CRITICAL
(K)
Immediate Jeopardy (IJ) - the most serious Medicare violation
Infection Control
(Tag F0880)
Someone could have died · This affected multiple residents
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** b. Nursing staff failed to wear gloves and/or perform hand hygiene while performing FSBS.
1. Review of R61's admission Record, l...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** b. Nursing staff failed to wear gloves and/or perform hand hygiene while performing FSBS.
1. Review of R61's admission Record, located under the Profile tab of the EMR revealed the resident was admitted to the facility on [DATE] with diagnoses that included type 2 diabetes mellitus with diabetic neuropathy and dementia with behavioral disturbance.
Review of R61's Physician Order, dated 06/28/22 and located under the Orders tab of the EMR, revealed R61 was to receive a fingerstick blood sugar (FSBS) test two times a day every two days.
2. Review of R150's admission Record, located under the Profile tab of the EMR, revealed the resident was admitted to the facility on [DATE] with diagnoses that included diabetes mellitus and schizoaffective disorder.
Review of R150's Physician Order, dated 01/25/23, indicated R15 was to receive a FSBS test two times a day every seven days.
During an observation on 04/04/23 at 4:02 PM, LPN3 performed finger stick blood sugar (FSBS) tests for Residents (R61 and R150). LPN3 retrieved the glucometer from the top drawer of the medication cart. The surveyor observed two brown smears across the screen of the glucometer. LPN3 wiped the glucometer with a Sani-Cloth and placed the glucometer directly onto the top of the medication cart. The Sani-Cloth appeared dirty. When asked about the dirty appearance on the Sani-Cloth, LPN3 stated Oh, that must be my makeup, that's what that is. LPN3 proceeded to the dining room and located R61 at a table sitting with two other residents. LPN3 wiped R61's finger with an alcohol swab, placed the used alcohol swab onto the dining room table, performed the finger stick, and placed the glucometer (containing the used strip) directly onto the dining room table. LPN3 picked up the used alcohol swab from the table and used it to wipe R61's finger. LPN3 gathered all supplies into ungloved hands, proceeded back to medication cart, and placed all supplies onto the top of the cart. LPN3 obtained a clean strip out of the glucose strip bottle with ungloved hands, replaced the used glucose strip with an unused strip, and touched the used strip to the clean strip to transfer a drop of blood. When asked the purpose of this, LPN3 stated, sometimes it doesn't register, and you have to get a new strip to get it to register. LPN3 removed the bloody strip from the glucometer ungloved, discarded both strips and the used alcohol swab into the trash.
Continuing with the observation on 04/04/23 at 4:07 PM, LPN3 retrieved a lancet and an alcohol swab from the top drawer of the medication cart, gathered all supplies with ungloved hands, and proceeded back to dining room. LPN3 located R150 sitting at a dining room table with three other residents. LPN3 wiped R150's finger with an alcohol swab, placed the used alcohol swab onto the dining room table, performed the FSBS test, and placed the glucometer (containing the used strip) directly onto the dining room table. LPN3 picked up the used alcohol swab from the table and used it to wipe R150's finger. LPN3 gathered all supplies with ungloved hands, proceeded back to medication cart, and placed all supplies onto the top of the cart. LPN3 obtained a clean strip out of the glucose strip bottle with ungloved hands, replaced with used strip with the unused glucose strip, and touched the used strip to the clean strip to transfer a drop of blood, stating, this one didn't register either. LPN3 gathered both used strips and alcohol swab with ungloved hands to discard into the trash. LPN3 wiped the glucometer with a Sani-Cloth, placed it back into the top drawer of the medication cart and stated, that's it. LPN3 walked over to sit at the nurse's station without performing any type of hand hygiene. LPN3 failed to perform hand hygiene or don gloves throughout the entire observation. LPN3 did not sanitize the glucometer between resident tests.
During an interview on 04/04/23 at 4:16 PM, when asked about donning gloves for FSBS procedure, LPN3 stated, Do you think I should be wearing gloves? LPN3 was asked about the facility's policy on wearing gloves during FSBS procedure and before LPN3 answered, the unit manager LPN5 stated, yes, we're supposed to wear gloves. LPN3 stated she did not know she was supposed to wear gloves while performing a FSBS test. LPN3 stated the facility policy was to wash hands before and after performing a FSBS test. LPN3 stated she did not wash her hands before, after, or between performing FSBS test on R61 and R150. LPN3 also stated that she failed to sanitize the glucometer between resident usage.
During an interview on 04/06/23 at 12:01 PM, the Director of Nursing (DON) stated the facility's policy on infection control practices during FSBS tests was to sanitize the glucometer with Sani-Cloth before and after use. The DON stated the nurses should don gloves for the procedure and should perform hand hygiene before and afterwards.
NJAC 8:39-19.4(a)(l)
6. Review of R13's admission Record, located under the Profile tab of the electronic medical record (EMR), revealed R13 had diagnoses that included diabetes mellitus type 2.
Review of R13's Physician Order, dated 01/24/23 and located under the Orders tab of the EMR, revealed R13 was to receive a fingerstick blood sugar (FSBS) test twice daily.
7. Review of R133's admission Record, located under the Profile tab of the EMR, revealed R133 had diagnoses that included diabetes mellitus type 2.
Review of R133's Physician Order, dated 12/06/21 and located under the Orders tab of the EMR, revealed R133 was to receive a FSBS test twice daily.
8. Review of R139's admission Record, located under the Profile tab of the EMR, revealed R139 had diagnoses that included diabetes mellitus type 2.
Review of R139's Physician Order, dated 01/23/23 and located under the Orders tab of the EMR, revealed R139 was to receive a FSBS test twice daily.
9. Review of R30's admission Record, located under the Profile tab of the EMR, revealed R30 had diagnoses that included diabetes mellitus.
Review of R30's Physician Order, dated 08/31/22 and located under the Orders tab of the EMR, revealed R30 was to receive a FSBS test twice daily, every three days.
10. Review of R152's admission Record, located under the Profile tab of the EMR, revealed R152 had diagnoses that included diabetes mellitus type 2.
Review of R152's Physician Order, dated 10/11/22 and located under the Orders tab of the EMR, revealed R152 was to receive a FSBS test twice daily, every two days.
Observation on 04/04/23 at 4:07 PM revealed Licensed Practical Nurse (LPN) 7 removing a basket of FSBS testing supplies, including a glucometer, lancets, and alcohol wipes, from the top drawer of the medication cart used on the back portion of Hall 100. LPN7 placed the basket of supplies on top of the medication cart.
Continuing with the observation on 04/04/23 at 4:09 PM, LPN7 obtained the glucometer from the basket and completed a FSBS test for R13. LPN7 returned to the medication cart and placed the glucometer on top of the medication cart. LPN7 did not sanitize the glucometer appropriately prior to or after use.
Continuing with the observation on 04/04/23 at 4:11 PM, LPN7 obtained the glucometer, wiped the glucometer with an alcohol wipe, and completed a FSBS test for R54. LPN7 returned to the medication cart, wiped the glucometer with an alcohol wipe, and placed the glucometer on top of the medication cart.
Continuing with the observation on 04/04/23 at 4:15 PM, LPN7 obtained the glucometer, completed a FSBS test for R133, returned to the medication cart, and placed the glucometer on top of the medication cart. LPN7 did not sanitize the glucometer appropriately prior to or after use.
Continuing with the observation and a concurrent interview on 04/04/23 at 4:17 PM, LPN7 obtained the glucometer, wiped the glucometer with an alcohol wipe and completed a FSBS test for R139. LPN7 returned to the medication cart, wiped the glucometer with an alcohol wipe, and placed the glucometer on top of the medication cart. LPN7 confirmed she was wiping the glucometer with an alcohol wipe. LPN7 did not sanitize the glucometer appropriately prior to or after use.
Continuing with the observation on 04/04/23 at 4:22 PM, LPN7 7 obtained the glucometer and completed a FSBS test for R30. LPN7 returned to the medication cart, wiped the glucometer with an alcohol wipe, and placed the glucometer on top of the medication cart. LPN7 did not sanitize the glucometer appropriately prior to or after use.
Continuing with the observation on 04/04/23 at 4:25 PM, LPN7 obtained the glucometer, wiped the glucometer with an alcohol wipe, and completed a FSBS test for R152. LPN7 returned to the medication cart and placed the glucometer back in the basket with the other supplies. LPN7 did not sanitize the glucometer appropriately prior to or after use.
During an observation and concurrent interview on 04/04/23 at 4:31 PM, LPN7 confirmed a container of Super Sani-Cloth sanitizing wipes was in the bottom left drawer of the medication cart.
During an interview on 04/04/23 at 5:29 PM, the Director of Nursing (DON) confirmed staff should be using sanitizing wipes, such as Sani-Cloth wipes when sanitizing the glucometer and the glucometer should be sanitized between each use.
During an interview on 04/05/23 at 3:19 PM, LPN7 stated she had used alcohol wipes to clean the glucometer because that is what she thought they were supposed to do.
An interview with the DON 04/04/23 at 5:29 PM revealed she was not aware of any problems with staff not cleaning and sanitizing the glucometers before and after each resident's use. ICP nurse joined the interview and was surprised at the observations. Both DON and ICP stated the Pharmacy Consultant last rounds in December 2022 and that he did not identify any problems; however, he did recommend training for nurses on cleaning and sanitizing the glucometers. The ICP nurse provided an In-service sheet dated 12/19/22 and 12/21/22 in which she discussed how to clean and sanitize the Assure Prism Glucose Monitoring Unit according to manufacturer's instructions Neither DON nor the ICP could explain what monitoring system was in place to ensure the staff were following glucometers disinfectant procedures as trained. Both staff members were aware that the facility had some residents with diagnoses of viral hepatitis C and HIV. But the issue of transmission of blood borne pathogens and the number of residents with the diagnosis had not been discussed in the QA/QAPI meetings.
A list of residents diagnosed with viral hepatitis C and HIV was requested from the facility. A review of the list revealed the facility had 47 residents that required fingerstick for glucose monitoring: 15 residents with viral hepatitis C and three residents with HIV.
On 04/05/23 at 9:48 AM an interview was held with the Medical Director. The Medical Director was unaware of the numbers of residents residing in the facility with the diagnoses of viral hepatitis C and HIV. It was explained to the Medical Director that the failure to clean and sanitize the glucometer after each resident's use had placed the facility in immediate jeopardy situation. The Medical Director stated that he understood the concern and felt the DON and ICP nurse should have been monitoring this situation. The Medical Director also stated he was very concerned about this problem; it should never have happened.
Based on observation, interview, record review, and policy review, the facility failed to: a. sanitize glucometers between uses for 10 (Resident (R)54, R92, R25, R110, R143, R13, R133, R139, R30, and R152) of 10 residents observed receiving fasting blood sugar tests (FSBS) out of a total sample of 47 residents; b. perform hand hygiene and or wear gloves during FSBS for two residents (R61 and R150).
The failure to sanitize glucometers between residents resulted in an Immediate Jeopardy (IJ) at F880-K: Infection Control due to the increased likelihood to cause serious harm due to the potential of cross-contamination of blood-borne pathogens.
On 04/04/23 at 7:43 PM, the Administrator, Director of Nursing (DON), and Infection Control Preventionist were notified of the Immediate Jeopardy (IJ) at F880-K Infection Control related to multi-use glucometers not being cleaned and sanitized between each resident including residents identified with blood borne pathogen concerns.
The facility submitted an acceptable removal plan on 04/06/23 at 9:31 AM.
The removal plan included educating the DON on system management and education of staff, sanitizing all glucometers, retraining, and ensuring competency of all Licensed Practical Nurses (LPN), and Registered Nurses (RN) on the use and sanitization of glucometers, securing hepatitis C screenings for all residents receiving FSBS tests, and updating the policy on blood sampling and glucometer sanitization to include using a manufacturer's approved sanitizing method.
Through interviews with facility staff, observations of FSBS tests, review of staff in-services and facility policy, the survey team verified all elements of the facility's IJ Removal Plan and therefore removed the IJ, effective 04/06/23 at 10:39 AM.
The deficient practice remained at an E (pattern of potential for more than minimal harm) scope and severity following the removal of the immediate jeopardy.
Findings include:
a. The facility failed to sanitize glucometers according to manufacturer's instructions.
1.Review of R54's admission Record, located under the Profile tab of the electronic medical record (EMR), revealed R54 had diagnoses that included diabetes mellitus and human immunodeficiency virus (HIV) disease.
2. Review of R92's admission Record, located under the Profile tab of the EMR, revealed R92 had diagnoses that included diabetes mellitus and viral hepatitis C (infectious disease of the liver that can lead to liver disease).
3. Review of R25's admission Record, located under the Profile tab of the EMR, revealed R25 had diagnoses that included diabetes mellitus.
4.Review of R110's admission Record, located under the Profile tab of the EMR, revealed R110 had diagnoses that included diabetes mellitus.
5. Review of R143's admission Record, located under the Profile tab of the EMR, revealed R143 had diagnoses that included diabetes mellitus.
Observation on 04/04/23 at 11:02 AM revealed Licensed Practical Nurse (LPN)6 performed hand hygiene and donned gloves to obtain a glucose reading on R110. The nurse did not clean or sanitize the glucometer after she removed it from the medication cart. Once LPN6 performed the accucheck she wiped the glucometer with an alcohol wipe and placed it back in the cart.
On 04/04/23 at 11:13 AM LPN 6 next used the glucometer on R92 who has a diagnosis of Hepatitis C. The nurse removed the glucometer from the medication cart and performed hand hygiene but did not sanitize the glucometer. LPN6 obtained the blood glucose reading and removed her gloves. The nurse placed the glucometer in her uniform jacket pocket. When the nurse returned to the medication cart, she removed the glucometer from her pocket and wiped it with an alcohol wipe and placed the glucometer in the medication cart drawer.
Observation on 04/04/23 at 11:42 AM LPN6 removed the glucometer from the medication cart drawer to obtain a blood glucose reading on R146. The nurse performed hand hygiene and donned gloves; however, she did not clean or sanitize the glucometer. After obtaining the resident's blood glucose reading the nurse put the glucometer in her jacket pocket, performed hand hygiene and returned to the medication cart. The nurse put the glucometer in the medication cart without cleaning or sanitizing the unit. The nurse was asked if she had used the glucometer since she used it on R92 and she stated no. LPN6 stated that she uses alcohol wipes to clean the glucometer and the Super Sani-Cloth germicidal wipes are to clean spills and the medication cart. During the interview, the nurse opened the container of Sani wipes and started wiping down her medication cart.
An additional interview with LPN6 on 04/04/23 at 2:11 PM revealed she uses the Sani-wipes to wipe down the glucometer before the start of her shift, and in between each resident. However, the nurse admitted today she used alcohol wipes on the glucometer after testing R92, R110, and R146. LPN6 also stated she was not aware of R92's diagnosis of viral hepatitis C.
On 04/04/23 at 11:21 AM, Registered Nurse (RN) 2 was observed to remove a glucometer from the medication cart to perform a blood glucose reading on R54, who has a diagnosis of HIV. LPN2 did not clean or sanitize the glucometer and entered the resident's room and obtained a blood glucose reading. After obtaining the blood glucose reading LPN2 returned the glucometer to the medication cart without cleaning or sanitizing it at all.
Continuing observation on 04/05/23 at 11:21 AM, RN2 then moved to R25's room and prepared to obtain a blood glucose reading on R25. RN2 removed the same glucometer from the cart without cleaning or sanitizing the unit. RN2 obtained the blood reading from R25 and returned the unit to the medication cart without cleaning or sanitizing the unit at all.
During an interview on 04/04/23 at 2:05 PM with RN2, he stated that used the Santi Cloth wipes before and after each resident uses the glucometer. RN2 was asked to show the container of Santi Cloth germicidal wipes that he used to clean the glucometer. The nurse opened the cart and could not find the container of Santi Cloth wipes. RN2 went to the closet behind the nurses' station and brought a container of Santi Cloth wipes stating he used that container to clean the glucometer. LPN6 was also at the nurses' station listening to the interview. I was asked was that not the same container of Sani Cloth wipes that she had just opened, and she replied yes. RN 2 did not say anything else.
CONCERN
(D)
Potential for Harm - no one hurt, but risky conditions existed
Deficiency F0565
(Tag F0565)
Could have caused harm · This affected 1 resident
Based on interview, record review, and policy review, the facility failed to facilitate resident council meetings for three of three consecutive months (January 2023, February 2023, and March 2023) an...
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Based on interview, record review, and policy review, the facility failed to facilitate resident council meetings for three of three consecutive months (January 2023, February 2023, and March 2023) and to consistently respond to issues and concerns presented by resident council members, and/or discuss and document its responses to the resident's grievances and recommendations with the Resident Council President (Resident (R) 79).
Findings include:
Review of the resident council meeting minutes for January 2023, February 2023, and March 2023 provided by the Director of Social Work (SSD) 1 on 04/04/23 at 1:45 PM, revealed that the facility did not have resident council meetings for those three consecutive months. Furthermore, there were repetitive concerns from month to month without any documentation of the facility responses or of the concerns being addressed.
Review of documents titled, Residents' Council, for January 2023, February 2023, and March 2023 stated, ln lieu of resident's council meetings, activity staff were doing room-by-room visits during months of lockdown. Residents were asked if they have any concerns, ideas, and suggestions they would like to share. One-to-One visit to residents that attend Residents' Council regularly.
Review of documents titled, Residents' Council, January 2023, stated a concern, . the food menu needs some changes and different options on the menu. food needs more taste .
Review of documents titled, Residents' Council, February 2023, stated a concern, . the food menu needs some changes and different options on the menu.
Review of documents titled, Residents' Council, March 2023, stated a concern, . food needs some extra taste to it . the food is not always up to his liking .
During an interview on 04/04/23 at 1:55 PM, R 79, the Resident Council President, stated that the Resident Council had not had a meeting since December 2022 because of the renovations and because of the lockdown for COVID-19. R79 stated that Activities employees come around once a month and ask if anyone has any grievances, but no one follows up with him with the outcome or resolutions to the grievances.
During an interview on 04/05/23 at 12:05 PM, the Activities Director (AD) stated that the Resident Council had not met as a group since December 2022 due to the facility having been on lockdown for three months. The AD stated members of the Resident Council were interviewed individually each month to allow them to voice concerns and grievances and to make recommendations. When asked how the residents' concerns were addressed, the AD stated that the minutes were distributed to all department managers, so they could address the concerns that related to their department. The AD stated that it was the responsibility of the department managers to follow up with the residents' concerns that related to their department. The AD stated that Resident Council grievance responses were not documented on the minutes.
The facility was unable to provide any documentation that any of the resident council concerns from January 2023, February 2023, and March 2023 were addressed.
Review of the facility's policy titled, Activity Department Resident Council Policy, revised April 2020, indicated, Follow up to comments and concerns recorded in the minutes by utilizing a resident council response form. Keep minutes and completed response forms in a binder in the activity office.
NJAC 8:39-4.1(a) 24,29
CONCERN
(D)
Potential for Harm - no one hurt, but risky conditions existed
Deficiency F0578
(Tag F0578)
Could have caused harm · This affected 1 resident
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on record review, interview, and facility policy review, the facility failed to ensure that residents received assistance ...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on record review, interview, and facility policy review, the facility failed to ensure that residents received assistance with formulating Advance Directives and had completed Physician's Orders for Life-Sustaining Treatment (POLST) forms for three (Residents (R)18, R93, and R76) of 12 residents reviewed for Advance Directives in a total sample of 47 residents.
Findings include:
1. Review of R18's 5 day scheduled Minimum Data Set (MDS), located in the electronic medical record (EMR) under the MDS tab, with an Assessment Reference Date (ARD) of 02/27/23, revealed R18 was originally admitted to the facility on [DATE] and re-admitted to the facility on [DATE] with diagnoses that included anemia, dementia, neutropenia (low white blood cell count), and schizoaffective disorder (serious mental illness of hallucinations (hearing, seeing, smelling, touching objects not real) and delusions (firmly held beliefs not base on reality). R18 had a Brief Interview for Mental Status (BIMS) score of seven out of 15, indicating severe cognitive impairment.
Review of R18's Orders, located in the EMR under the Orders tab, revealed a physician's order dated 03/20/23 for a DNR/DNI (do not resuscitate, do not intubate) code status.
Review of care conference notes dated 02/23/23 obtained by the facility revealed R18 is alert and oriented and can make her needs known . is currently on comfort care . she has chosen to be DNI, DNR, DNH .
Review of the paper chart for R18 revealed a blank POLST form in the chart. A POLST is used by emergency personnel during transport to identify the individual's wishes in the event of a medical emergency.
2. Review of R93's quarterly MDS, located in the EMR under the MDS tab, with an ARD of 12/12/22, revealed R93 was originally admitted to the facility on [DATE] and re-admitted to the facility on [DATE], and had no BIMS score recorded as R93 was severely cognitively impaired.
Review of R93's 01/30/22 Orders, located in the EMR under the Orders tab, revealed a physician's order for DNR/DNI/DNH (Do not resuscitate/ do not intubate, do not hospitalize).
Review of the paper chart for R18 revealed a blank POLST form.
During an interview with the Social Service Director (SSD)1 on 04/04/23 5:45 PM, she presented an Advance Directive form which the SSD1 stated she presented to residents and their representatives but stated most residents declined to complete it. The SSD1 further stated she presented the Advance Directives form to the residents when she did her initial social service assessment with the residents.
During an interview with the Administrator on 04/04/23 at 7:08 PM, the Administrator stated the facility did have an Advance Directives policy which addressed what residents want medically in their care, and this is discussed during care conferences by the social worker. The Administrator further stated that during admission, the office assistant goes over Advance Directives information in the admission packet with residents.
Interview with the Director of Admissions (DOA) on 04/06/23 at 10:00 AM revealed that she or the Admissions Assistant explained Advance Directives to residents on admission. The DOA stated a resident handbook is given to the resident and they are told to bring their Advance Directives if they have one. When asked how Advance Directives are explained to the resident, she stated all she does is give the resident handbook to the resident, give them a heads up of what is written in the handbook, and it is then up to the social services to explain Advance Directives to the resident. The DOA further stated she explains an Advance Directive as a living will, in which a person decides if they want to be on a ventilator and other lifesaving measures and asks if the resident has one or not and have them sign the acknowledgement about Advance Directive information in their admission packet. The DOA acknowledged that she had the residents sign the admission agreement stating that they understood and had received Advance Directions information. The DOA stated she deferred the explanations of how to formulate Advance Directives to social services.
Review of the facility's policy titled Advance Directives, reviewed 7/2018, revealed as follows:
1. At the time of or prior to admission, the Facility shall provide the resident and/or the responsible party with a copy of Your Right to Make Health Care Decisions in New Jersey;
2. The resident and/or the responsible party will be asked to acknowledge receipt of the above information in writing. This acknowledgment will be maintained in the Business Office file.
3. The Admissions Director or designee will inquire as to the existence of an Advance Directive. If a Directive has been executed, the Director or designee will ask that a copy be provided to the Facility. The Social Worker will do necessary follow-up .
10. Upon admission/readmission, the Advance Directive will be reviewed in care planning or in a meeting with the Social Worker, Director of Nursing and Resident. Thereafter, the Advance Directive will be reviewed quarterly with the Resident, if appropriate.
NJAC 8:39-4.1(a)2
NJAC 8:39-9.6(a)
CONCERN
(D)
Potential for Harm - no one hurt, but risky conditions existed
Comprehensive Care Plan
(Tag F0656)
Could have caused harm · This affected 1 resident
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observations, record review, and interview, the facility failed to develop all care plans for two residents (Resident (...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observations, record review, and interview, the facility failed to develop all care plans for two residents (Resident (R)76 and R159) out of a total sample of 47 residents.
Findings include:
1. Review of R76's admission Record, located under the Profile tab of the electronic medical record (EMR), revealed the resident had diagnoses that included post-traumatic stress disorder (PTSD).
Review of R76's admission Minimum Data Set (MDS) with an Assessment Reference Date (ARD) of 03/07/23, located in the EMR MDS tab, revealed a Brief Interview for Mental Status (BIMS) score of eight out of 15 which indicated R76 had moderately impaired cognition. R76 also exhibited signs and symptoms of feeling depressed, poor concentration, poor appetite, and trouble sleeping. Further review of this MDS revealed R76 had an active diagnosis of PTSD and received antidepressant medication daily.
Review of the resident's psychological evaluation, dated 03/15/23 and located in EMR Miscellaneous tab, revealed diagnoses which included PTSD, old cerebral infarct (stroke), and septic encephalopathy (abnormal brain function). Resident anxious to go home but feels that her sister does not want her to come home. The resident is showing improvement since last evaluation 11/22. Resident currently on Lexapro [antidepressant] and does not want to change the medication since the resident is showing some improvement.
Review of R76's Care Plan, dated 03/20/23 and located in the EMR Care Plans tab, revealed interventions for depressive behaviors but did not address the resident's PTSD diagnosis and/or and triggers.
2. Observation on 04/04/23 at 11:53 AM revealed R159 smoking outside in the smoking area. The resident maintained his own smoking materials. R159 was sitting in his wheelchair with both legs elevated. The resident had an ace wrap dressing on both feet.
Review of R159's admission Record, located in the EMR Profile tab, documented the resident was admitted to the facility on [DATE] with diagnoses that included an unspecified foot wound.
Review of the resident's admission MDS with an ARD of 03/06/23, located in the EMR MDS tab, documented a BIMS score of 15 out of 15 which indicated R159's cognition was intact. The resident was assessed to have surgical wounds.
Review of the monthly physician's orders, located in the EMR Orders tab, documented the resident was to have dressings to both feet.
Review of the resident's Smoking assessment, dated 02/27/23 and located in the EMR Assessments tab, documented the resident could smoke with supervision.
Review of the resident's Care Plan, dated 2/27/23 located in the EMR Care Plans tab, revealed the care plan did not address the physician ordered wound care or smoking interventions for R159.
Interview with the Licensed Practical Nurse (LPN) 4 on 04/06/23 at 11:10 AM revealed that she was responsible for developing and revising the resident care plans. LPN 4 acknowledged care plans were not developed to reflect R76's diagnosis of PTSD or R159's smoking and wound care.
NJAC 8:39-11.2(e)
CONCERN
(D)
Potential for Harm - no one hurt, but risky conditions existed
Deficiency F0657
(Tag F0657)
Could have caused harm · This affected 1 resident
Based on observations, record review, interview, and review of facility policy, the facility failed to revise care plans for one resident (Resident (R)64) out of a total sample of 47 residents.
Findi...
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Based on observations, record review, interview, and review of facility policy, the facility failed to revise care plans for one resident (Resident (R)64) out of a total sample of 47 residents.
Findings include:
Observation 04/06/23 at 2:10 PM revealed R64 lying on a low air mattress with bolster pads on the sides to prevent entrapment. The head of bed (HOB) was elevated 45 degrees. Tube feeding of 2 Cal HN (name of tube feeding formula) was hanging with the pump turned off with 100cc (cubic centimeters) of formula remaining. R64 was observed wearing a heel lift boot in bed.
Review of R64's admission Sheet, located in the EMR Profile tab, documented the resident was admitted with diagnoses that included dysphagia (difficulty swallowing), right below the know amputation (BKA), and type II diabetes mellitus.
Review of the resident's Medicare five-day Minimum Data Set (MDS) with an Assessment Reference Date (ARD) of 03/16/23, located in the EMR MDS tab, documented a BIMS score of one out of 15 which indicated R64 had severely impaired cognition. R64 was dependent on staff for all activities of daily living, was malnourished and required enteral tube feedings, and had pressure ulcers.
Review of the monthly Physicians Orders, in the EMR Orders tab, revealed R64 was to be NPO (nothing by mouth); wear heel lift boot to left foot; and enteral tube feeding of Two Cal HN (calorie and protein dense nutrition supplement) at 60 centimeters (cc) each hour for 12 hours.
Review of the resident's Care Plan, dated 03/21/23 in the EMR Care Plans tab, documented R64 was receiving a mechanically altered renal diet with nectar thick liquids in addition to the tube feeding. The care plan identified the resident had pressure ulcers, but it did not include the heel lift boot for the resident's left foot as an intervention to prevent further breakdown.
On 04/06/23 at 2:55 PM an interview was conducted with Licensed Practical Nurse (LPN) 4. She stated nursing was responsible for the development and revision of the care plan. LPN4 reviewed R64's care plan and agreed the care plan should have been revised to reflect the resident was no longer receiving an oral diet with thickened liquids and the use of the heel lift boot.
NJAC 8:39-11.2(h)
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, record review, and facility policy review, the facility failed to consistently implement necess...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, record review, and facility policy review, the facility failed to consistently implement necessary treatment and services to a pressure ulcer to for one of five residents (Resident (R)41) reviewed for pressure ulcers out of total sample of 47 residents
Findings include:
Review of R41's admission Record, located in the electronic medical record (EMR) under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of hemiplegia and hemiparesis (paralysis and weakness) following cerebral infarction (stroke), psychosis (out of touch with reality), severe dementia with mood disturbance, convulsions, and repeated falls.
Review of R41's quarterly Minimum Data Set (MDS) with an Assessment Reference Date (ARD) of 02/05/23 revealed a Brief Interview for Mental Status (BIMS) score of two out of 15, which indicated R41 was severely cognitively impaired, required extensive assistance from the staff for bed mobility, and was at risk of developing pressure ulcers. Further review of this MDS revealed R41 had no pressure ulcers and had a pressure reducing device on the bed and chair.
Review of R41's Care Plan, initiated 06/16/21 and located in the EMR under the Care Plan tab, listed the focus for R 41 as has potential impairment to skin integrity related to impaired mobility. The care plan listed the interventions initiated 03/06/23, as Treatment ordered by MD [Doctor of Medicine] and initiated .heel lift suspension boot to right foot at all times. The care plan was revised on 04/06/23 to indicate bilateral heel boots were to be on R41's feet at all times.
Review of R41's Physician's Orders, located in the EMR under the Orders tab, revealed orders dated 02/28/23 for boots to bilateral heels.
Review of R41's progress notes located in the EMR under the Prog Notes tab revealed no refusals by R41 to wear boots to bilateral feet.
A document titled; Podiatry Progress Notes, dated 04/03/23 and provided by Licensed Practical Nurse (LPN) 5 indicated R41 was to have pressure relief boots on at all times except during AM care.
Observation on 04/03/23 at 10:03 AM in R41's room revealed R41 was lying in bed on his back with the head of the bed elevated. R41's legs and heels were resting on the flat sheet on the mattress without the heel boots to relieve pressure. The heel boots were observed on the counter in the room.
An additional observation made on 04/04/23 at 8:45 AM in R41's room revealed R41 was lying in bed on his back with the head of the bed elevated. R41 was leaning to the right with a pillow under his right leg. The back of R41's legs and heels were resting on the flat sheet on the mattress without the heel boots to relieve pressure. The heel boots were observed on the counter in the room.
A final observation and concurrent interview on 04/06/23 at 9:40 AM in R41's room revealed R41 was lying in bed with the head of the bed elevated. R41 was leaning to the right with the back of his legs and heels resting on the flat sheet on the mattress. The heel boots were observed on the counter in the room. Certified Nursing Assistant (CNA) 5, in the room at the time of the observation, verified that she had been responsible for R41's care over the last two days on the day shift and had not placed boots on either day. Licensed Practical Nurse (LPN)5, also in R41's room at the time of the observation, stated R41 should always be wearing heel boots to prevent pressure areas.
During an interview on 04/06/23 at 12:01 PM, the Director of Nursing (DON) stated the CNAs were to apply pressure relieving devices as physician's orders specify.
Review of the facility's policy titled Pressure Ulcer Prevention, reviewed July 2018, provided by the facility, revealed All residents with pressure ulcers will receive the appropriate treatment as prescribed by a physician. To promote optimum healing of pressure ulcers.
NJAC 8:39-25.2(c)
NJAC 8:39-27.1(e)
CONCERN
(D)
Potential for Harm - no one hurt, but risky conditions existed
Accident Prevention
(Tag F0689)
Could have caused harm · This affected 1 resident
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, record review, and facility policy review, the facility failed to provide adequate monitoring a...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, record review, and facility policy review, the facility failed to provide adequate monitoring and supervision for 12 (Resident (R) 98, R36, R149, R159, R5, R99, R113, R32, R100, R102, R124, and R129) of 32 residents that required supervision per the smoking safety screen out of a total of 43 residents who smoked. The facility further failed to assess one (R129) of 42 residents that smoke.The facility failed to ensure a medication cart was locked during medication administration. The medication cart on the A 100 wing remained unlocked for 15 minutes with eye drops on top on the cart with staff members and residents passing by.
Findings include:
1. Review of R98's admission Record, located in the electronic medical record (EMR) under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of undifferentiated schizophrenia (serious mental illness of hallucinations (hearing, smelling, tasting, seeing objects not present) and delusions (firmly held beliefs not based in reality), major depressive disorder, and unspecified dementia.
Review of R98's quarterly Minimum Data Set (MDS), located in the EMR under the MDS tab, with an Assessment Reference Date (ARD) of 02/18/23, revealed the resident had a Brief Interview for Mental Status (BIMS) score of eight out of 15, indicating R98 was moderately cognitively impaired.
Review of R98's Care Plan, located in the EMR under the Care Plan tab, revealed Resident is a smoker; Interventions: Instruct resident about the facility policy on smoking: locations, times, safety concerns.
Review of R98's Smoking Safety Screen, dated 08/16/22, located in the EMR under the Assessments tab, revealed the IDTC [Interdisciplinary Team Committee] Decision - safe to smoke with supervision.
2. Review of R36's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of opioid dependence, sedative, hypnotic or anxiolytic dependence, and psychosis (out of touch with reality).
Review of R36's quarterly MDS, located in the EMR under the MDS tab, with an ARD of 12/30/22, revealed the resident had a BIMS score of 14 out of 15, indicating R36 was cognitively intact.
Review of R36's Care Plan, located in the EMR under the Care Plan tab, revealed Resident is a smoker; Interventions: Instruct resident about the facility policy on smoking: locations, times, safety concerns.
Review of R36's Smoking Safety Screen, dated 09/27/22, located in the EMR under the Assessments tab, revealed the IDTC Decision - safe to smoke with supervision.
3. Review of R149's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of traumatic hemorrhage of cerebrum (bleed into brain), unspecified, suicidal ideations, other psychoactive substance dependence.
Review of R149's quarterly MDS, located in the EMR under the MDS tab, with an ARD of 02/07/23, revealed the resident had a BIMS score of nine out of 15, indicating R149 was moderately impaired.
Review of R149's Care Plan, located in the EMR under the Care Plan tab, revealed Resident is a smoker; Interventions: Instruct resident about the facility policy on smoking: locations, times, safety concerns.
Review of R149's Smoking Safety Screen, dated 11/08/22 and located in the EMR under the Assessments tab, revealed the IDTC Decision - safe to smoke with supervision.
During an observation on 04/03/23 at 12:15 PM, R98, R36, and R149 were observed smoking in the courtyard. There were no staff observed outside at the time of this observation.
During the interview on 04/03/23 at 12:18 PM, Certified Nursing Assistant (CNA) 4 stated that the Activities department was required to monitor the residents while smoking. CNA4 confirmed there were no staff outside during this observation.
4. Review of R159's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of metabolic encephalopathy (altered brain function).
Review of R159's admission MDS, located in the EMR under the MDS tab, with an ARD of 03/06/23, revealed the resident had a BIMS that was not assessed.
Review of R159's Care Plan, located in the EMR under the Care Plan tab, revealed the absence of a smoking care plan.
Review of R159's Smoking Safety Screen, dated 02/27/23, located in the EMR under the Assessments tab, revealed the IDTC Decision - safe to smoke with supervision.
During an observation on 04/04/23 at 9:05 AM, Activities Assistant (AA) 2 stood inside the doorway of the memory care unit day room and handed cigarettes to residents as they went out to the courtyard to smoke. AA2 remained inside the facility while the residents were outside smoking. There were three residents facing away from AA2 during this observation.
During an interview on 04/06/23 at 6:54 PM, R159 stated that most of the time the staff stay on the inside of the building unless they come out to smoke.
5. Review of R5's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of dementia and schizophrenia.
Review of R5's quarterly MDS, located in the EMR under the MDS tab, with an ARD of 01/22/23, revealed the resident had a BIMS score of 13 out of 15, indicating R5 was cognitively intact.
Review of R5's Care Plan, located in the EMR under the Care Plan tab, revealed Is a smoker; Interventions: The resident requires supervision while smoking.
Review of R5's Smoking Safety Screen, dated 07/24/22 and located in the EMR under the Assessments tab, revealed the IDTC Decision - safe to smoke with supervision.
6. Review of R99's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of schizophrenia and diabetes.
Review of R99's quarterly MDS, located in the EMR under the MDS tab, with an ARD of 12/13/22, revealed the resident had a BIMS score of four out of 15, indicating R99 was severely cognitively impaired.
Review of R99's Care Plan, located in the EMR under the Care Plan tab, revealed Resident is a smoker; Interventions: Can smoke supervised in B wing courtyard with activities during smoking times.
Review of R99's Smoking Safety Screen, dated 06/14/22 and located in the EMR under the Assessments tab, revealed the IDTC Decision - safe to smoke with supervision.
7. Review of R113's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of psychotic disorder.
Review of R113's annual MDS, located in the EMR under the MDS tab with an ARD of 02/24/23, revealed the resident had a BIMS score of zero out of 15, indicating R113 was severely cognitively impaired.
Review of R113's Care Plan, located in the EMR under the Care Plan tab, revealed Resident is a smoker; Interventions: Make sure someone is directly supervising him while he smokes as he inhales the cigarette very rapidly in a couple of minutes; The resident requires supervision while smoking.
Review of R113's Smoking Safety Screen, dated 09/01/22, located in the EMR under the Assessments tab revealed the IDTC Decision - safe to smoke with supervision.
During an observation and concurrent interview with the Activity Director (AD) on 04/05/23 at 12:02 PM, R5, R36, R99, and R113 were observed smoking in the courtyard. There were no staff observed outside supervising the residents at the time of the observation. The AD and surveyor observed the residents through the activity department window, the AD director stated that her assistant was supervising them from the other side of the memory care unit door because of the exposure to secondhand smoke.
8. Review of R32's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of Parkinson's disease and schizophrenia.
Review of R32's annual MDS, located in the EMR under the MDS tab, with an ARD of 12/26/22, revealed the resident had a BIMS score of 15 out of 15, indicating R32 was cognitively intact.
Review of R32's Care Plan, located in the EMR under the Care Plan tab, revealed Resident is a smoker; Goals: The resident will not smoke without supervision through the review date.
Review of R32's Smoking Safety Screen, dated 12/27/22, located in the EMR under the Assessments tab revealed the IDTC Decision - safe to smoke with supervision.
9. Review of R100's admission Record, located in the EMR under the Profile tab revealed the resident was admitted to the facility on [DATE] with diagnoses of chronic obstructive pulmonary disease and diabetes.
Review of R100's quarterly MDS, located in the EMR under the MDS tab, with an ARD of 01/09/23, revealed the resident had a BIMS score of 15 out of 15, indicating R100 was cognitively intact.
Review of R100's Care Plan, located in the EMR under the Care Plan tab revealed: Resident is a smoker; Goals: The resident will not smoke without supervision through the review date.
Review of R100's Smoking Safety Screen, dated 01/09/23, located in the EMR under the Assessments tab, revealed the IDTC Decision - safe to smoke with supervision.
10. Review of R102's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of dementia and schizoaffective disorder.
Review of R102's quarterly MDS, located in the EMR under the MDS tab, with an ARD of 02/21/23, revealed the resident had a BIMS score of 12 out of 15, indicating R102 was moderately cognitively impaired.
Review of R102's Care Plan, located in the EMR under the Care Plan tab, revealed Resident is a smoker; Interventions: The resident requires supervision while smoking.
Review of R102's Smoking Safety Screen, dated 02/21/23, located in the EMR under the Assessments tab, revealed the IDTC Decision - safe to smoke with supervision.
11. Review of R124's admission Record, located in the EMR under the Profile tab revealed the resident was admitted to the facility on [DATE] with diagnoses of schizoaffective disorder and cerebral infarction (stroke).
Review of R124's quarterly MDS, located in the EMR under the MDS tab, with an ARD of 01/10/23, revealed the resident had a BIMS score of 14 out of 15, indicating R124 was cognitively intact.
Review of R124's Care Plan, located in the EMR under the Care Plan tab, revealed Resident is a smoker; Interventions: The resident requires supervision while smoking.
Review of R124's Smoking Safety Screen, dated 01/02/23, located in the EMR under the Assessments tab, revealed the IDTC Decision - safe to smoke with supervision.
12. Review of R129's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of diabetes and cerebral infarction.
Review of R129's annual MDS, located in the EMR under the MDS tab, with an ARD of 12/31/22, revealed the resident had a BIMS score of 12 out of 15, indicating R129 was moderately cognitively impaired.
Review of R129's Care Plan, located in the EMR under the Care Plan tab, revealed: Resident is a smoker; Goals: The resident will not smoke without supervision through the review date.
Review of R129's complete EMR and paper record revealed the absence of a Smoking Safety Screen.
During an interview on 04/06/23 at 6:53 PM, R100 stated that dayshift staff let them (residents)] out the door and watched them through the door only coming out on rare occasions. R100 stated that the evening shift guards let them (residents)out to smoke and they never come outside with them.
During an interview on 04/06/23 at 10:03 AM, CNA 5 stated that the Activities department is responsible for supervising the residents during smoke breaks.
An observation of resident smoke break made on 04/06/23 at 8:37 AM revealed seven residents in the designated courtyard smoking area without supervision. Two of the seven residents were out of view and three residents were facing away from AA1 who was observed sitting in a chair on the inside of the building behind the door of the courtyard.
During an interview with AA1 on 04/06/23 at 8:45 AM, AA1 stated she was allowed to sit on the inside of the building because of her asthma. When asked if all residents were in her line of sight, AA1 stated, No, I could not see all of them. AA1 stated that the residents with their backs facing away from the door were not in full view.
During an interview on 04/05/23 at 12:40 PM, LPN5 said that she is responsible for completing the smoking safety assessments and the expectation is for staff to be near the residents if they require supervision while smoking.
During an interview on 04/06/23 at 12:01 PM, Director of Nursing (DON) stated that the expectation is that staff must be outside with the residents during smoke breaks to make sure the residents are not burned by ashes or cigarettes.
During an interview on 04/05/23 2:15 PM, the Administrator stated the employees must remain in constant vision and near the residents during smoke breaks, however he had not mandated that the employees be outside with the residents while they smoke because the staff members that do not smoke have may have a problem with the second-hand smoke.
Review of the facility's undated policy titled, Smoking Policy, indicated, Residents of [NAME] House are permitted to smoke in the designated smoking area, with supervision at specified times.
13. An observation of medication administration on 04/05/23 at 5:06 PM revealed Licensed Practical Nurse (LPN)7 setting up medications for R87 which included combigen eye drops (gtts) and timodol eye gtt. After setting up the medications the nurse entered the resident's room leaving the medication cart unlocked with the timodol eye gtts on top of the cart. The nurse gave the resident the oral medication then went in the resident's bathroom to perform hand hygiene and don gloves to administer the resident's combigen eye gtts. At this time, the nurse was out of eyesight of her cart. While the nurse was in the room there were residents passing the hallway on their way to dinner and other staff members passing in the hallway by the unlocked medication cart. After the administering the combigen eye gtts, LPN7 entered the resident's bathroom again to remove her gloves and perform hand hygiene. Again, the unlocked medication cart was out of eyesight of LPN7. The nurse returned to cart to get resident's eye drops left on top of the cart and donned gloves to administer the second set of eye gtts. At 5:14 PM the med cart remained unlocked, and LPN 7 moved onto the next resident's room.
During an interview with LPN7 on 04/05/23 at 5:20 PM, LPN7 acknowledged that she had left the cart unlocked but she had positioned the cart in such a way that no one could tell the cart was unlocked and she felt that she could see the cart all the time that she was in the resident's room. The nurse was asked if she could see the cart while she was in the bathroom washing her hands and the nurse agreed that she could not see the cart and that she should not have left the eye drops on top of the cart.
Interview with the LPN4 on 04/06/23 at 10:45 AM revealed it was an expectation for the nurses to lock the medication cart when not in use and not leave medications (including eye drops) on top of the cart. The medication cart when administering medications must be within the nurse's eyesight. Failure to do this posed a safety concern for the residents especially those cognitively impaired residents.
Review of the facility policy titled Medication Pass, with a review date of 07/2018, instructed the staff Med cart must be visible to the nurse, or locked. The narcotic drawer must be locked Medications should never be left on top med cart.
NJAC 8:39-27.1(a)
CONCERN
(D)
Potential for Harm - no one hurt, but risky conditions existed
Deficiency F0760
(Tag F0760)
Could have caused harm · This affected 1 resident
Based on observation, record review, interview, and review of facility policy, the facility failed to ensure one resident (Resident (R) 6) of eight residents observed during medication administration ...
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Based on observation, record review, interview, and review of facility policy, the facility failed to ensure one resident (Resident (R) 6) of eight residents observed during medication administration received the correct insulin and dosage according physicians' orders. This failure has the potential for R6 to experience either hypoglycemic (low blood sugar) or hyperglycemic (high blood sugar) readings.
Findings include:
During medication pass on 04/05/23 at 4:50 PM Registered Nurse (RN)1 performed a glucose reading on R6. RN1 stated the reading was 290 and according to the physician's orders the resident was on sliding scale coverage. The resident was to receive 10 units of Lispro with the evening meal. And according to the sliding scale the resident was to receive an additional 4 units of the Lispro Insulin which R6 would receive a total 14 units of Lispro Insulin. RN1 drew up 14 units of Lispro Insulin and administered to R6's left arm subcutaneously (subq).
Review of the resident's Physicians Orders, located in the electronic medical record (EMR) Orders tab, revealed orders for accucheck (fingerstick blood glucose test) before meals for diabetes mellitus. Call the physician if blood glucose is less than 70 or over 250. For insulin coverage the resident was to receive Novolog solution (Insulin Aspart) 20 units subq before meals, hold if blood glucose is less than 110.
The nurse did not notify the physician of R6's abnormal glucose reading.
In an interview 04/06/23 at 10:45 AM the Licensed Practical Nurse (LPN) 4 stated resident was not on sliding scale insulin coverage for meals and according to MD's orders the resident should have received Novolog 20 units before the evening meal. LPN4 stated the resident received the wrong insulin coverage.
Review of facility's undated policy titled Insulin Administration directed staff to .Check the blood glucose per physician order or facility protocol Check to order for the amount of insulin ordered.
NJAC 8:39-29.2(d)
CONCERN
(D)
Potential for Harm - no one hurt, but risky conditions existed
Deficiency F0919
(Tag F0919)
Could have caused harm · This affected 1 resident
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, record review and policy review, the facility failed to ensure one (Resident (R) 68) of 47 samp...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, record review and policy review, the facility failed to ensure one (Resident (R) 68) of 47 sampled residents had a functioning call light system.
Findings include:
Review of R68's admission Record, located in the electronic medical record (EMR) under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of dementia and diabetes.
Review of R68's quarterly Minimum Data Set (MDS) with an Assessment Reference Date (ARD) of 01/25/23, revealed the resident had a Brief Interview for Mental Status (BIMS) score that was not assessed due to cognitive impairment.
During an observation on 04/03/23 at 12:52 PM and 04/04/24 at 8:34 AM, R68's call light outlet was observed with no call light cord attached. There was no call light cord observed in the room.
During a concurrent observation and interview on 04/05/23 at 12:30 PM, the Maintenance Director (MD) observed the call light outlet with the surveyor and confirmed the call light cord was not present in the room. The MD stated that staff report environmental issues by writing them in a binder located at the nurses' station and he was unaware of R68's call light not functioning.
During an interview on 04/06/23 at 9:44 AM, Licensed Practical Nurse (LPN) 5 stated that the issue with R68's call light had not been reported and she was unaware that the call light had been broken from the outlet. LPN5 explained that call light issues are reported to maintenance via the maintenance log that is located at the nurses' station.
Review of an Abigail House Maintenance Log, provided by LPN5, revealed no documentation that staff reported R68's nonfunctioning call light.
During an interview on 04/06/23 at 12:01 PM, the Director of Nursing (DON) stated she expected the call lights to be functioning and that the staff are to inform maintenance of any nonfunctional call lights.
During an interview on 04/05/23 at 2:15 PM, the Administrator stated he expected the call lights to be available to all residents and to function properly.
Review of the facility's policy titled, Answering the Call Light, reviewed July 2018, indicated, Be sure that the call light is plugged in at all times. This policy further indicated, Report all defective call lights to the nurse supervisor promptly.
NJAC 8:39-31.8(c)9
CONCERN
(E)
Potential for Harm - no one hurt, but risky conditions existed
Deficiency F0558
(Tag F0558)
Could have caused harm · This affected multiple residents
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, record review, and policy review, the facility failed to ensure a call light was within reach f...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on observation, interview, record review, and policy review, the facility failed to ensure a call light was within reach for four of four residents (Resident (R) 14, R41, R65, R68) reviewed for call lights out a total sample of 47 residents.
Findings include:
1. Review of R14's admission Record, located in the electronic medical record (EMR) under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of hemiplegia and hemiparesis (paralysis and weakness) following unspecified cerebrovascular disease (stroke) affecting left non-dominant side.
Review of R14's quarterly Minimum Data Set (MDS) with an Assessment Reference Date (ARD) of 01/18/23 revealed the resident required limited assistance with bed mobility and transfers and extensive assistance with dressing, toileting, and personal hygiene. Further review revealed a Brief Interview for Mental Status (BIMS) score of 12 out of 15 indicating R14 was cognitively intact.
Review of R14's Care Plan, initiated 08/06/16, located in the EMR under the Care Plan tab, revealed: Resident is at risk for falls; Intervention: Keep call light and most frequently used personal items within reach.
During a concurrent observation and interview on 04/03/23 at 12:50 PM, R14 was observed lying in bed, unable to reach call light. R14 appeared unshaven, and stated he would like to be helped with shaving.
During an additional observation and interview on 04/04/23 at 8:42 AM, R14 was lying in bed, unable to reach the call light. R14 stated he needed to shave but would have to wait until he could get some help when the staff made rounds.
2. Review of R41's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of hemiplegia and hemiparesis following cerebral infarction, and repeated falls.
Review of R41's quarterly MDS with an ARD of 02/05/23 revealed the resident had a Brief Interview for Mental Status (BIMS) score of two out of 15, which indicated the resident was severely impaired and the resident required extensive assistance from the staff for bed mobility and dressing and was total dependent on the staff for personal hygiene, toileting, and transfers.
Review of R41's Care Plan, initiated 03/08/23 and located in the EMR under the Care Plan tab, revealed: Resident is at risk for falls; Intervention: Be sure the resident's call light is within reach and encourage the resident to use it for assistance as needed. The resident needs prompt response to all requests for assistance.
During an observation on 04/03/23 at 10:03 AM, R41 was lying in bed, unable to reach the call light that was wrapped around the bedrail on the right side of the bed.
During an observation and interview on, 04/03/23 at 2:58 PM, R41 was observed sitting in a chair on the left side of the bed. R41's personal items and the call light were hanging on the opposite side of the bed completely out of reach. Interview with R41 revealed he could not find or reach the call light.
During an additional observation on 04/04/23 at 8:45 AM, R41 was observed lying in bed, with the call light hanging by the bed out of reach.
During a concurrent observation and interview on 04/05/23 at 8:36 AM, R41 was observed lying in bed with the call light out of reach. R41 stated that he could not reach the call light. The surveyor placed the call light within reach and R41 was able to demonstrate the ability to press the call light upon request.
3. Review of R65's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of dysphagia (difficulty swallowing) following cerebral infarction (stroke), chronic kidney disease, diabetes mellitus, and asthma.
Review of R65's annual MDS with an ARD of 03/12/23 revealed the resident required extensive assistance from the staff for bed mobility and was totally dependent on the staff for dressing, eating, toileting, and transfers. Further review revealed no BIMS due to the resident being rarely/never understood.
Review of R65's Care Plan, initiated 09/11/19 located in the EMR under the Care Plan tab, revealed: communication problem r/t [related to] aphasia [difficulty speaking]; Intervention: Ensure/provide a safe environment: Call light in reach.
During an observation on 04/03/23 at 9:47 AM, R65 was observed lying in bed, the call light cord was lying on the floor along the wall behind the bed.
During an additional observation and interview on 04/04/23 at 8:29 AM, R65 was lying in bed, the call light cord remained on the floor alongside the wall behind the bed. R65 could not find or reach the call light. When asked how to get in touch with the staff for assistance, R65 indicated, They [staff] come in here.
During an observation and interview on 04/05/23 at 8:36 AM, R65 was lying in bed with the call light cord hanging on the bedrail on the right side of the bed which was R65's weak side due to a stroke. The surveyor placed the call light within reach and R65 was able to press the call light upon request.
During an additional observation and interview on 04/06/23 at 9:27 AM, R65 was lying in bed with the call light cord hanging on the bedrail on the right side of the bed. R65 was unable to reach the call light.
4. Review of R68's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of hemiplegia and hemiparesis following cerebral infarction affecting right dominant side, dementia, and diabetes mellitus.
Review of R68's quarterly MDS with an ARD of 01/25/23 revealed the resident required extensive assistance from the staff for bed mobility, dressing and eating and was totally dependent on the staff for toileting, and transfers. Further review revealed no BIMS score due to R68 being rarely/never understood.
Review of R68's Care Plan, initiated 11/16/20 located in the EMR under the Care Plan tab, revealed the resident is: at risk for falls; Intervention: Ensure that call bell is within easy reach.
During an observation on 04/03/23 at 9:59 AM, R68 was observed lying in bed with no available call light to call for assistance. The call light outlet was observed with no call light cord attached. There was no call light cord observed.
During additional observations on 04/03/23 at 12:52 PM, and 04/04/23 at 8:34 AM, R68 was observed lying in bed without access to a call light. There was no call light cord observed.
During a concurrent observation and interview on 04/05/23 at 8:36 AM, R68 was observed lying in bed, no call light available. Utilizing the call light cord of the adjacent bed, the surveyor requested R68 to press the call light. R68 was able to press the call light.
During a concurrent observation and interview on 04/05/23 at 12:30 PM, the Maintenance Director observed the call light outlet with the surveyor and confirmed the call light cord was not present in the room.
During an interview on 04/06/23 at 9:44 AM Licensed Practical Nurse (LPN) 5 stated she was unaware of the call light cord missing. LPN5 stated that all residents should have and be able to reach their call lights.
During an interview on 04/06/23 at 12:01 PM, the Director of Nursing stated that the expectation is that all residents have a call light within reach.
During an interview on 04/05/23 at 2:15 PM, the Administrator stated that the expectation is that the residents have a call light available and within reach.
Review of policy titled Answering the Call Light, reviewed July 2018, revealed .be sure that the call light is plugged in at all times. When the resident is in the bed or confined to a chair be sure the call light is within easy reach of the resident.
NJAC 8:39-4.1(a)11
CONCERN
(E)
Potential for Harm - no one hurt, but risky conditions existed
Deficiency F0574
(Tag F0574)
Could have caused harm · This affected multiple residents
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview, observation, and record review, the facility failed to ensure information on the role of the State Ombudsman...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview, observation, and record review, the facility failed to ensure information on the role of the State Ombudsman as an advocate was provided for three of three residents (Resident (R) 79, R46, and R88) reviewed in a total sample of 47 residents. This deficient practice resulted in the potential for lack of access to the State Ombudsman Advocacy Group.
Findings include:
1.Review of R79's admission Record, located in the electronic medical record (EMR) under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diabetes mellitus, hypertension, and acute kidney failure.
Review of R79's quarterly Minimum Data Set (MDS), located in the EMR under the MDS tab, with an Assessment Reference Date (ARD) of 03/09/23, revealed the resident had a Brief Interview for Mental Status (BIMS) score of 15 out of 15, indicating R79 was cognitively intact.
During an interview on 04/04/23 at 1:55 PM, R79 stated that he had been the Resident Council President of the facility for a year and a half. R79 was not aware that the facility had an ombudsman/resident advocate. Furthermore, R79 was not familiar with what an ombudsman was or who the facility's ombudsman was. He stated during his time as the Resident Council President, the ombudsman had not been to a resident council meeting, nor had he spoken with the ombudsman. R79 was unaware of how to contact the ombudsman.
2. Review of R46's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diabetes mellitus, hypertension, and major depressive disorder.
Review of R46's quarterly MDS, located in the EMR under the MDS tab, with an ARD of 03/05/23, revealed the resident had a BIMS score of 14 out of 15, indicating R46 was cognitively intact.
During an interview on 04/06/23 at 11:45 AM, R46 stated that she attended resident council meetings regularly and was not aware that the facility had an ombudsman/resident advocate. R46 was not familiar with what an ombudsman was or who the facility's ombudsman was. R46 was unaware of how to file a formal grievance with the ombudsman.
3. Review of R88's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facility on [DATE] with morbid obesity, hypertension, and schizoaffective disorder (severe mental illness of hallucinations (seeing, hearing, smelling, tasting things not real) and delusions (firmly held beliefs not based on reality).
Review of R88's quarterly MDS, located in the EMR under the MDS tab, with an ARD of 01/14/23, revealed the resident had a BIMS score of 15 out of 15, indicating R88 was cognitively intact.
During an interview on 04/06/23 at 11:55 AM, R88 stated that she attended resident council meetings regularly and was not aware that the facility had an ombudsman/resident advocate. R88 was unaware of how to file a formal grievance with the ombudsman. R88 was not familiar with what an ombudsman was or who the facility's ombudsman was.
During an interview on 04/05/23 2:15 PM, the Administrator stated the residents should be aware of how to file a grievance with the ombudsman and have access to the ombudsman's contact information.
NJAC 8:39-4.1(a)33
CONCERN
(E)
Potential for Harm - no one hurt, but risky conditions existed
Deficiency F0575
(Tag F0575)
Could have caused harm · This affected multiple residents
Based on observation and staff interviews, the facility failed to post in prominent locations the contact information for the Office of the State Long-Term Care Ombudsman program to include the name o...
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Based on observation and staff interviews, the facility failed to post in prominent locations the contact information for the Office of the State Long-Term Care Ombudsman program to include the name of the ombudsman, business address (mailing and email) and business number to ensure residents and resident representative were able to file a complaint. The resident census was 164 on the first day of survey.
Findings include:
Observations by five surveyors of the facility's lobby, hallways, resident units, and common areas of all three units throughout the entirety of the survey from 04/03/23 through 04/06/23, revealed the absence of postings of the contact information for the Office of the State Long-Term Care Ombudsman program.
During an interview on 04/05/23 at 12:05 PM, the Activities Director (AD) confirmed the above required information was not posted. The AD stated that the ombudsman contact information posting had been removed during facility renovations in December 2022.
During an interview on 04/05/23 at 2:15 PM, the Administrator stated the ombudsman posting had been removed during the renovations.
NJAC 8:39-4.1(a)35
CONCERN
(E)
Potential for Harm - no one hurt, but risky conditions existed
Grievances
(Tag F0585)
Could have caused harm · This affected multiple residents
Based on interviews, record review, and policy review, the facility failed to make prompt efforts to resolve grievances, document evidence of investigations and resolutions for five of 12 grievances p...
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Based on interviews, record review, and policy review, the facility failed to make prompt efforts to resolve grievances, document evidence of investigations and resolutions for five of 12 grievances provided by the facility for review. Additionally, the facility failed to discuss the resolution or lack thereof with residents and family members.
Findings include:
Review of documents titled, Resident Concern Report, provided by the Director of Social Work (SSD) 2 from a binder located in her office, revealed five resident concern reports without resolution statements, documentation of the date that the grievance was turned over to the Social Work Department, the date the grievance with either resolved or unresolved, and/or if the resolution or the lack thereof was discussed with the resident or family.
During an interview on 04/04/23 at 2:48 PM with the SSD1, she stated the grievances that are heard by the social workers are written up on a concern form and sent to the department manager of which the grievance correlates. SSD1 stated that the department managers follow up on their own grievances. SSD1 stated that she does not maintain a grievance log.
During an interview on 04/04/23 at 3:00 PM, SSD2 stated, I write up the grievances that are given to me and pass them along to the department that they belong to, and I give the Administrator a copy. SSD2 also stated that the Activity Director (AD) also takes grievances. SSD2 stated that she does not maintain a grievance log.
During an interview on 04/05/23 at 12:05 PM, the AD stated that the department managers maintain and follow up with resident grievances. She stated that any grievances heard in the resident council meetings are taken to the department meetings and distributed to the appropriate manager for that grievance.
During an interview on 04/06/23 at 11:56 AM, the Director of Nursing (DON) stated that the social workers document all grievances on a concern report and the facility investigates the grievance until a resolution is reached. The DON stated that any of the department managers could be responsible for following up on grievances, depending on the type of complaint. The DON stated the grievance officers in the facility are the social workers.
During an interview on 04/05/23 at 2:15 PM, the Administrator stated that the social workers are the grievance officers for the facility, they should follow up on all grievances, and maintain a grievance log.
Review of facility policy titled, Resident Grievances/Resolutions-Use of the Concern Report, reviewed July 2018, indicated When a concern is resolved, the Social Worker will notify all departments involved of the resolution by distributing a copy of the resolution statement on the concern report form. The completed form is kept on file in a notebook with Social Services. The grievance forms are kept for 3 years. Notification of final outcome in written form will be given to the individuals filing the complaint by the social worker or designee. If a concern has not been resolved in a reasonable amount of time, the Social Worker will reexamine the situation and make a second attempt at the process.
NJAC 8:39-4.1(a)35
NJAC 8:39-13.2(c)
CONCERN
(E)
Potential for Harm - no one hurt, but risky conditions existed
PASARR Coordination
(Tag F0644)
Could have caused harm · This affected multiple residents
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** 2. Review of R34's undated Face Sheet, located in the electronic medical record (EMR) under the Face Sheet tab revealed the resi...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** 2. Review of R34's undated Face Sheet, located in the electronic medical record (EMR) under the Face Sheet tab revealed the resident was admitted to the facility on [DATE], a readmission date of 02/24/22, with diagnoses including multiple sclerosis, and dementia. Further review of the resident's face sheet revealed the diagnoses of schizoaffective disorder depressive type was added on 03/14/23.
Review of R34's Level One Nursing Pre-admission Screening for Mental Illness/Mental Retardation or Related Condition, dated 11/02/10, located in the resident's EMR under the Documents tab revealed, Section B: Level One Screening Criteria for Serious Mental Illness: 2. Has this person ever been diagnosed as having a major mental health disorder: No [no was selected]. Further review of R34's entire EMR revealed there was no additional documented evidence of a PASARR assessment being completed after the diagnoses of schizoaffective disorder was added to the resident's overall diagnoses on 03/14/23.
During an interview on 04/05/23 at 9:09 AM, the Social Services Director (SSD)1 stated, she was unaware a new PASARR Level I was required to be completed for a new major mental diagnosis. She stated that she is not made aware when residents receive new mental diagnoses from physicians. When PASARR's are received from hospitals they are downloaded and filed.
During an interview on 04/05/23, at 11:23 AM, LPN 3 stated, any information about a new mental diagnosis for a resident would be passed on to social services in a morning meeting.
During an interview on 04/05/23, at 11:45 AM the Administrator said PASARR screenings are completed by hospital staff and sent in the resident's admission paperwork. He said this information is filed. He did not know the information should be reviewed or updated when there are new diagnoses.
3. Review of R141's admission Record, located in the Profile tab of EMR revealed R141 was admitted to the facility on [DATE] with diagnoses that included post-traumatic stress disorder, unspecified lack of expected normal physiological development in childhood, undifferentiated schizophrenia, and other psychoactive substance abuse.
Review of R141's Pre-admission Screening and Resident Review (PASARR), dated 07/13/21 and provided by the facility, revealed a check of no to whether R141 had a diagnosis of a major mental illness.
During an interview with the Social Services Director (SSD) 2 on 04/06/2023 at 12:22 PM the SSD2 stated when residents are admitted with a PASARR screen from the hospital, it is reviewed to see if it is positive or not. SSD2 stated the PASARRs are not reviewed for accuracy. Once it is determined whether they are positive or negative (whether a level II screen is required), we don't ever look at them again.
During an interview with the Administrator on 04/05/23 at 3:18 PM, the Administrator stated the PASARR comes with the admission paperwork for the resident and is filed in the chart. There is no process to review the form, it goes in the file. The Administrator further stated that he did not know if a new PASARR is needed when the resident has a new major mental diagnosis, or if or how that is communicated to Social Services.
Review of the undated policy provided by the facility titled Preadmission Screening and Annual Resident Review (PASARR) Policy revealed, It is the policy to screen all potential admissions on an individualized basis. As part of the preadmission process, the facility participates in the Preadmission Screening and Resident Review (PASARR) screening process (Level I) for all new and readmissions per requirement to determine if the individual meets the criterion for mental disorder (SMI/SMD), intellectual disability (ID) or related condition.
Based upon the Level I screen, the facility will not admit an individual with a mental disorder or intellectual disability until the Level Il screening process has been completed and the recommendations allow for a nursing facility admission and the facility's ability to provide the specialized services determined in the Level Il screen.
NJAC 8:39-5.1(a)
Based on interview and record review, the facility failed to complete Pre-admission Screening and Resident Review (PASRR) Level 1 Screenings accurately and/or with new major mental illness diagnoses for three (Resident (R) 152, R34, and R141) of 47 sampled residents.
Findings include:
1. Review of R152's admission Record, located under the Profile tab of the electronic medical record, revealed R152's principal admitting on diagnosis on 09/23/22 was schizoaffective disorder.
Review of R152's Pre-admission Screening and Resident Review (PASRR) Level 1 Screen, dated 09/28/22 and located under the Misc tab of the EMR, indicated, . Does the individual have a diagnosis or evidence of a major mental illness limited to the following disorders . schizoaffective . The form was marked No and signed by Director of Social Work (SSD) 1.
During an interview on 04/05/23 at 9:00 AM, SSD1 verified she had completed the Level 1 PASRR screening for R152. SSD1 stated she had obtained the diagnoses to complete the form from R152's admission Record. SSD1 reviewed R152's admission Record and stated she was just seeing R152 had a diagnosis of schizoaffective disorder on admission. SSD1 stated she would have to redo the PASRR Level 1 Screen for R152. SSD1 stated she did not know what the facility's policy was for completing or reviewing PASRR screenings.
During an interview on 04/05/23 at 3:18 PM, the Administrator stated there was no policy on reviewing PASRR forms. The Administrator stated the forms were completed and placed in the residents' files.
CONCERN
(E)
Potential for Harm - no one hurt, but risky conditions existed
ADL Care
(Tag F0677)
Could have caused harm · This affected multiple residents
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** 2. Review of R41's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facilit...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** 2. Review of R41's admission Record, located in the EMR under the Profile tab, revealed the resident was admitted to the facility on [DATE] with diagnoses of hemiplegia and hemiparesis (paralysis and weakness) following cerebral infarction (stroke), and repeated falls.
Review of R41's quarterly MDS with an ARD of 02/05/23 revealed the resident had a Brief Interview for Mental Status (BIMS) score of two out of 15, which indicated R41 was severely cognitively impaired and was totally dependent on the staff for personal hygiene.
Review of R41's Care Plan, initiated 05/03/21 and located in the EMR under the Care Plan tab, revealed: R 41 requires extensive assist with daily bathing, dressing and hygiene; Intervention: R41 will need extensive assist of . hygiene.
During an observation and interview on, 04/03/23 at 10:03 AM, R41 was observed appearing unshaven. R41 indicated to the surveyor that he would like a shave but would need assistance. R41's nails were observed dirty, with a dark brown substance underneath the nails and around the nail beds.
During an additional observation on 04/04/23 at 8:45 AM, R41 was observed lying in bed, appearing unkempt, remaining unshaven, wearing a hospital-type gown that was stained and appeared dirty. R41 reported that he had not received assistance with shaving or bathing.
On 04/06/23 at 9:40 AM, Licensed Practical Nurse (LPN)5 and Certified Nursing Assistant (CNA)5 both verified R41's nails were long and dirty.
3. Review of R65's admission Record, located in the EMR under the Profile tab revealed the resident was admitted to the facility on [DATE] with diagnoses of dysphagia (difficulty swallowing) following cerebral infarction, chronic kidney disease, diabetes mellitus, and asthma.
Review of R65's annual MDS with an ARD of 03/12/23 revealed the resident was totally dependent on the staff for personal hygiene. Further review revealed no BIMS score due to not being able to assess R65 due to her impaired cognition.
Review of R65's Care Plan, initiated 09/11/19 and located in the EMR under the Care Plan tab, revealed: has a Self-Care Deficit r/t CVA [stroke] with right side weakness/contracture of
upper extremity; Goal: To be dressed appropriately, well-groomed, and comfortable daily .
During an observation on 04/03/23 at 9:47 AM, R65 was observed lying in bed, appearing unkempt, wearing a hospital-type gown that was stained and appeared dirty.
During an observation and interview on 04/04/23 at 8:29 AM, R65 was observed lying in bed, her hair appearing disheveled as it had the day before. R65 stated that staff had not assisted her with her hair.
During an observation on 04/05/23 at 8:36 AM, R65 was observed lying in bed, with her hair disheveled, appearing the same as it had the day before.
During an additional observation and interview on 04/06/23 9:27 AM in the resident's room, R65's hair remained disheveled as it had been during the entirety of the survey from 04/03/23 through 04/06/23. When asked how long it had been since the staff had helped her with her hair, R65 held up two fingers and whispered two weeks.
During an observation on 04/06/23 at 5:22 PM, R65 was observed sitting in a wheelchair at the nurse's station, outside of the dayroom. R65's hair was combed and styled. When R65 was asked if she felt better with her hair nice and neat, she smiled and nodded her head to indicate yes.
During an interview on 04/05/23 at 12:42 PM, LPN 5 stated the CNAs are to assist with resident's daily care. LPN5 stated the CNAs are to make sure the residents are bathed, hair washed and clean, and nails are clean.
During an interview on 04/06/23 at 12:01 PM, the Director of Nursing (DON) stated the expectation of the staff is to assist the residents with personal hygiene and grooming care. The DON stated residents are to have clean clothing, be groomed, shaved if they prefer, with their nails trimmed and clean, and their hair clean and neat.
NJAC 8:39-27.2(g)
Based on observation, interview, record review, and policy review, the facility failed to provide assistance with nail care, facial grooming, and/or hair care for three (Resident (R) 30, R41, and R65) of 47 sampled residents.
Findings include:
1. Review of R30's admission Record, located under the Profile tab of the electronic medical record (EMR) revealed R30 was admitted with diagnoses that included diabetes mellitus.
Review of R30's quarterly Minimum Data Set (MDS), with an Assessment Reference Date (ARD) of 01/03/23, located in the EMR under the MDS tab, revealed R30 had a Brief Interview for Mental Status (BIMS) score of 14 out of 15, which indicated R30 was cognitively intact. The MDS indicated R30 required limited assistance of one staff member for personal hygiene.
Review of R30's Care Plan, last revised 03/23/23 and located under the Care Plan tab of the EMR, indicated R30 had a problem related to renal insufficiency and staff was to assist R30 with activities of daily living, as necessary.
Review of R30's Treatment Records, dated March 2023 and April 2023 and located under the Orders tab of the EMR, revealed no documentation of nail care for R30.
Review of R30's Task Records, dated March 2023 and April 2023 and located under the Tasks tab of the EMR, revealed no documentation of nail care for R30.
During a concurrent interview and observation on 04/03/23 at 10:52 AM, R30's fingernails on the left third, fourth, and fifth fingers were observed to extend approximately 0.25 inches past the tip of his fingers. The fingernail on R30's left thumb extended approximately 0.50 inches past the tip of the finger. R30's fingernails on his right hand extended approximately 0.25 inches past the tip of the fingers. R30 stated he did not like his nails being so long and he had asked for the nails to be trimmed but staff told him they could not trim them.
During an interview on 04/05/23 at 3:22 PM, Certified Nurse Aide (CNA) 1 stated the CNAs could not clip R30's nails because he was a diabetic. CNA1 stated clipping R30's nails would be the responsibility of the nurse.
During an interview on 04/05/23 at 3:27 PM, Licensed Practical Nurse (LPN) 7 stated nurses were responsible for completing nail care for R30 and she did not know the last time R30's nails had been clipped. LPN7 stated she had recently asked R30 if she could clip his nails, but he had refused.
During an observation on 04/05/23 at 3:33 PM, LPN7 was asked to confirm the length of R30's nails. LPN7 removed nail clippers from the medication cart and entered R30's room. Without speaking, R30 stretched out his right hand so his nails could be clipped. LPN7 confirmed the nails should not be left to grow to that length for R30.
During an interview on 04/06/23 at 5:24 PM, the Assistant Director of Nursing (ADON) stated the expectation was for staff to complete nail care as needed.
Review of the facility's policy titled, Nail Care Policy, revised July 2018, revealed, . All residents at [NAME] House will receive proper nail care as part as [sic] their daily care, as appropriate .
CONCERN
(E)
Potential for Harm - no one hurt, but risky conditions existed
Unnecessary Medications
(Tag F0759)
Could have caused harm · This affected multiple residents
Based on observation, record review, interview and review of facility policy, the facility failed maintain a medication error rate below five percent. Out of 37 opportunities there were five errors/om...
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Based on observation, record review, interview and review of facility policy, the facility failed maintain a medication error rate below five percent. Out of 37 opportunities there were five errors/omissions occurred during medication administration on one (A Wing) of three wings. The facility's medication error rate was 13.51%
Findings include:
Observation of medication passes throughout the facility on 04/04/23 and 04/05/23 revealed the following medication errors or omissions:
1. On A Wing 04/05/23 at 4:37 PM revealed Registered Nurse (RN)1 setting up medications for R92.
A review of R92's physician orders located in the electronic medical records (EMR) Orders tab documented the resident was to receive cyclobenzaprine HCl Oral Tablet 10 milligrams (mg.) for muscle spasm.
The resident did not receive the cyclobenzaprine for muscle spasm during the medication observation.
Interview on 04/05/23 at 5:40 PM, RN1 verified she did not give the Cyclobenzaprine during the medication pass because none was available in the resident's medication box.
2. Observation on A Wing on 04/05/23 at 4:50 PM revealed RN1 performed a glucose blood reading on R6. The glucose reading was 290. RN1 stated the reading was 290 and according to the physician's orders the resident was on sliding scale coverage. The resident was to receive 10 units of Lispro with the evening meal. And according to the sliding scale the resident was to receive an additional 4 units of the Lispro Insulin which the resident would receive a total of 14 units of Lispro Insulin. RN1 drew up 14 units of Lispro Insulin and placed it in the resident's left arm subcutaneously (subq).
Review of the resident's physicians orders in EMR located in the Orders tab revealed orders for accucheck before meals for diabetes mellitus. Call the physician if blood glucose is less than 70 or over 250. For insulin coverage the resident was to Novolog solution (Insulin Aspart) 20 units subq before meals, hold if blood glucose is less than 110. Also, the resident was to receive famotidine (agent to reduce stomach acid) 10 mgm two tabs twice a day (scheduled for 4:30pm); metformin (hyperglycemic agent)1000 mgm one tab; and klonopin (for seizures) .5mgm four times a day.
The nurse administered an incorrect dosage of insulin and did not notify the physician of the resident elevated blood glucose. The nurse did not administer the famotidine, metformin, and klonopin during the evening administration of medications.
In an interview 04/06/23 at 10:45 AM the Licensed Practical Nurse (LPN) 4 stated resident was not on sliding scale insulin coverage for meals and according to MD's orders the resident should have received Lispro 20 units before the evening meal. LPN4 stated the resident received the wrong insulin coverage. LPN4 also stated the nurse should have given the famotidine, metformin, and klonopin.
A review of the facility policy titled Medication Pass, with a review date of July 2018, stated, All medications will be administered with physicians' orders and in a safe manner.
NJAC 8:39-29.2(d)
CONCERN
(E)
Potential for Harm - no one hurt, but risky conditions existed
Food Safety
(Tag F0812)
Could have caused harm · This affected multiple residents
Based on observation, interview, record review, and review of facility policy, the facility failed to provide food storage in a safe and consistent manner, for one of three (Unit B) pantry refrigerato...
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Based on observation, interview, record review, and review of facility policy, the facility failed to provide food storage in a safe and consistent manner, for one of three (Unit B) pantry refrigerators, and for one of one kitchen observed for food storage. This had the potential to affect 161 of 164 residents who consumed food from the kitchen, with possible foodborne illnesses related to the sanitation of food being stored and served.
Findings include:
During the initial tour of the main kitchen on 04/03/23 at 9:17 AM, accompanied by the Dietary Manager (DM) revealed dry spices [seasoning salt and cumin] and open liquid condiments [soy sauce] that were not labeled with either a received or opened dates.
During observations of the Unit B refrigerator on 04/06/23 at 11:12 AM, revealed the second clear plastic shelf was covered with a light orange liquid substance. The refrigerator had five bottles of water, two which were opened and labeled with initials, but with no dates on them. There was leftover food in a plastic reusable container with initials and no date on top.
During an interview on 04/06/23, at 11:13 AM, Licensed Practical Nurse (LPN)1, said staff and resident items are kept in the Unit B refrigerator. She did not know who the items in the refrigerator belonged to, as there were only initials on the items. LPN1 did not know how long anything had been in the refrigerator.
During an interview on 04/06/23, at 11:24 AM, the Dietary Manager (DM) said he was unaware that dietary staff were responsible for the resident refrigerators on the unit. The DM confirmed the Unit B refrigerator was not clean, and the items were not marked properly.
During an interview on 04/06/23, at 11:48 AM, the Director of Nurses (DON) stated that all kitchen and unit refrigerators for residents should be clean, and items properly marked.
Review of the facility's undated policy titled Food Storage revealed .2. Plastic containers with tight fitting covers will be used for storing products such as grains, sugar, dried vegetables and broken lots of bulk foods. All containers must be legible and accurately labeled and dated.
Review of the facility's undated policy titled Food Brought in from Outside Sources and Personal Food Storage revealed .
5. Foods that are intended for later consumption, the designated staff will.
a. Ensure the food is in a sealed container to prevent cross contamination.
b. Label the food with the resident's name, room number and the date which the food
was brought in.
c. Determine if the food should be stored at room temperature or under refrigeration.
6. Foods that require refrigeration/freezing:
a. Ensure the food is in a sealed container to prevent cross contamination.
b. Label the food with the resident's name, room number and the date which the food
was brought in.
c. Must be stored in a refrigerator outside of the food service department .on the nursing unit or in personal refrigerators in the resident's room.
d. Food will be held in the refrigerator for three (3) days following the date on the label and will be discarded by staff upon notification to resident.
NJAC 8:39-17.2(g)
NJAC 8:39-19.7(d)
CONCERN
(E)
Potential for Harm - no one hurt, but risky conditions existed
Medical Records
(Tag F0842)
Could have caused harm · This affected multiple residents
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview, record review, and policy review, the facility failed to ensure that an admission record was completed for t...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview, record review, and policy review, the facility failed to ensure that an admission record was completed for three residents (Resident (R)18, R137, and R141) in a total sample of 47 residents.
Findings include:
1. Review of R18's 5 day scheduled Minimum Data Set (MDS), located in the electronic medical record (EMR) under the MDS tab, with an Assessment Reference Date (ARD) of 02/27/23, revealed R18 was originally admitted to the facility on [DATE] and re-admitted to the facility on [DATE] with a Brief Interview for Mental Status (BIMS) score of seven out of 15, indicating severe cognitive impairment.
2.Review of R137's quarterly MDS located in the EMR under the MDS tab, with an ARD of 02/21/23, revealed R137 was admitted to the facility on [DATE] with a BIMS score of 13 out of 15, indicating mild cognitive impairment.
3.Review of R141's quarterly MDS located in the EMR under the MDS tab, with an ARD of 02/11/23, revealed R141 was admitted to the facility on [DATE] with a BIMS score of 00 out of 15, indicating severe cognitive impairment.
During an interview with the Business Office Manager (BOM) on 04/04/23 at 5:30 PM, she stated there was no admission packet for R18 and had no further explanation for not having it.
During an interview on 04/06/23 at 9:44 AM with the Director of Admissions (DOA), a request was made for the admission agreements for R18, R137, and R141. The DOA stated no admission records existed for those residents. The DOA stated the facility's practice was that whenever a resident was unable to sign admission paperwork, and had no representative with them, there would be a statement on the folder of the resident's business file.
Review of the inside flap of R137's business folder provided by the DOA revealed a handwritten statement dated 12/07/21 as follows: medically unable to sign. No contact/phone numbers. All numbers we have on file are incorrect.
Review of the inside flap of R141's business folder provided by the DOA revealed a handwritten statement dated 08/10/21 as follows: medically unable to sign due to not having fingers on both hands from burn.
During an interview with the Social Services Director (SSD)2on 04/06/2023 at 12:22 PM, she stated R137 was virtually homeless when he arrived at the facility and unable to sign any paperwork. When asked why an agreement packet was not created for residents who are unable to sign with notation that it had been presented to the resident who was unable to sign, the SSD2 stated it would be a waste of paper.
Review of the facility's policy titled MEDICAL RECORDS POLICIES AND PROCEDURES POLICY, reviewed 07/2018, revealed: .A separate medical record shall be maintained for each resident admitted to the facility and the resident's name will be placed on all medical record forms. All physicians, nursing staff and other health care professionals involved in the resident's care will be responsible for making prompt, appropriate entries in the record and authenticating them with date, signature, and title. OBJECTIVE: To provide complete and accurate resident information for continuity of care. PROCEDURES .The resident's medical record shall contain at least the following information: .Appropriate consent forms for treatment are signed by the resident or legal representative and entered in the medical record by admission office staff.
NJAC 8:39-35.2(d)
CONCERN
(E)
Potential for Harm - no one hurt, but risky conditions existed
Deficiency F0847
(Tag F0847)
Could have caused harm · This affected multiple residents
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on record review, interviews, and policy review, the facility failed to ensure that binding arbitration agreements were ex...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on record review, interviews, and policy review, the facility failed to ensure that binding arbitration agreements were explained in a form and manner that residents understood, and failed to inform the resident that they had the right to rescind the agreement within 30 days of signing, for three residents (Resident (R)101, R103, and R152) of three residents reviewed for binding arbitration agreements out of a total sample of 47 residents
Findings include:
1. Review of R101's quarterly Minimum Data Set (MDS), located in the electronic medical record (EMR) under the MDS tab, with an Assessment Reference Date (ARD) of 01/04/23 revealed R101 was admitted to the facility on [DATE] with diagnoses that included schizophrenia, major depressive disorder, and anxiety disorder and had a Brief Interview for Mental Status (BIMS) score of 13 out of 15, indicating she was mildly cognitively impaired.
2. Review of R103's quarterly MDS, located in the electronic medical record (EMR) under the MDS tab, with an ARD of 03/04/23, revealed R103 was admitted to the facility on [DATE] with diagnoses that included dementia and paranoid schizophrenia had a BIMS score of 12 out of 15, indicating he was mildly cognitively impaired.
3. Review of R152's quarterly MDS, located in the EMR under the MDS tab, with an ARD of 12/29/22, revealed R152 was admitted to the facility on [DATE] with diagnoses that included depression and schizophrenia had a BIMS score of five out of 15, indicating she was severely cognitively impaired.
Review of binding arbitration agreements provided by the facility revealed R101 had signed a binding arbitration on 10/30/22. R103 signed a binding arbitration agreement on 09/02/22. R152 signed a binding arbitration agreement on 09/23/22 with the current admission Administrative Assistant (AA2) witnessing the signing.
During an interview with R101 on 04/06/23 at 4:37 PM, R101 stated she signed a lot of papers upon admission but did not remember. When asked if she knew what a binding arbitration agreement was, she stated they [the staff] would go over it. R101 stated she could not remember and could provide no further responses.
During the survey, R103 was unavailable for interview.
During an interview on 04/06/23 at 4:42 PM, R152 was unable to understand and give clear responses about whether he had signed a binding arbitration agreement.
During an interview with the Director of Admissions on 04/06/23 at 10:00 AM she stated her assistant was the one who explained binding arbitration agreements to the residents before they signed.
During an interview with the Admissions Administrative Assistant (AA2) on 04/06/23 at 10:20 AM she stated she had not fully read the arbitration agreement when she first started to explain it to residents. AA2 stated that after reading the agreement, she would tell residents, If you need to pursue a lawsuit against the facility then you waive your rights if you sign the paperwork. AA2 admitted she did not understand the contents of the facility's binding arbitration agreement. When asked how she could explain the contents to a resident and elicit their understanding, she admitted that she could not ensure residents understood what they were signing, yet she obtained their signature stating they understood they were giving up their right to sue the facility.
Review of the Binding Arbitration Agreement provided by the facility, revealed as follows:
.8. Miscellaneous .
(2) this Agreement may be rescinded by written notice to the Facility from the Resident within 10 days of signature. If alleged acts underlying a dispute governed by the Agreement are committed prior to the rescission date, this Agreement shall be binding with respect to such alleged acts. If not rescinded within 10 days, this Agreement shall remain in effect for all care and services subsequently rendered at the Facility, even if such care and services are rendered following the Resident's discharge and readmission to the Facility.
Review of the undated and untitled policy provided by the facility revealed:
It is the policy of the facility not to participate in any form of arbitration between the facility and the resident, resident representative.
Procedure: the facility will not initiate or require any resident or his or her representative to sign an agreement for binding arbitration as a condition of admission to, or as a requirement to continue to receive care at the facility.
During an interview with the Assistant Director of Nursing (ADON) on 04/06/23 at 3:33 PM, she stated that she had retrieved the above policy from an old policy book and did not know what a binding arbitration was.
NJAC 8:39-4.1(a)8
CONCERN
(E)
Potential for Harm - no one hurt, but risky conditions existed
QAPI Program
(Tag F0867)
Could have caused harm · This affected multiple residents
Based on interview and review of facility documentation, the Quality Assurance (QA) committee failed to identify and take corrective action related to the following quality deficiencies: 1. sanitizing...
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Based on interview and review of facility documentation, the Quality Assurance (QA) committee failed to identify and take corrective action related to the following quality deficiencies: 1. sanitizing multi-use glucometers before and after each resident; 2. binding arbitration agreements; 3. surety bond; and 4. medication administration errors.
Findings include:
1. The facility staff failed to sanitize multi -use glucometers before and after each resident increasing the risk of transmission of blood borne pathogens to residents undergoing blood sugar checks. Cross reference: F880-K Infection Control.
2. The facility failed to ensure residents understood the binding arbitration agreements prior to signing and failed to ensure residents were given a choice of a neutral arbitrator and the option to rescind the agreement within 30 days of signing. Cross reference: F847-E Entering into Binding Arbitration Agreements and F848-E Binding Arbitration Agreements.
3. The facility failed to ensure that the facility's surety bond covered all the residents in the facility. Cross reference: F570-F Surety Bond Protection of Personal Funds.
4. The facility failed to ensure that the facility was free of a medication administration error rate of 5% or more. Cross reference: F759-D Free from Medication Error Rates of 5% or More.
During an interview on 04/06/23 at 6:14 PM, Director of Nursing (DON) stated the facility was working on several performance improvement projects, none of which included the identified deficient practices.
Review of a document provided by the facility titled Quality Assurance/Quality Improvement, reviewed 07/2018, indicated . The facility develops and maintains an active, continuous quality assurance/quality improvement process that involves staff, residents, and families .
4. The program shall identify problems in the care and services provided to all residents.
5. The quality assurance committee will monitor measures or indicators that lead to improved outcomes in care, operational and financial performance, and objective data to support claims of quality .
NJAC 8:39-33.2(a)
CONCERN
(F)
Potential for Harm - no one hurt, but risky conditions existed
Deficiency F0570
(Tag F0570)
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 have a surety bond in an amount large enough to cover the highest d...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** Based on interview and record review, the facility failed to have a surety bond in an amount large enough to cover the highest daily balance of the residents' trust fund account. This had the potential to affect 164 of 164 residents whose trust fund monies were held by the facility.
Findings include:
Review of the Resident Fund Trust Account bank statement, for the period of [DATE] through [DATE], revealed the lowest daily balance for the period was $202,548.31 on [DATE] and the highest daily balance for the period was $278,324.65 on [DATE].
Review of the Resident Fund Trust Account bank statement, for the period of [DATE] through [DATE], revealed the lowest daily balance for the period was $275,915.65 on [DATE] and the highest daily balance for the period was $354,435.91 on [DATE].
Review of the Resident Fund Trust Account bank statement, for the period of [DATE] through [DATE], revealed the lowest daily balance for the period was $350,361.47 on [DATE] and the highest daily balance for the period was $430,027.92 on [DATE].
During an interview on [DATE] at 7:03 PM, the Business Office Manager (BOM) provided a Continuation Certificate surety bond, dated [DATE], for the residents' trust account. The certificate indicated the bond was issued in the amount of $200,000.00 on behalf of [NAME] House for Nursing and Rehabilitation in favor of the US Department of Health and Human Services for the term beginning on [DATE] and ending on [DATE]. The BOM stated the facility's comptroller, who was unavailable for interview, stated it was a continuing bond. The BOM stated she hoped there was another bond as this one was expired. The BOM verified the bond was for $200,000.00 and was not enough to cover the funds in the resident trust account on any day for the last three months.
NJAC 8:39-9.5(c)3