a complex disorder of carbohydrate, fat, and protein metabolism that is primarily a result of a deficiency or complete lack of insulin secretion in the pancreas or resistance to insulin). Observation on 9/27/22 at 11:32 A.M., of a blood sugar check by Licensed Practical Nurse (LPN) C showed: -He/she performed hand hygiene and put on clean gloves and prepared the glucometer (a machine that checks blood sugar levels) and supplies for the blood sugar check. -With the same gloved hands, he/she picked the keys up from the medication cart and placed them in his/her pocket. -With the same gloved hands, he/she locked the medication cart and entered the resident's room. -With the same gloved hands, he/she obtained the resident's blood sample. 2. Record review of Resident #41's face sheet showed he/she was admitted on [DATE] with a diagnosis of diabetes. Record review of the resident's significant change of status Minimum Data Set (MDS - a federally mandated assessment instrument completed by facility staff for care planning), dated 8/3/22, showed he/she: -Had a diagnosis of Diabetes Mellitus. Observation on 9/27/22 at 11:39 A.M., of a blood sugar check with LPN C showed: -He/she obtained a blood sugar sample. The glucometer showed a sample error message. LPN C placed the contaminated glucometer on the resident's bedside table without a barrier and without sanitizing the bedside table. -Upon re-entering the resident's room, he/she removed the contaminated glucometer from the resident's bedside table and obtained a new blood sample. During an interview on 9/27/22 at 11:50 A.M., LPN C said he/she would not have done anything different during the blood sugar checks. Observation on 9/28/22 at 11:35 A.M., of the resident's blood glucose monitoring with LPN A showed: -He/she was at the medication cart with the glucose machine on the cart without disinfecting or using a protective barrier. -He/she gathered supplies and the glucometer, entered the resident's room and placed them on the resident's bedside table without a barrier and without sanitizing the bedside table. -He/she cleaned the resident's finger with alcohol pad, used the lancet. -He/she removed the glucometer from the bedside table to draw blood, and attempted to obtain a blood sample for the glucometer. -He/she removed the glucometer strip from glucometer machine and set the glucometer machine back on the resident's bedside table that was not disinfected or had protective barrier. -He/she removed his/her gloves and without sanitizing or washing he/her hands, exited the resident's room and went to the medication cart and put the lancet and glucometer strip in the sharps container. Doffed (removed) his/her gloves and used alcohol-based hand sanitizer. - He/she went back in the resident's room and picked up the glucometer machine off of the bedside table with ungloved hands, then took it and set the glucometer machine on top of the cart without disinfecting or using a protective barrier. -He/she donned (applied) gloves, gathered an alcohol pad, lancet, glucometer strip and glucometer machine. -He/she went into the resident's room and placed the glucometer machine on the resident's bedside table without disinfecting or using a protective barrier. -He/she cleaned the resident's finger with an alcohol swab and obtained a blood sample. -He/she took all supplies back to medication cart putting the contaminated glucometer machine on top of the medication cart that was not disinfected or had a barrier. -He/she removed his/her gloves, sanitized his/her hands, and with ungloved hands, placed the contaminated glucometer in the medication cart without sanitizing or disinfecting. During an interview on 9/29/22 at 9:30 A.M., LPN A said he/she would not have done anything differently. 3. During an interview 9/29/22 at 10:37 A.M., the Infection Control Preventionist (ICP) said it was the expectation that glucometer machines should be placed on a barrier and purple top disinfectant used to clean glucometer machines before and after use per manufacturer's guidelines. During Interview 9/29/22 at 11:50 A.M., Director of Nursing (DON) said the expectation is for a barrier to be used with blood sugar checks and disinfectant be used before and after glucometer machine use per manufacturer's guidelines. 4. Record review of Resident #146's undated face sheet showed he/she was admitted on [DATE] with the following diagnoses: -Acute Kidney Failure (when the kidneys suddenly cannot filter waste). Observation on 9/28/22 at 9:28 A.M., showed LPN B: -Went into the resident's room to check the resident's blood pressure before giving the resident his/her morning medication. -He/she did not perform hand hygiene when exiting the resident's room. -Without washing or sanitizing his/her hands, he/she opened the medication cart and removed the resident's medication cards for administration. During an interview on 9/28/22 at 9:41 A.M., LPN B said he/she would not have done anything different during the medication pass.
CONCERN (F)

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

Food Safety (Tag F0812)

Could have caused harm · This affected most or all residents

Based on observation, interview, and record review, the facility failed to maintain the dishwasher spray wand nozzles free from debris inside the nozzles; to maintain the ceiling vents over the entran...

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Based on observation, interview, and record review, the facility failed to maintain the dishwasher spray wand nozzles free from debris inside the nozzles; to maintain the ceiling vents over the entrance to the kitchen free from a buildup of dust; to have a trash container available for Dietary [NAME] (DC) to use without having to touch the lid, which contributed to the DC not washing his/her hands after touching the trash container lid on multiple occasions; to ensure the shelf in the reach-in refrigerator labeled Pass Through, did not have visible rust on the shelf; and to ensure there was not a seven inch (in.) crack on the shelf of the food delivery cart. This practice potentially affected all residents who ate food from the kitchen. The facility census was 50 residents. 1. Observations on 9/26/22, showed: -At 11:55 A.M., debris was present in the nozzles of the spray wand of the dishwasher. -At 12:02 P.M., a buildup of dust was present on and in the ceiling vents close to entrance. -At 1:54 P.M., DC A touched trash container to discard a piece of trash and did not change gloves, he/she went right back to mixing. -At 1:56 P.M., DC A placed emerald pears in reach-in fridge. -At 2:31 P.M., DC A discarded the empty package from the ground beef into the trash container and did not wash hands. -At 2:44 P.M., DC A touched the lid of the trash container under the food preparation table and did not wash his/her hands before wrapping the container of beef with aluminum foil. -At 3:02 P.M., DC A discarded a piece of plastic into the trash container, then proceeded to handle the food processor. -At 4:09 P.M., a 13 in. crack was seen on the food cart shelf. -At 4:30 P.M., rust was present on one shelf in the refrigerator labeled Pass Through. During an interview on 9/26/22 at 3:29 P.M., DC A said: -He/she noticed he/she touched the trash lid a lot, after he/she was asked about it. -He/she said having a trash container, in which he/she did not have to touch the lid closer to the food preparation station would be helpful. During an interview on 9/26/22 at 4:37 P.M., the Dietary Manager (DM) said: -The shelf had been like that for a few months. -He/she had not thought about a trash can in which the cook or other dietary employee did not have to touch the lid to discard items. -He/she did not know if his/her employees were trained in removing the wand from the dishwasher. -He/she thought he/she threw away the cart with the crack because there used to be another one like that.
MINOR (C)

Minor Issue - procedural, no safety impact

Deficiency F0925 (Tag F0925)

Minor procedural issue · This affected most or all residents

Based on observation and interview, the facility failed to remove dead insect carcasses from the floor of the storage room located on the south side of the hallway where the kitchen was located and th...

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Based on observation and interview, the facility failed to remove dead insect carcasses from the floor of the storage room located on the south side of the hallway where the kitchen was located and the hot water heater room in the basement. This practice affected two non-resident areas. The facility census was 50 residents. 1. Observation on 9/27/22 with the Maintenance Director and Maintenance Assistant A showed: -At 2:59 P.M., there were beetles and other various dead insects on the floor of the storage room. -At 3:24 P.M., there were numerous dead insects on the floor of the hot water heater room in the basement area. During an interview on 9/27/22 at 3:25 P.M., the Maintenance Director said he/she needed to work on getting the dead insects cleaned up.
Oct 2019 8 deficiencies
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

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, and record review, the facility failed to ensure staff document a resident's pressure ulcer (lo...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, and record review, the facility failed to ensure staff document a resident's pressure ulcer (localized injury to the skin and/or underlying tissue usually over a bony prominence, as a result of pressure, or pressure in combination with shear and/or friction) measurements and description weekly; and failed to ensure the resident's physician visited and visually assessed the resident every 30 days after admission to the facility for one sampled resident (Resident #23) out of 13 sampled residents. The facility census was 49 residents. Record review of the facility's undated Pressure Ulcer Prevention and Management policy showed: -The Interdisciplinary Team (IDT) Risk Team Representative reviews all new pressure ulcers and monitors progress weekly; -Staff development/Orientation for Licensed Nurse included how to stage pressure ulcers and classify wounds by depth and description; -Weekly skin assessments were to be completed and documented by licensed staff; -Weekly wound rounds were to be conducted that included stage, description, measurement, progress, and treatment; -A weekly wound report was to be completed and turned into the Administrator; -The resident's physician was to be notified if no improvement in a wound in a minimum of three weeks; -The physician's progress notes should included documentation to support non-healing or unavoidable wounds; and -Weekly progress will be documented by the nurse to assess the location, stage, size, shape, depth size and depth of sinus track, surrounding tissue, and drainage (type, color, odor, and amount), wound bed, wound edges, and related pain. 1. Record review of Resident #23's Face Sheet showed he/she was admitted to the facility on [DATE] with the following diagnoses: -Osteomyelitis (bone infection) of vertebra, sacral (large, triangular bone at the base of the spine and at the upper and back part of the pelvic cavity) and sacrococcygeal region (sacrum and coccyx (tailbone) region); and -Pressure ulcer of sacral region, Stage IV (Full thickness tissue loss with exposed bone, tendon or muscle. Slough or eschar may be present on some parts of the wound bed. Often includes undermining and tunneling). Record review of the resident's Nursing Evaluation dated 7/30/19 showed the resident: -Had a Stage IV pressure ulcer to his/her coccyx area ( small triangular bone at the base of the spinal column in humans, formed of fused vestigial vertebrae) with a treatment in place; -The pressure ulcer measured 1 centimeter (cm) in length by 2 cm in width with no documented depth of the wound; -The pressure ulcer was open with a 4 cm length by 5 1/2 cm in width reddened area around the open pressure ulcer; and --There was no documentation by the facility staff of the depth of the pressure ulcer, if the pressure ulcer had any drainage or odor, or the appearance of the wound bed. Record review of the resident's Nurses' Notes dated 7/30/19 showed the resident: -Was admitted to the facility from the hospital; -Had a diagnosis of osteomyelitis to his/her coccyx; -Had a dressing to his/her coccyx area; -Had a wound opening of approximately 1 cm in length by 0.9 cm in width; and --There was no documentation by the facility staff of the depth of the pressure ulcer, if the pressure ulcer had any drainage or odor, or the appearance of the wound bed. Record review of the resident's Nurses' Notes dated 7/31/19 showed the resident's coccyx pressure ulcer was noted to have a moderate amount of light brown drainage without odor. Record review of the resident's History and Physical dated 8/4/19 showed the resident: -Was recently admitted to the facility after a hospital stay; -Was found to have possible osteomyelitis; -Had a non-healing sacral ulcer; -Was on intravenous antibiotic therapy; -His/her overall assessment and plan included: --He/she had a sacral pressure ulcer with osteomyelitis; --Was on intravenous (IV) antibiotic therapy for the pressure ulcer and osteomyelitis; --Was being followed by an infectious disease physician; and --Had wound care. Record review of the resident's Physician's Progress Note dated 8/4/19 showed he/she: -Had a non-healing pressure ulcer and recent osteomyelitis; and -Was recently placed on Hospice services (end of life care). Record review of the resident's medical record showed no other documentation by the resident's physician that he/she had visited or visually assessed the resident from 8/4/19 to 9/27/19. Record review of the resident's Nurses' Notes dated 8/8/19 showed the resident was admitted to Hospice services due to his/her health decline and osteomyelitis and that his/her antibiotic therapy was discontinued. Record review of the resident's Hospice medical record from 8/8/19 to 10/3/19 showed no documentation that the resident's pressure ulcer was measured or monitored by the Hospice staff or that the resident's pressure ulcer monitoring was communicated between the Hospice staff and the facility staff. Record review of the resident's 2018 Visual Skin Evaluation dated 8/14/19 showed: -The resident had an opened area to his/her coccyx; -A treatment was in place; and -He/she saw the wound team. --NOTE: No documentation by the facility staff to show the measurements of the resident's open area, the stage of the wound, the appearance of the wound bed or skin around the wound, or if there was any drainage. Record review of the resident's significant change Minimum Data Set (MDS - a federally mandated assessment instrument completed by facility staff for care planning) dated 8/15/19 showed he/she: -Was cognitively intact with a Brief Interview for Mental Status (BIMS) of 13 out of 15; -Was independent with eating and bathing; -Required limited staff assistance with transfers and walking; -Required extensive staff assistance with bed mobility, locomotion, dressing, toileting, and personal hygiene; -Was on Hospice services; and -Had a Stage IV pressure ulcer upon admission to the facility. Record review of the resident's Nurses' Notes dated 8/16/19 showed the resident's coccyx pressure ulcer dressing was changed due to excessive drainage. Record review of the resident's 2018 Visual Skin Evaluation dated 8/21/19 showed: -The resident had an opened area to his/her coccyx; -A treatment was in place; and -He/She saw the wound team. --NOTE: No documentation by the facility staff to show the measurements of the resident's open area, the stage of the wound, the appearance of the wound bed or skin around the wound, or if there was any drainage. Record review of the resident's 2018 Visual Skin Evaluation dated 9/3/19 showed: -The resident had a pressure ulcer; -No documentation by the facility staff where the pressure ulcer was located; and -The condition of the resident's skin, genitals, perineal, and buttocks showed no redness. --NOTE: No documentation by the facility staff to show the measurements of the resident's open area, the stage of the wound, the appearance of the wound bed or skin around the wound, or if there was any drainage. Record review of the resident's 2018 Visual Skin Evaluation dated 9/11/19 showed: -The resident had pressure ulcer to his/her coccyx; -The pressure ulcer had scant brown discharge upon removal of the dressing; -The appearance was blanchable healing pink wound bed; -The pressure ulcer had a foul odor; -A treatment was in place; and -He/she saw the wound team. --NOTE: No documentation by the facility staff to show the measurements of the resident's open area, the stage of the wound. Record review of the resident's 2018 Visual Skin Evaluation dated 9/18/19 showed: -The resident had pressure ulcer to his/her coccyx; -The wound bed was blanchable healing pink; -The pressure ulcer did not have drainage or an odor; -The pressure ulcer continues to heal; -The treatment was reevaluated recently and order changes were implemented; and -He/she saw the wound team. --NOTE: No documentation by the facility staff to show the measurements of the resident's open area, the stage of the wound. Record review of the resident's 2018 Visual Skin Evaluation dated 9/25/19 showed: -The resident had pressure ulcer to his/her coccyx; -The pressure ulcer had a small amount of purulent yellow drainage without odor; -The coccyx pressure ulcer was non-blanchable in the upper surrounding areas, and blanchable in the lower surrounding areas; -The wound bed was pink/red in color with small purulent yellow drainage noted during the dressing change; and -A treatment was in place. --NOTE: No documentation by the facility staff to show the measurements of the resident's open area, the stage of the wound. Record review of the resident's Nurses' Notes dated 9/25/19 showed: -The resident's Hospice nurse took a picture of the resident's coccyx pressure ulcer; and -Collaboration was ongoing between the Hospice wound nurse and Hospice physician. Record review of the resident's Wound assessment dated [DATE] showed: -The resident had a facility acquired pressure ulcer identified on 8/10/19; --NOTE: The resident was admitted to the facility on [DATE] with a Stage IV pressure ulcer; -The pressure ulcer was in the coccyx region; -The pressure ulcer had a small amount of purulent drainage (a milky-like fluid discharge that is usually a sign of infection) without odor, had rolled wound edges. -The wound bed had 10 percent (%) non-blanchable erythema (redness that stays even after pressing on it) epithelial tissue (a thin outer layer of tissue covering the body's surface), 40% non-granulating (pale pink) granulation tissue (any soft pink fleshy projections that form during the healing process in a wound that does not heal by first intention), 20% non-adherent slough (nonviable yellow, tan, gray, green or brown tissue; usually moist, can be soft, stringy and mucinous in texture. Slough may be adherent to the base of the wound or present in clumps throughout the wound bed), and 30% adherent slough; -The pressure ulcer was unstageable (Full thickness tissue loss in which the base of the ulcer is covered by slough (yellow, tan, gray, green or brown) and/or eschar (tan, brown or black) in the wound bed); -The pressure ulcer measured 2.25 cm in length by 1.5 cm in width by 0.5 cm in depth with 0.5 cm tunneling (a passageway of tissue destruction under the skin surface that has an opening at the skin level from the edge of the wound) at the 1 o'clock position and described as having an upward depth of 1.5 cm, a right side depth of 4 cm, a bottom depth of 3 cm, a left side depth of 1 cm and a middle depth of 0.5 cm; -The wound was active; and -The wound had a probable decline. --NOTE: The last wound measurements were on 7/30/19 at which time it was documented as 1 cm in length by 2 cm in width with no documentation of depth and a Stage IV. Record review of the resident's Hospice medical record dated 9/27/19 showed the resident had a pressure ulcer on his/her coccyx measuring 2.25 cm in length by 1.5 cm in width by 0.5 cm in depth. The documentation did not include the wound bed description, if the wound had drainage, odor, or the stage of the pressure ulcer. Record review of the resident's Wound assessment dated [DATE] showed: -The resident had a facility acquired pressure ulcer identified on 8/10/19; --NOTE: The resident was admitted to the facility on [DATE] with a Stage IV pressure ulcer. -The pressure ulcer was in the coccyx region; -The pressure ulcer had no drainage, had rolled wound edges; -The wound bed had 10 % non-blanchable erythema epithelial tissue, 30% non-granulating granulation tissue, 10% bright red granulation tissue, 20% non-adherent slough, and 30% adherent slough; -The pressure ulcer was unstageable; -The pressure ulcer measured 2 cm in length by 1.5 cm in width by 0.5 cm in depth with 0.5 cm tunneling at the 1 o'clock position and described as having an upward depth of 1.5 cm, a right side depth of 3 cm, a bottom depth of 1.5 cm, a left side depth of 1 cm and a middle depth of 0.5 cm; -The wound was active; and -The wound had a probable decline. Record review of the resident's 2018 Visual Skin Evaluation dated 10/2/19 showed: -The resident had pressure ulcer to his/her coccyx; -The pressure ulcer had no drainage or odor; -The coccyx pressure ulcer was non-blanchable in the upper surrounding areas, and blanchable in the lower surrounding areas; -The wound bed was pink/red in color with small purulent yellow drainage noted during the dressing change; and -A new treatment was initiated recently and continued per orders. --NOTE: No documentation by the facility staff to show the measurements of the resident's open area, the stage of the wound. Observation on 10/2/19 at 10:17 A.M. showed: -The resident had an open pressure ulcer approximately the size of a nickel on his/her coccyx; -The skin surrounding the reddened; -The wound bed had pale pink and whitish colored slough with a small amount of yellow drainage; and -The pressure ulcer had undermining around all edges of the wound bed. During an interview on 10/2/19 at 3:30 P.M., the Administrator said: -He/she found out the facility staff were not measuring the resident's pressure ulcer on 9/25/19; -The staff were only documenting that the resident had an open area on the visual skin assessment instead of documenting on the Wound ID and assessment tool; -The staff thought the resident's Hospice provider was measuring the resident's pressure ulcer; and -When he/she found out the staff was not ensuring the resident's pressure ulcer was being measured and tracked, the facility did an in-service of staff to include measuring and accurate documentation of the pressure ulcer appearance. During an interview on 10/2/19 at 4:10 P.M., Registered Nurse (RN) A said: -Staff should assess the resident's pressure ulcer weekly and document in the Wound ID and assessment tool; -The resident lived on the hall that usually had a wound care team taking care of resident's with pressure ulcers and non-pressure ulcers; -The resident was utilizing hospice services, so he/she thought the resident's hospice provider should have been monitoring the resident's wound measurement and wound condition in addition to the facility staff; and -The Weekly Visual Skin assessments includes some documentation about the pressure ulcer appearance, but did not include measurements. During an interview on 10/3/19 at 12:19 P.M., the Director of Nursing (DON) said: -The resident's physician should have documented his/her visits every thirty days for the first 90 days after admission; -The resident's physician's visits should have included documentation about the resident's pressure ulcer; -He/she could not find any documentation after 8/4/19 related to physician visits; -He/she found out the staff were not measuring the resident's pressure ulcers when he/she noticed the resident was not on the wound report; -Staff were following physician orders by providing wound care; -Staff monitored the pressure ulcer because they documented skin assessments; -Staff did not measure the resident's pressure ulcers because they thought hospice was measuring the resident's pressure ulcers; and -When he/she discovered staff had not measured the resident's pressure ulcer since early August, he/she had staff start measuring at that time.
CONCERN (D)

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

Drug Regimen Review (Tag F0756)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to ensure pharmacy recommendations were acted upon in a timely manner ...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to ensure pharmacy recommendations were acted upon in a timely manner and a rationale was provided for a Gradual Dose Reduction (GDR) recommendation when the physician declined to reduce an antipsychotic, (medication used to manage disordered thoughts, delusions (altered reality or beliefs despite evidence to the contrary) and/or hallucinations (perceptions of having sensed something that wasn't actually there) for one sampled resident (Resident #14) out of 13 sampled residents. The facility census was 49 residents. Record review of the facility's Drug Regimen Review (DRR) Policy, dated 6/10/19, showed: -A licensed Pharmacist will review the resident drug regimen including the resident chart at least monthly or more frequently depending on the resident condition. The licensed Pharmacist will report in writing any irregularities to the Primary Care Physician (PCP), Medical Director and the Director of Nursing (DON) to be acted upon; -The Pharmacy Consultant will complete the DRR by reviewing the comprehensive assessment, identifying irregularities, adverse medication consequences and potential for adverse drug reactions and medication errors; -Irregularities identified will be documented on a separate written report and sent to the PCP and DON, listing the resident name, relevant drug and irregularity identified. If an irregularity requires urgent action the Pharmacy Consult will immediately report the irregularity to the DON and/or the Unit Charge Nurse and the PCP by phone and -The PCP will document in the resident record that the identified irregularity has been reviewed and what, if any, action has been taken to address it. If the Physician chooses not to act upon the Pharmacy Consult recommendations, the Physician must document the rationale as to why the change is not indicated in the resident record. 1. Record review of Resident #14's Face Sheet showed he/she was admitted to the facility on [DATE] with diagnoses of Acute (severe) Osteomyelitis (Inflammation of the bone due to infection by the bacteria salmonella or staphylococcus), right and left feet; Disorders of Bone Density and Structure; and Vascular Dementia (Brain damage caused by impaired blood flow resulting in problems with reasoning, planning, judgment, and memory) with Behavioral Disturbance. Record review of the resident's Physician Order Sheet (POS), dated October, 2019 showed the resident was prescribed: -Norco, 5 milligram (mg) - 325 milligram (mg) (Hydrocodone 5 mg/Acetaminophen 325 mg) (a narcotic pain medication) tablet Pro Re Nata (PRN - as needed) four times daily (QID) for unspecified pain starting 3/30/19; -Tylenol 325 mg tablet (650 mg total) PRN four times daily QID for unspecified pain starting 3/30/19 and -Quetiapine (generic for Seroquel - an antipsychotic), 100 mg tablet two times daily (BID) for Vascular Dementia with Behavioral Disturbance starting 3/30/19. Record review of the resident's Comprehensive Care Plan, dated 4/1/19 showed: -The resident was at risk for pain related to Osteomyelitis and required pain medication; -The resident received Seroquel for aggressive behaviors and -The Pharmacy Consult was to review the resident's antipsychotic medication and notify the Physician of recommendations. Record review of the resident's Pharmacy Consultant Note to Attending Physician/Prescriber form, dated 4/30/19 showed: -Within the first year of which a resident is admitted on a psychotropic medication (a drug capable of affecting the mind, emotions and behavior) a GDR should be attempted annually unless clinically contraindicated; -The resident has an order for Quetiapine 100 mg by mouth (PO) BID since 7/31/18, an increase from 50 mg BID for Dementia with Behavioral Disturbance. Consider a gradual dose reduction to Quetiapine 50 mg PO BID; -If the recommendation for the GDR is clinically contraindicated please provide patient specific rationale and -The form was left blank. Record review of the resident's Physician Progress Notes for May 2019 did not show a response to the 4/30/19 Pharmacy recommendation. Record review of the resident's Medication Administration Records (MAR), dated April 2019, through August, 2019 showed the medication Norco 5 mg - 325 mg PRN QID had not been administered during this time period. Record review of the resident's Pharmacy Consult Note to Attending Physician/Prescriber form, dated 8/27/19 showed: -Resident has a PRN order for Hydrocodone/APAP (Acetaminophen) 5 mg/325 mg QID since 3/30/19; -No PRN doses of the medication were used in the past three months; -Resident has an order for APAP 650 mg PO PRN QID; -Consider discontinuing Hydrocodone/APAP 5 mg/325 mg and -The form was left blank. Record review of the resident's Physician Progress Notes for August 2019 and September 2019 did not show a response to the 8/27/19 Pharmacy recommendation. Record review of the resident's MAR, dated September 2019 and October 2019 showed he/she had not taken Norco 5 mg - 325 PRN in September or on October 1 and 2, 2019. During an interview on 10/2/19 at 2:35 P.M. the DON said he/she was unable to find the Physician response to the pharmacy recommendation of 8/27/19 and he/she would let the Physician know it was missing. During an interview on 10/2/19 at 4:27 P.M. the DON said he/she couldn't find the Physician response for the recommendation made on 4/30/19. He/she called the Physician on 10/2/19 and was told the Physician would provide it. Record review of the resident's Pharmacy Consult Note to the Attending Physician/Prescriber form, dated 4/30/19 for the GDR of Seroquel was provided on 10/3/19 and showed the form was marked decline the recommendation with no rationale provided. The declination was dated 5/2/19. Record review of the resident's Pharmacy Consult Note to Attending Physician/Prescriber form, dated 8/27/19 for the recommendation to discontinue Hydrocodone/APAP 5/325 PRN QID was provided on 10/3/19 and showed the Physician responded in agreement to the Pharmacy request and discontinued Norco 5 mg/325 mg PRN QID on 10/2/19. Additionally he/she discontinued APAP 650 mg PRN QID on 10/2/19. During an interview on 10/3/19 at 11:52 A.M. Licensed Practical Nurse (LPN) A said: -Pharmacy recommendations get faxed to the DON; -The facility protocol was that once the Physician responds to the recommendations the DON either gives the recommendations to the Charge Nurse or puts them in the Unit mailbox and Medical Records scans them into the resident's electronic medical record and -The Charge Nurse notes in the resident's record if there are medication changes or not and notifies the family and Pharmacy. Any new orders are then started. During an interview on 10/3/19 at 11:56 A.M. LPN C said: -The Pharmacy Consultant does his/her medication reviews and provides reports to the DON and Administrator, showing whether or not there are any new medication recommendations for each resident reviewed; -The facility protocol was for the DON to fax the reports to the Physician; -Pharmacy recommendations are submitted by the DON to the Nurses' Station as pending; -Once signed by the Physician they are again placed in the Unit mailbox for the Charge Nurse to follow up on; -If the Pharmacy recommendations have not been signed by the Physician the procedure is for the Charge Nurse to re-fax any still-pending recommendations to the resident's PCP. Sometimes they need to be sent to the Physician's office multiple times for a response and the Charge Nurse also attempts to contact the Physician by telephone. If unavailable, the Charge Nurse leaves a message on the Physician's Nurse's line. Nurses also attempt to catch the Physician when he/she visits the facility; -The Charge Nurse notes any new orders in the electronic MAR (e-MAR) and in the Nurses' notes and -If the Physician is reached by telephone the Nurse notes at the bottom of the Pharmacy Consultant's Note to Attending Physician/Prescriber form the Physician's response. During an interview on 10/3/19 at 12:25 P.M. the DON said: -The DRR procedure included: -Pharmacy provides a paper copy of any recommendations from his/her medication reviews a day or two following the review visit to the DON and Administrator; - He/she or Medical Records faxes the Pharmacy review information to the Physician's office; -The Pharmacy recommendations are placed in a binder in the DON office and a copy is provided to the Unit awaiting the Physician's response; -When the Physician has signed the Pharmacy recommendation form it is scanned into the resident's electronic medical record and the signed copy is provided to the Charge Nurse who calls the resident's family to let them know of the medication changes; -Any order changes are faxed back to the Pharmacy; -When the Physician fails to respond to a Pharmacy recommendation either he/she or the Charge Nurse will refax the Pharmacy recommendation or call the Physician's office for a response; -He/she checks weekly to see if there are any Pharmacy recommendations without a Physician response and if so, keeps trying to refax or call back the Physician and -If the medication change requires a quick response, the Physician should be called until he/she has been reached and has responded to the medication need that same day.
CONCERN (D)

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

Deficiency F0813 (Tag F0813)

Could have caused harm · This affected 1 resident

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observations, interviews, and record review, the facility failed to educate all staff as to the readily accessible wher...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observations, interviews, and record review, the facility failed to educate all staff as to the readily accessible whereabouts and complete contents of a single, written, on-site policy regarding the acceptance, usage, and storage of foods brought into the facility for residents by family and other visitors, to ensure the food's safe and sanitary handling and consumption. This deficient practice had the potential to affect all residents who ate food brought in by visitors. The facility census was 49 residents with a licensed capacity of 56 residents. During an interview on 10/1/19 at 8:56 A.M., the Dietary Manager said that there was a policy for outside food brought in for residents by family or visitors and subsequently provided a copy. Record review on 10/1/19 at 12:47 P.M. of the policy entitled Foods Brought in by Family/Visitors, provided by the Dietary Manager at 9:34 A.M. showed an eight-point document that included: - Foods brought in must be checked against the resident's diet orders; - If a resident wanted to eat problematic foods, counseling would occur and be documented; - Foods must be discarded after 72 hours; and - No foods are to be stored in the dietary refrigerators. Record review on 10/1/19 at 1:57 P.M. of the policy entitled Food Brought by Residents and Visitors Policy, provided with other policies that were requested upon entrance showed a six-point document that included: - Foods brought in must be checked against the resident's diet orders and properly labeled; - Foods would be stored in a community refrigerator; and - The storage must follow health department standards. During an interview at the Countryside Lane nurse's station on 10/2/19 at 10:10 A.M., Licensed Practical Nurse (LPN) C said: - Outside food for residents needed to be labeled and dated; - Outside food was kept in dining room refrigerators if so needed, or in a cabinet if non-perishable; - He/She was taught that procedure during orientation; and - He/She had never seen a written policy anywhere, but if there was one it would be in the facility policy and procedure book. During an interview at the [NAME] Meadows nurse's station on 10/2/19 at 10:25 A.M., Registered Nurse (RN) A said: - Outside food for residents needed to be labeled, dated, and placed in that unit's dining room refrigerator; - He/She thought that procedure was part of his/her general training when hired; and - He/She did not know if it was written down anywhere because it had been so long ago. During an interview on 10/2/19 at 10:31 A.M. the Dietary Manager said he/she would expect the direct care staff to know the outside food policy's contents and location. 1. Observations during the facility Life Safety Code inspection with the Maintenance Assistant on 10/2/19 between 12:07 P.M. and 12:15 P.M. showed a refrigerator in both the Countryside Lane and [NAME] Meadows dining rooms that was designated for residents' food.
CONCERN (E)

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

Employment Screening (Tag F0606)

Could have caused harm · This affected multiple residents

Based on interview and record review, the facility failed to check the State Certified Nurse Aide (CNA) Registry to determine if a newly hired individual had a Federal Indicator (shows abuse, neglect ...

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Based on interview and record review, the facility failed to check the State Certified Nurse Aide (CNA) Registry to determine if a newly hired individual had a Federal Indicator (shows abuse, neglect or misappropriation of property occurred while the individual was employed as a CNA in a Medicaid and/or Medicare federally certified facility, which prohibits the individual from working in a certified facility) prior to hiring, for seven out of seven sampled employees. The facility hired 72 employees since the last annual survey. The facility census was 49 residents. Record review of the facility's Background Check Procedure dated 6/10/19 showed: -Staff were to check the CNA Registry unit on Certified Nurses Assistants (CNAs) and Certified Medication Technicians (CMTs); and --The policy did not direct the staff to check the CNA Registry for all staff. 1. Record review of the facility's untitled, undated employee list showed the facility hired 72 new employees in the past year. Record review of Employee A's personnel file on 10/3/19 showed: -He/she was hired as a food services worker on 4/11/19; and -He/she did not have a CNA Registry check on file. Record review of Employee B's personnel file on 10/3/19 showed: -He/she was hired as a CNA on 8/21/19; and -His/her CNA Registry check was completed on 8/30/19. Record review of Employee C's personnel file on 10/3/19 showed: -He/she was hired as a food services worker on 8/12/19; and -He/she did not have a CNA Registry check on file. Record review of Employee D's personnel file on 10/3/19 showed: -He/she was hired as an RN on 8/12/19; and -He/she did not have a CNA Registry check on file. Record review of Employee E's personnel file on 10/3/19 showed: -He/she was hired as a housekeeper on 2/18/19; and -He/she did not have a CNA Registry check on file. Record review of Employee F's personnel file on 10/3/19 showed: -He/she was hired as an LPN on 3/10/19; and -He/she did not have a CNA Registry check on file. Record review of Employee G's personnel file on 10/3/19 showed: -He/she was hired as a CNA on 3/10/19; and -His/her CNA Registry check was completed on 8/30/19. During an interview on 10/3/19 at 11:48 A.M., the Human Resources Director said: -He/she started at the facility on 8/26/19; -He/she was responsible for completing new hire background checks; -CNA Registry checks were to be completed for CNAs, CMTs, LPNs, and RNs; -He/she had could not located CNA Registry checks for the employees; -He/she had started completing the CNA Registry checks on some of the employees on 8/30/19 to catch some of these up; -He/she was unaware all employees needed to have a CNA Registry check prior to hire; and -He/she had been following the facility policy. During an interview on 10/3/19 at 12:18 P.M., the Administrator said: -The Human Resources Director was responsible for completing employee background checks; -The facility policy stated only licensed staff need to have a CNA Registry check; and -The policy needed to be updated.
CONCERN (E)

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

Safe Environment (Tag F0921)

Could have caused harm · This affected multiple residents

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observations and interviews, the facility failed to maintain a safe and sanitary environment in two areas by allowing c...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observations and interviews, the facility failed to maintain a safe and sanitary environment in two areas by allowing ceiling tiles to become dampened to the point of having visible mold growth on them. This deficient practice affected numerous residents, visitors, and staff who resided in, passed through, used, or worked in those two areas. The facility census was 49 residents with a licensed capacity for 56 residents. 1. Observations during the facility room-by-room Life Safety Code inspections with the Maintenance Assistant on 10/2/19 between 12:07 P.M. and 12:45 P.M. showed the following: - There were eight 2 foot by 2 foot ceiling tiles in the northeast corner of the Countryside Lane dining room that had visible mold near the sections by the wall; and - In the hallway by room [ROOM NUMBER] there was a 2 foot by 4 foot ceiling tile with an approximately 9 inch diameter circular patch of mold. During interviews on 10/2/19 between 12:07 P.M. and 12:45 P.M. the Maintenance Assistant said the following: - The dark patches on the ceiling tiles in the Countryside dining rooms looked like mold; - There were air-conditioning lines that ran above those tiles that dripped condensation on them; - The length of time the condition existed was unknown as no one had mentioned them; - The patch on the ceiling tile on the 300 Hall was caused by the same drip problem; and - They had been changing the ceiling tiles constantly over time as affected ones were found.
CONCERN (F)

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

Deficiency F0804 (Tag F0804)

Could have caused harm · This affected most or all residents

Based on observations, interviews, and record review the facility failed to assure that the nutritive value and safe consumption of food was not compromised by ensuring hot foods were prepared by reac...

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Based on observations, interviews, and record review the facility failed to assure that the nutritive value and safe consumption of food was not compromised by ensuring hot foods were prepared by reaching proper internal temperatures (poultry at 165 degrees Fahrenheit (F) and fish at 145 degrees F) and served at a safe and appetizing temperature (135 degrees F). This deficient practice potentially affected all residents who ate food from the kitchen. The facility census was 49 residents with a licensed capacity for 56 residents. 1. Observations on 10/1/19 between 11:37 A.M. and 11:49 A.M. showed foods being taken out of the oven and placed on carts to be taken to the dining rooms for the lunch meal service. During an interview on 10/1/19 at 11:57 A.M. the Dietary Manager said that temperatures were not logged when hot food came out of the oven or off of the stove, just at the steam tables in the dining rooms before being served. 2. Observations in the Countryside Lane dining room on 10/1/19 between 12:03 P.M. and 12:27 P.M. showed the following: - Foods were taken off of a cart and placed in the steam table pan wells; - Food temperatures were taken by Dietary Aide B and logged in a binder; and - Foods were subsequently served to the residents in the dining room. Record review of the dining room binder entitled Countryside Lane Daily Time and Temperature Log on 10/1/19 at 12:17 P.M. showed the following temperatures recorded for the lunch meal: - Sliced turkey was recorded at 110 degrees F and pureed turkey at 100 degrees F; - Baked tilapia was recorded at 130 degrees F; - Peas were recorded at 130 degrees F and pureed peas at 80 degrees F; and - Mashed potatoes (puree) were recorded at 100 degrees F. 3. Observations in the Countryside Lane dining room on 10/1/19 at 12:29 P.M. showed a lunch test plate for temperature and taste revealed the following: - The sliced turkey appeared overcooked and tasted dry; - The mashed potatoes, carrots, and peas were all just warm, not hot; and - All the foods seemed to cool off quickly during the taste test. During an interview on 10/2/19 at 10:31 A.M. the Dietary Manager said: - Taking cooked foods' temperatures at the oven or stove should indicate whether they were sufficiently cooked or overcooked; - The cooked foods' temperatures were taken when they came out of the oven or off of the stove, but not recorded; and - He/She would expect cooked foods' temperatures to hold correctly on the steam tables.
CONCERN (F)

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

Food Safety (Tag F0812)

Could have caused harm · This affected most or all residents

Based on observations, interview, and record review, the facility failed to keep the kitchen floors clean to avoid foodborne illness; failed to maintain sanitary food preparation and serving utensils;...

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Based on observations, interview, and record review, the facility failed to keep the kitchen floors clean to avoid foodborne illness; failed to maintain sanitary food preparation and serving utensils; and failed to take measures to prevent non-food particles from getting into foods. These deficient practices potentially affected all residents who ate food from the kitchen. The skilled nursing facility census was 49 residents with a licensed capacity for 56 residents. 1. Observations during the kitchen inspection on 10/1/19 between 8:56 A.M. and 12:03 P.M. showed the following: - There were two butter pods, plastic and paper debris, and a coffee-colored stain approximately 2 feet by 3 feet under the racks in the walk-in refrigerator; - There was paper debris under the racks of the walk-in freezer; - Both walk-ins' doors each had a sign stating Floor Must Be Kept Dry and Clean At All Times; - Several herb and spice plastic containers were greasy to the touch; - Four plastic spatulas in a utensil drawer had varying degrees of chipped edges; - Two metal slotted spoons in a utensil drawer had plastic handles with bits of plastic coming off; - There was an excessive amount of crumbs in the 4-slice toaster; and - Numerous food and paper debris were on the floor behind the oven, deep fryer, and tilt skillet. 2. Observations during the kitchen inspection on 10/2/19 at 10:22 A.M. showed the following: - There was an excessive amount of crumbs in the 4-slice toaster; - Numerous food and paper debris was on the floor behind the oven, deep fryer, and tilt skillet; - Herb and spice plastic containers were greasy to the touch; - Four plastic spatulas in a utensil drawer had varying degrees of chipped edges; - Two metal slotted spoons in a utensil drawer had plastic handles with bits of plastic coming off; - There were two butter pods, plastic and paper debris, and a coffee colored stain approximately 2 feet by 3 feet under the racks in the walk-in refrigerator; - There was paper debris under the racks of the walk-in freezer; and - Both walk-ins' doors each had a sign stating Floor Must Be Kept Dry and Clean At All Times. During an interview on 10/2/19 at 10:31 A.M., the Dietary Manager said: - The walk-ins and kitchen floors were cleaned weekly and checked during the week; - He/She would expect food preparation or serving utensils not to have non-food particles coming off them; - Dietary staff usually notify him/her if anything needs replaced; and - The toaster is cleaned daily by the dietary aides or cooks.
CONCERN (F)

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

Infection Control (Tag F0880)

Could have caused harm · This affected most or all residents

**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interviews and record reviews, the facility failed to establish and maintain a comprehensive, facility-specific infecti...

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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interviews and record reviews, the facility failed to establish and maintain a comprehensive, facility-specific infection prevention and control program designed to help prevent the development and transmission of waterborne pathogens (a bacterium, virus, or other microorganism that can cause disease), and failed to provide documented assessments for such an outbreak. This deficient practice had the potential to affect all residents, visitors, and staff who reside in, visit, use, or work in the facility. The facility census was 49 with a licensed capacity for 56 residents. Record review on 10/2/19 at 9:45 A.M. of the facility's Emegency Preparedness manual entitled [NAME] Care Center Disaster Manual, obtained from the [NAME] Meadows nurse's station, showed an absence of a waterborne pathogen prevention program that included the following: - A facility-specific risk assessment that considers the ASHRAE (American Society of Heating, Refrigerating, and Air Conditioning Engineers) industry standard; - A completed CDC (Centers for Disease Control) toolkit including control measures such as physical controls, temperature management, disinfectant level control, visual inspections, and environmental testing for pathogens; - A schematic or diagram of the facility's water system; - A facility specific infection prevention program or plan to deal with outbreaks of Legionella and/or other water-borne pathogens; - A program and flowchart that identifies and indicates specific potential risk areas of growth within the building; - Assessments of each individual potential risk level; - Testing protocols and acceptable ranges for control measures with a method of monitoring them specifically at this facility; - Facility specific interventions or action plans for when control limits are not met; and - Documentation of any site log book being maintained with any cleaning, sanitizing, descaling, and inspections mentioned. During an interview on 10/2/19 at 3:43 P.M., the Administrator said that references for a water-borne pathogen prevention program had been gathered, but no assessments or implementation had been done yet.
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 Missouri facilities.
Concerns
  • • 45 deficiencies on record. Higher than average. Multiple issues found across inspections.
  • • Grade C (50/100). Below average facility with significant concerns.
Bottom line: Mixed indicators with Trust Score of 50/100. Visit in person and ask pointed questions.

About This Facility

What is Meyer's CMS Rating?

CMS assigns MEYER CARE CENTER an overall rating of 2 out of 5 stars, which is considered below average nationally. Within Missouri, this rating places the facility higher than 0% of the state's 100 nursing homes. A rating at this level reflects concerns identified through health inspections, staffing assessments, or quality measures that families should carefully consider.

How is Meyer Staffed?

CMS rates MEYER CARE CENTER's staffing level at 2 out of 5 stars, which is below average compared to other nursing homes.

What Have Inspectors Found at Meyer?

State health inspectors documented 45 deficiencies at MEYER CARE CENTER during 2019 to 2025. These included: 44 with potential for harm and 1 minor or isolated issues.

Who Owns and Operates Meyer?

MEYER CARE CENTER is owned by a non-profit organization. Non-profit facilities reinvest revenue into operations rather than distributing to shareholders. The facility operates independently rather than as part of a larger chain. With 56 certified beds and approximately 51 residents (about 91% occupancy), it is a smaller facility located in HIGGINSVILLE, Missouri.

How Does Meyer Compare to Other Missouri Nursing Homes?

Compared to the 100 nursing homes in Missouri, MEYER CARE CENTER's overall rating (2 stars) is below the state average of 2.5 and health inspection rating (2 stars) is below the national benchmark.

What Should Families Ask When Visiting Meyer?

Based on this facility's data, families visiting should ask: "Can you walk me through typical staffing levels on day, evening, and night shifts?" "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?" These questions are particularly relevant given the below-average staffing rating.

Is Meyer Safe?

Based on CMS inspection data, MEYER CARE CENTER 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 2-star overall rating and ranks #100 of 100 nursing homes in Missouri. While no facility is perfect, families should still ask about staff-to-resident ratios and recent inspection results during their visit.

Do Nurses at Meyer Stick Around?

MEYER CARE CENTER has not reported staff turnover data to CMS. Staff turnover matters because consistent caregivers learn residents' individual needs, medications, and preferences. When staff frequently change, this institutional knowledge is lost. Families should ask the facility directly about their staff retention rates and average employee tenure.

Was Meyer Ever Fined?

MEYER CARE CENTER 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 Meyer on Any Federal Watch List?

MEYER CARE CENTER 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.