CRITICAL
(L)
📢 Someone Reported This
A family member, employee, or ombudsman was alarmed enough to file a formal complaint
Immediate Jeopardy (IJ) - the most serious Medicare violation
Deficiency F0728
(Tag F0728)
Someone could have died · This affected most or all residents
⚠️ Facility-wide issue
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** COMPLAINT#: NJ164590
Based on observations, interviews, medical records review, and review of other pertinent facility documenta...
Read full inspector narrative →
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** COMPLAINT#: NJ164590
Based on observations, interviews, medical records review, and review of other pertinent facility documentation on [DATE], [DATE], and [DATE], it was determined that the facility failed to ensure a process was in place and followed to ensure untrained staff without sufficient competencies were meeting the health and/or safety needs of one or more residents. Hospitality Aides (HAs), which include (Certified Home Health Aides-CHHAs and Temporary Nurses' Aides-TNAs), were competent to provide Resident care by failing to ensure: a.) HAs were enrolled in a State-approved training and competency program, and b.) a system was in place to ensure all HAs received the appropriate training and were deemed eligible to provide resident care, which included, but was not limited to, assisting residents with toilet care, bathing and turning and repositioning residents. On [DATE] at 11:28 a.m., the Surveyor observed an HA (HA #1) assist a resident (Resident #2) from the bathroom with his/her walker and then transferred the Resident from a standing position to a sitting position into a chair in the corner of the room. During an interview on [DATE] at 11:29 a.m., the HA said she had 18 residents today, all total care, and she does the same duties as the Certified Nursing Assistant (C.N.A.). On [DATE] at 6:42 p.m., the Surveyor observed HA #2 assisted CNA #1 with bathing when she helped reposition a resident (Resident #7) in bed.
The facility's failure to have a system in place to ensure that HAs were appropriately trained and certified to provide resident care placed all residents at risk for the likelihood that serious injury, serious harm, and death may occur, resulting in an Immediate Jeopardy situation (IJ). This placed all residents in an IJ situation. The IJ was identified and reported to the facility's Licensed Nursing Home Administrator (LNHA) and the Director of Nursing (D.O.N.) on [DATE] at 8:00 p.m. The Administrator was presented with the IJ template that included information about the issue. The IJ began on [DATE] and continued through [DATE], when the facility removed all HAs from the floor.
On [DATE], the Removal Plan was implemented. The facility implemented the Removal Plan, which included removing all uncertified aides [H.A.s] from the floor and educating all staff that uncertified aides [H.A.s] are not to be in resident care areas. So, the noncompliance remained on [DATE] as a level F for no actual harm with the potential for more than minimal harm that is not immediate jeopardy.
This deficient practice was identified for 15 Hospitality Aides (H.A.s) reviewed that provided care on 4 of 4 resident units from [DATE] through [DATE] and was evidenced by the following:
On [DATE] at 10:37 a.m., the Surveyor took a tour of the first-floor unit and requested the Assignment Sheet (AS) for the 7:00 a.m. - 3:00 p.m. shift. The AS revealed the unit 3 CNA Assignment with 3 names listed for each of the 3 hallways on the unit, including HA #1 with her own Assignment of 17 residents. At 6:23 p.m., the Surveyor took a 2nd tour of the unit and requested the AS for the 3:00 p.m.-11:00 p.m. shift for the 3 CNA Assignment, revealing 3 CNA names per hallway, to include HA #2 with her own Assignment of 20 residents.
On [DATE] at 11:28 a.m., the Surveyor observed HA #1, as noted on her employee badge, provide assistance to a Resident (Resident #2) walking from the bathroom with his/her walker across the room and provided transfer assistance from a standing position into a sitting position to a chair in the corner of the room.
On [DATE] at 6:42 p.m., the Surveyor observed HA #2 assisted CNA #1 with bathing when she helped reposition a resident (Resident #7) in bed. HA #2 was observed helping CNA #1 reposition the Resident up in bed by assisting with the chuck pad (sheet located under the Resident to help with movement) to move the Resident towards the head of the bed and also helped reposition his/her right leg during bathing.
1. According to the admission Record (AR), Resident #2 was originally admitted to the facility on [DATE] and readmitted on [DATE] with diagnoses which included but were not limited to Dysarthria Following Cerebral Infarction, Personal History of Transient Ischemic Attack (TIA) and Cerebral Infarction Without Residual Deficits and Other Abnormalities of Gait and Mobility.
According to the Minimum Data Set (MDS), an assessment tool dated [DATE], Resident # 2 had a Brief Interview of Mental Status (BIMS) score of 3/15, which indicated the Resident was severely cognitively impaired. The MDS also showed Resident #2 needed extensive assistance and one-person physical assistance with most Activities of Daily Living (ADLs), including transferring and toilet use.
2. According to the AR, Resident #7 was admitted to the facility on [DATE] with diagnoses which included but were not limited to Unspecified Thoracic, Thoracolumbar, and Lumbosacral Intervertebral Disc Disorder, Generalized Muscle Weakness, and Need for Assistance With Personal Care.
According to the MDS, an assessment tool dated Resident # 7 had a BIMS score of 15/15, which indicated the Resident was cognitively intact. The MDS also showed Resident #7 needed extensive, one-person physical assistance with most Activities of Daily Living (ADLs), including bed mobility and bathing.
On [DATE] at 3:00 p.m., the Administrator provided a list of current Hospitality Aides (H.A.s) with 9 names.
On [DATE] at 1:20 p.m., the Regional Human Resources Manager (RHRM) provided a 2nd list of Hospitality Aides/Hospitality Liaisons with 5 additional uncertified aides for a total of 14.
A review of Daily Schedule Sheets (DSS) dated [DATE] through [DATE] revealed a total of 15 uncertified aides (H.A.s) were scheduled as Nursing Assistants with their own assignments of residents on all 3 shifts on all units to work as follows:
HA #1 on the 7:00 a.m.-3:00 p.m. shift on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE] and on the 3:00 p.m.-11:00 p.m. shift on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE].
HA #2 on the 7:00 a.m.-3:00 p.m. shift on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE] and on the 3:00 p.m.-11:00 p.m. shift on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE] and [DATE].
HA #3 on the 7:00 a.m.-3:00 p.m. shift on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE] and on the 3:00 p.m.-11:00 p.m. shift on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE].
HA #4 on the 7:00 a.m.-3:00 p.m. shift on [DATE].
HA #5 on the 7:00 a.m.- 3:00 p.m. shift on [DATE] and on the 3:00 p.m.-11:00 p.m. shift on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE] and [DATE].
HA #6 on the 7:00 a.m.-3:00 p.m. shift and the 3:00 p.m.-11:00 p.m. shift on [DATE], [DATE], [DATE], [DATE] and 11:00 p.m.-7:00 p.m. on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE] and [DATE].
HA #7 on the 3:00 p.m.-11:00 p.m. shift on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE] and on the 11:00 p.m.-7:00 a.m. shift on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE].
HA #8 on the 7:00 a.m.-3:00 p.m. shift on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE] and on the 3:00 p.m.-11:00 p.m. shift on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE] and [DATE].
HA #9 on the 11:00 p.m.-7:00 a.m. shift on [DATE].
HA #10 on the 11:00 p.m.-7:00 a.m. on [DATE].
HA #11 on 3:00 p.m.-11:00 p.m. shift on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE] and on the 11:00 p.m.-7:00 a.m. shift on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE] and [DATE].
HA #12 on the 3:00 p.m.-11:00 p.m. shift on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE] and on the 11:00 p.m.-7:00 a.m. on [DATE], [DATE], [DATE], [DATE]. [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE] and [DATE].
HA #13 on the 7:00 a.m.-3:00 p.m. shift on [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE], [DATE] and [DATE].
HA #14 on the 11:00 p.m.-7:00 a.m. shift on [DATE].
A review of a timesheet for HA #15 revealed Selected Range of Dates [DATE] - [DATE] included Under Date 6/06 and 6/07 Under Schedule 7:00 a.m.-3:30 p.m. Under In, 7:00 a.m. (a.m.) and Out, 3:30 p.m. (p.m.) and Under Daily revealed, 8.0 for both dates revealing Under Amount 23.5 [hours].
During an interview on [DATE] at 11:29 a.m., HA #1 stated, I'm a Certified Home Health Aide (CHHA). I have been working since April. I usually have 18 residents, all total care on my Assignment. When the Surveyor asked if she had done any CNA classes, she replied, I haven't done any CNA classes yet; I will do them soon.
In the same interview, when the Surveyor asked her about her duties, HA #1 replied, I do the CNA duties, I provide incontinence care every 2 hours, and as [the] patient [Resident] needs it, I do showers for residents, I write my tasks on the Activities of Daily Living (ADL) sheet, I answer the call bell on this side [hallway], I provide meal assistance. I do everything a CNA does .
During an interview on [DATE] at 11:49 a.m., the Unit Manager /Registered Nurse (UM/RN) stated today that she has HA (HA #1) who is going through training. The UM/RN further stated the HA has her own Assignment. She added that each aide has a hallway assigned.
During an interview on [DATE] at 12:06 p.m., with the Nursing Supervisor (NS), in the presence of the Staffing Coordinator, she stated we use Temporary Nurses' Aides (T.N.A.s) on the floor; there are ADL Competency sheets [to be completed] and the goal is to [for them] to be enrolled in [a] CNA program.
In the same interview, the NS stated, Most of the TNAs & Hospitality Aides (HAs) are home health aides, [they] have some training, and the Registered Nurse (RN) signs off [on the training]. Hospitality Aides serve water, pass trays, assist with care, and have passed some competencies. She continued, TNA can do as much as a CNA; TNA is never on the floor by themselves. Once the TNA passes competencies, [the] CNA does not need to be in the room with the TNAs; the TNA can have their own Assignment of residents once competencies are passed based on the Unit Manager. We [the facility] are following the guidance dated [DATE].
During an interview on [DATE] at 12:46 p.m., when asked if she assisted the TNA (HA #1) working on the floor today, CNA #2 working on the day shift on the 1st floor stated that she was told by the nurse the TNA (HA #1) has been here for a couple of months, so I don't provide assistance to her.
During an interview at 12:57 p.m., CNA #3, the other CNA working on the day shift on the 1st floor, stated, Today, I did not provide assistance to the TNA (HA #1).
During an interview on [DATE] at 1:17 p.m., when the Surveyor asked her if a TNA could work alone, the RN on the 1st-floor unit stated, Yes, if [a] TNA pass[ed] competencies, they can work alone, once passed, the nurse doesn't sign off on any paperwork, [but] offer[s] help if needed.
During an interview on [DATE] at 1:57 p.m., the Unit Manager/Registered Nurse (UM/RN) stated, The nurse doesn't sign off on any competencies; the nurse educator is in charge of [the] competencies. She continued to say that the Administrator wanted [the] UM to train TNAs, but UMs had no time [to train]. The UM/RN further stated, I don't know if competencies are done; I had no idea of [a] CHHA/ [HA] on [the] floor. I thought TNAs were ready to go [work] when they arrived on the floor. Prior to the current staff educator, I don't know who trained the TNAs, [staff are] hired and [have] no official orientation to [the] company, go to [the]floor and learn on [the] floor.
In the same interview, the UM/RN stated, I felt [the] TNAs needed to be trained; I was told there'd be a CNA training here through the school here, but [it was] not initiated yet.
During an interview on [DATE] at 2:23 p.m., when asked about TNAs, the Regional Human Resources Manager (RHRM) stated, We shouldn't have any TNAs now; they should be in the CNA class or not working. Hospitality Aides (H.A.s) assist with ADLs, but no transferring. HA needs to have someone certified, CNA or nurse, with them to transfer. HA can pass trays and brush hair, but no feeding. The CHHAs are the HAs. The CHHAs need a certified person to work with them. We don't offer the CNA class here; I give the [phone] numbers to call.
In the same interview, when the Surveyor asked about who verifies the staff has required certification and knows their job duties, the RHRM replied, The Supervisor, UM, Director of Nursing (D.O.N.), Assistant Director of Nursing (ADON) or Department Head, review the job description with [the] HA and both sign off on it, and it is kept in [their] file. The staff brings proof of their certification, and the nurses follow up with them.
When the Surveyor asked about the TNA name badge, the RHRM replied, If there [was a] TNA on [the] floor, it would say TNA. If a CHHA was hired, [the] badge would say Hospitality Aide. The RHRM continued, H.A.s are supervisors, not hands-on care; they observe.
During an interview on [DATE] at 2:44 p.m., the DON stated, We hire TNA. We are in the process of having a CNA class here. We train TNAs by following CNAs, and [they] do competencies. TNAs don't have an assignment, [they] answer call light, provide ice water and pass out trays during mealtimes. Hospitality Aides do the same duties as [a] TNA; HA wants to become CNAs.
In the same interview, the DON stated, We do hire CHHAs, [they] are hired as Hospitality Aides (H.A.s) because [they] are not certified by the state to work independently. When the Surveyor asked how the nurse knew if the aide was a T.N.A. or a CNA, the DON stated, The nurse on the floor knows by the assignment sheet if the aide is a T.N.A. or CNA
In the same interview, when the Surveyor showed the DON the 2 DOH memos dated [DATE], the DON stated, Yeah, these are [the] 2 memos followed by [the] facility. [The] State will probably extend it again, and we'll be in compliance.
During an interview on [DATE] at 4:50 p.m., when the Surveyor asked her if a TNA could provide care, the Administrator replied, I believe not; TNA shadows a CNA.
In the same interview, when the Surveyor asked about the duties of the HAs and CHHAs, the Administrator stated, HA don't provide care, only ice water, and I need to check if a HA can assist a resident to the bathroom; I think a certified person, a nurse or C.N.A. [is] to do care. CHHA and HA are the same. CHHA is a HA CHHA have [their] own license but don't provide care. NA (Nursing Aides) don't have skills; I let them go [from employment]. We created HAs. We are waiting to provide [CNA] classes here.
In a second interview on [DATE] at 5:35 p.m., when the Surveyor asked the Administrator who ensures the TNA and HA receive the required training, the Administrator replied, The Nursing Staff Educator (NSE). The NSE was unavailable between March and May, so the Regional Corporate Clinical Nurse (RCCN) was responsible.
During an interview on [DATE] at 5:40 p.m., the RCCN stated, The State extended deadlines; I provided education to TNAs on competencies for ADLs. After training, the TNA is buddied up [paired] with a CNA for 2-3 weeks; then, I would do another competency with the UM . TNAs are used after taking 8 hours of class and enrolled in a school, buddied up, doesn't stop until certified. I'm not sure if the TNAs are now enrolled in school; I have to check. Some were terminated if not [enrolled] in school. Prior to 2021, [TNA] took [s] [an] 8-hour class and enrolled in a CNA program. If they are unable to enroll in CNA school, we will switch them to HA, which will be a buddy system. There's no documentation of a buddy system; it's only on [the] staffing sheets. However, the RCCN could not provide evidence that the TNA was enrolled in an NJ State-approved training program.
During the same interview, when the Surveyor asked her about the CHHA and HA, the RCCN stated, [The] CHHA don't do direct care. CHHAs are HAs, [they] are buddied up with CNAs as long as they are in [the] facility. The TNAs are called HAs [and] should not be doing direct care.
During an interview on [DATE] at 6:32 p.m., CNA #1 stated, I'm working with the NA (HA #2). She passes trays and answers the call light. I only do care, not the NA. I'm with her the whole shift.
During an interview on [DATE] at 6:35 p.m., when the Surveyor asked the NA (HA #2) her job title, she replied, CNA.
In the same interview, when the Surveyor asked the NA (HA #2) about the care provided, she replied, Yes, I provided direct care. I work by myself. Then she walked away. This Surveyor observed HA #2 answer the call light and provided the Resident with ice.
During an interview on [DATE] at 6:53 p.m., when the Surveyor asked about the AS sheet, the Licensed Practice Nurse (LPN #1) stated CNA #1 was not on the schedule; she came to help.
During an interview on [DATE] at 6:55 p.m., the DON stated another CNA did not come into work with HA #2, so CNA #1 came from another floor to help.
During a second interview on [DATE] at 6:58 p.m., LPN #1 stated, [The] CHHA is not supposed to provide direct care. I just go by the assignment sheet; if it says CNA Assignment, they are CNAs. I don't know why the facility hires CHHAs; I'm not involved with hiring. I didn't know HA #2 was a CHHA until the DON said it. [she is] on Assignment as CNA.
On [DATE] at 12:30 p.m., the Administrator provided the Surveyor with copies of the 2 Department of Health (DOH) Memos dated [DATE].
A review of the first DOH Memo dated [DATE], Under To: Administrators of Long-Term Care Facilities Licensed Pursuant to NJAC 8:39, Under Subject: revealed 5-21-20 Temporary Feeding Assistant Training Revoked included: information during the COVID-19 pandemic, about Temporary Feeding Assistants completing a one-hour online training course, passing a [an] online written test and working as a Temporary Feeding Assistant under supervision, [the] waiver will be rescinded 90 days from [DATE] ([DATE]) .
A review of a second DOH Memo dated [DATE], Under To: Licensed Inpatient Facility Administrators, Under Subject: revealed 03-13-20 Temporary Operational Waivers during a State of Emergency Revoked included: information during the COVID-19 pandemic the waiver applied to exceeding licensed bed capacity, bed additions staff qualification requirements waiver will be rescinded 90 days from [DATE]) [DATE])
On [DATE] at 7:52 p.m., the Surveyors provided a DOH Memo dated [DATE], to the Administrator revealed Under To: Nursing Homes . included: Re: (Reference) Temporary Nurse Aides (T.N.A.s) and the Public Health Emergency (P.H.E.) is expected to end on [DATE].
During a telephone interview on [DATE] at 12:33 p.m., the Medical Director (MD) stated she was unaware that uncertified aides, CHHAs, and HAs have been providing care. She continued, I knew the State gave [the] facility permission to use CHHA to provide assistance, but not hands-on care. It's very important for CNAs to be certified and trained to take care of the patient [Resident]; if not could result in mishaps and injury.
In the same interview, when the Surveyor asked her about her expectation, the MD replied, The aides are to be certified, have ongoing education and training, renew their licenses, and be allowed to work in the facility.
During an interview on [DATE] at 11:07 a.m., the RN stated, The nurse ensures the NAs or HAs are not doing direct care. NAs/[CHHAs]/HAs do answer the call light and get water. They can go into the patient's [Resident's] room, see what he/she needs, and tell the aide [CNA].
During an interview on [DATE] at 11:40 a.m., LPN #2 stated, Whatever nurse arrives on the floor first does the Assignment. When the Surveyor asked her what duties can the TNA/NA/HA allowed to do, LPN #2 replied, They are not to assist the Resident with the chuck pad on the bed, not to reposition or move the resident . TNAs can bring water and supplies .
During a telephone interview on [DATE] at 12:30 p.m., when the Surveyor asked her about the HAs, the UM/RN stated, I assumed when the CNA/aide came to the floor [he/she] was a CNA. She continued, HA pass out water, deliver trays, make the bed, change the linens, provide water/ice, do simple tasks. [A] HA cannot physically move patients [residents], cannot assist CNA, even if present in the room, they observe, cannot touch [the] patient [Resident].
During an interview on [DATE] at 2:09 p.m., the RHRM stated, The Hospitality Aide is the same job description as the Hospitality Liaison.
During an interview on [DATE] at 3:45 p.m., CNA #1 stated, The HA (HA #2) is [to] observe me, and I answer [their] questions. The NA (HA #2) is not supposed to touch [the] patient [Resident] or move his/her leg, or turn him/her. When the Surveyor asked her what happened with the NA (HA #2) during the care of Resident #7, she replied, I spoke to her after and [told her] she was supposed to watch me.
A review of the updated facility policy titled Employee Care Partner Hiring Policy revealed the following: Under Our Purpose, included As a caring community, we believe in creating empowered care partner teams who will support our communities in creating meaningful relationships with all people who live and work in the homes. We will hire qualified candidates whose values and attitudes align with our core value of promoting honor, dignity, and respect for all care partners in the homes. Under Our Strategies included .5.All candidates must complete and sign a job application form. 6. The following criteria will be considered in determining whether an applicant is qualified for a particular job position: a. Ability to perform the essential functions of the job .c. Valid certifications and licenses. 7. Nursing Positions: Department Head, Nursing Services Mentor (Director of Nursing), and Community Mentor (Administrator) will interview candidates and discuss qualifications for potential hire .22. All policies, procedures, benefits, and conditions of employment must be reviewed with all new hires. All policies and procedures must be signed and dated by the new hire .
N.J.A.C. 8:39-43.1
N.J.A.C. 8:39-43.2
CRITICAL
(L)
📢 Someone Reported This
A family member, employee, or ombudsman was alarmed enough to file a formal complaint
Immediate Jeopardy (IJ) - the most serious Medicare violation
Administration
(Tag F0835)
Someone could have died · This affected most or all residents
⚠️ Facility-wide issue
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** COMPLAINT#: NJ164590
Based on observations, interviews, medical records review, and review of other pertinent facility documenta...
Read full inspector narrative →
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** COMPLAINT#: NJ164590
Based on observations, interviews, medical records review, and review of other pertinent facility documentation on [DATE], [DATE], and [DATE], it was determined that the facility failed to ensure a process was in place and followed to ensure untrained staff without sufficient competencies were meeting the health and/or safety needs of one or more residents. Hospitality Aides (HAs), which include (Certified Home Health Aides-CHHAs and Temporary Nurses' Aides-TNAs), were competent to provide Resident care by failing to ensure: a.) HAs were enrolled in a State-approved training and competency program, and b.) a system was in place to ensure all HAs received the appropriate training and were deemed eligible to provide resident care, which included, but was not limited to, assisting residents with toilet care, bathing and turning and repositioning residents. On [DATE] at 11:28 a.m., the Surveyor observed an HA (HA #1) assist a resident (Resident #2) from the bathroom with his/her walker and then transferred the Resident from a standing position to a sitting position into a chair in the corner of the room. During an interview on [DATE] at 11:29 a.m., the HA said she had 18 residents today, all total care, and she does the same duties as the Certified Nursing Assistant (C.N.A.). On [DATE] at 6:42 p.m., the Surveyor observed HA #2 assisted CNA #1 with bathing when she helped reposition a resident (Resident #7) in bed. The Administrator failed to ensure the facility policy titled Employee Care Partner Hiring Policy and the job description titled Administrator were followed.
The facility's failure to have a system in place to ensure that HAs were appropriately trained and certified to provide resident care placed all residents at risk for the likelihood that serious injury, serious harm, and death may occur, resulting in an Immediate Jeopardy situation (IJ). This placed all residents in an IJ situation. The IJ was identified and reported to the facility's Licensed Nursing Home Administrator (LNHA) and the Director of Nursing (D.O.N.) on [DATE] at 8:00 p.m. The Administrator was presented with the IJ template that included information about the issue. The IJ began on [DATE] and continued through [DATE], when the facility removed all HAs from the floor.
On [DATE], the Removal Plan was implemented. The facility implemented the Removal Plan, which included removing all uncertified aides [H.A.s] from the floor and educating all staff that uncertified aides [H.A.s] are not to be in resident care areas. So, the noncompliance remained on [DATE] as a level F for no actual harm with the potential for more than minimal harm that is not immediate jeopardy.
This deficient practice was identified for 15 Hospitality Aides (H.A.s) reviewed that provided care on 4 of 4 resident units from [DATE] through [DATE] and was evidenced by the following:
On [DATE] at 10:37 a.m., the Surveyor took a tour of the first-floor unit and requested the Assignment Sheet (AS) for the 7:00 a.m. - 3:00 p.m. shift. The AS revealed the unit 3 CNA Assignment with 3 names listed for each of the 3 hallways on the unit, including HA #1 with her own Assignment of 17 residents. At 6:23 p.m., the Surveyor took a 2nd tour of the unit and requested the AS for the 3:00 p.m.-11:00 p.m. shift for the 3 CNA Assignment, revealing 3 CNA names per hallway, to include HA #2 with her own Assignment of 20 residents.
On [DATE] at 11:28 a.m., the Surveyor observed HA #1, as noted on her employee badge, provide assistance to a Resident (Resident #2) walking from the bathroom with his/her walker across the room and provided transfer assistance from a standing position into a sitting position to a chair in the corner of the room.
On [DATE] at 6:42 p.m., the Surveyor observed HA #2 assisted CNA #1 with bathing when she helped reposition a resident (Resident #7) in bed. HA #2 was observed helping CNA #1 reposition the Resident up in bed by assisting with the chuck pad (sheet located under the Resident to help with movement) to move the Resident towards the head of the bed and also helped reposition his/her right leg during bathing.
During an interview on [DATE] at 4:50 p.m., the Administrator stated, The TNAs were already hired when I started; TNAs were to complete 8 hours of training, online training, and basically processes here were not in place.
In the same interview, when the Surveyor asked about the TNAs providing care, the Administrator stated, I believe not, the TNA needs to do 80 hours of training of [per the] state regulation, and the TNA shadows a CNA.
In the same interview, when the Surveyor asked about the duties of the HAs and Certified Home Health Aides (CHHAs), the Administrator stated, HAs don't provide care, only ice water, and I need to check if a HA can assist a resident to the bathroom, I think a certified person, a nurse or CNA [is] to do care. CHHA and HA are the same. CHHA is a HA. CHHA have [their] own license but don't provide care. NA (Nursing Aides) don't have skills, [so] I let them go [from employment]. If the NAs could not provide [the] course online, we [facility] created hospitality aides (HAs), we're awaiting [CNA] classes to be provided, I'd rather have some people to answer the call bell, get [a] glass of water. [The] HA would cover this, [be] a help on the floor w/CNAs and nurses.
In a second interview on [DATE] at 5:35 p.m., when the Surveyor asked the Administrator who ensures the TNA and HA receive the required training, the Administrator replied the Nursing Staff Educator (NSE). The NSE was unavailable for the months between March and May, so the Regional Corporate Clinical Nurse (RCCN) was responsible.
During an interview on [DATE] at 5:40 p.m., the RCCN stated, The State extended deadlines; I provided education to TNAs on competencies for ADLs. After training, the TNA is buddied up [paired] with a CNA for 2-3 weeks, then after I would do another competency with the UM .TNAs are used after taking 8 hours [of] class and enrolled in a school, buddied up, doesn't stop until certified. I'm not sure if the TNAs are now enrolled in school; I have to check. Some were terminated if not [enrolled] in school. Prior to 2021, [TNA] take[s] [an] 8-hour class and enroll in a CNA program. If they are not able to enroll in CNA school, we will switch them to HA, which will be a buddy system. There's no documentation of a buddy system; it's only on [the] staffing sheets.
During an interview on [DATE] at 1:23 p.m., the Administrator stated, The HA/NA/TNA shadow the CNA, they pass water, answer the call bell and hand them [CNAs] the clothing, I don't know exactly, what [they] do, I need to look at the job description to clarify.
During an interview on 6//12/2023 at 11:04 a.m., the NSE stated, In the past, I don't know what happened. Once the CNA is assigned to another CNA, if lacking competencies, I re-educate, then the CNA can be released to do care. When asked about the HAs, the NSE replied: No, cannot do care. In the same interview, when the Surveyor asked about the hours needed for required training, the NSE continued to say, I do not know about the number of hours/modules the CNAs have to complete to become certified. I was not expected to know .
A review of the undated Position Title: Administrator revealed Under Responsibilities/Accountabilities: included: .Interprets personnel practices within policy guidelines .is responsible for planning an is countable for all activities and departments subject to rules and regulations promulgated by government agencies to ensure proper health care services to residents; .Oversees and guides department managers in the development and use of departmental policies and procedures; Review and evaluates the work performance assigned personnel as well as counsel/discipline assigned personnel according to established company personnel policy; .Implements facility objectives as determined and directed by the governing body; .Ensures the residents and families receive the highest quality of service in a caring and compassionate atmosphere which recognizes the individuals' needs and rights; .
A review of the updated facility policy titled Employee Care Partner Hiring Policy revealed the following: Under Our Purpose included As a caring community, we believe in creating empowered care partner teams who will support our communities in creating meaningful relationships with all people who live and work in the homes. We will hire qualified candidates whose values and attitudes align with our core value of promoting honor, dignity, and respect for all care partners in the homes. Under Our Strategies included .5.All candidates must complete and sign a job application form. 6. The following criteria will be considered in determining whether an applicant is qualified for a particular job position: a. Ability to perform the essential functions of the job .c. Valid certifications and licenses. 7. Nursing Positions: Department Head, Nursing Services Mentor (Director of Nursing), and Community Mentor (Administrator) will interview candidates and discuss qualifications for potential hire .22. All policies, procedures, benefits, and conditions of employment must be reviewed with all new hires. All policies and procedures must be signed and dated by the new hire .
N.J.A.C. 8:39-43.1
N.J.A.C. 8:39-43.2
SERIOUS
(G)
📢 Someone Reported This
A family member, employee, or ombudsman was alarmed enough to file a formal complaint
Actual Harm - a resident was hurt due to facility failures
Deficiency F0692
(Tag F0692)
A resident was harmed · This affected 1 resident
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** C#: NJ#159535, NJ#163626
Based on observations, interviews, medical records review, and review of other pertinent facility docum...
Read full inspector narrative →
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** C#: NJ#159535, NJ#163626
Based on observations, interviews, medical records review, and review of other pertinent facility documentation on 6/8/2023 and 6/9/2023, it was determined that the facility failed to a.) identify and address a significant unplanned weight loss of 7.5 % in one month, b.) implement and monitor weekly weights, and c.) comprehensively assess the resident after a significant weight change to prevent further weight loss for a resident with a history of weight loss, in a timely manner. The facility also failed to follow its policy titled Weight Management Protocol.
This deficient practice was identified for 1 of 2 residents reviewed (Resident #15) for weight loss and was evidenced by the following:
Reference: The Academy of Nutrition and Deititians, Position of the Academy of Nutrition and Dietitianss: Individualized Nutrition Approaches for Older Adults: Long-Term Care, Post-Acute Care, and Other Settings, dated April 2018. Position Statement It is the position of the Academy of Nutrition and Dietitians that the quality of life and nutritional status of older adults in long-term care, post-acute care, and other settings can be enhanced by individualized nutrition approaches. The Academy advocates that as part of the interprofessional team, registered Dietitian nutritionist assess, evaluate, and recommend appropriate nutrition interventions according to each individual's medical condition, desires, and rights to make health care choices. Nutrition and dietetic technicians, registered assist registered Dietitian nutritionists in the implementation of individualized nutrition care.
Review of the facility's Weight Management Protocol policy, Rev 4/2014, reflected under Guidelines that monthly weights must be done the first week of each month completed by the 10th of the month and document in the medical record. The policy indicated that the threshold for significant unplanned and undesired weight loss/gain will be based on the following criteria . a. 1 month - 5% weight loss is significant; greater than 5% is severe. b. 3 months - 7.5% weight loss is significant; greater than 7.5% is severe. c. 6 months - 10% weight loss is significant; greater than 10% is severe. A re-weigh of residents within 24 hours, experiencing a significant unplanned and undesired weight loss/gain, should be witnessed and initialed by a licensed care partner for verification. The policy indicated the Dietician would be notified in the event of a verified weight loss or gain. The policy revealed that a. Meal intake will be monitored for each meal by the Nursing department, b. weight will be done x 4 weeks, or more frequently as needed, or until stable, c. The care plan (CP) will be updated based upon recommendation of the Interdisciplinary Care Partner team (IDCP) to reflect the weight loss/gain problem, the appropriate goal, and interventions. d. Interdisciplinary Notes will focus on weight problem, monitoring, interventions, and resident response; such as increased intake or weight gain/loss as desired. e. Resident's medication and lab values will be reviewed for possible cause of weight loss/gain.
According to the admission Record, Resident #15 was admitted to the facility on [DATE] with diagnoses which included but were not limited to Alzheimer's disease, cerebral infarction, muscle weakness, and need for assistance with personal care.
Review of the annual Minimum Data Set (MDS), an assessment tool used to facilitate the management of care, dated 1/30/2022, revealed that Resident #13 had a Brief Interview for Mental Status (BIMS) score of 02, which indicated the resident had severe cognitive impairment. The MDS also showed that the resident needed extensive to total assistance with all Activities of Daily Living (ADLs). Further review of the MDS showed that the resident had weight loss of 5% or more in the last month or a loss of 10% or more in 6 months, and that resident was not on a prescribed weight loss regimen.
Review of Resident #15's Nutrition Note, (NN) written by the Registered Dietician (RD), on 4/29/2022 at 12:48 PM, indicated that the resident was seen for a quarterly review and triggered for significant weight loss of 14.6 lbs. or 13 % in six months. The NN revealed that the weight loss was unfavorable related to the resident having a BMI (body mass index) of 17, indicating that the resident was underweight, along with advanced age and disease progression. The RD documented that the were no new recommendations at this time and to continue with current plan of care. RD to follow and make changes as needed.
Review of the NN, written by the RD, on 4/29/2022 at 12:54 PM, documented additional supplements of fortified cereals for breakfast and fortified mashed potatoes at lunch.
Review of Resident #15's physician's Order Summary Report (OSR), for active orders as of 4/30/2022, revealed the following physician orders:
1. A physician order dated 1/3/2022 for Ensure Plus and to provide eight ounces three times a day for supplementation.
2. A physician order dated 4/29/2022 for super cereal in the morning with breakfast
3. A physician order dated 4/29/2022 for super mashed in the afternoon with lunch.
Review of the Resident #13's 4/2022 Medication Administration Record (MAR) revealed the corresponding 1/3/2022 physician order for Ensure Plus three times a day for supplementation, with the discontinue date of 6/3/2022. The MAR included the administration times of 10:00 AM, 2:00 PM, and 7:00 PM. The MAR further revealed the corresponding 4/29/2022 physician order for super cereal in the morning with breakfast, with the discontinue date of 1/18/2023. The MAR included the administration time of 9:00 AM. The MAR also revealed the corresponding 4/29/2022 physician order for super mashed in the afternoon with lunch, with the discontinue date of 1/18/2023. The MAR included the administration time of 12:00 PM.
Review of Resident #15's Care Plan (CP) revealed a Focus, initiated on 4/25/2018, that Resident #13 had a nutritional problem related to the diagnoses that included but were not limited to Alzheimer's, dementia, need for mechanically altered diet, need for assistance with meals, and history of significant weight loss. The goal, initiated on 2/4/2021, was for Resident #15's to not experience a significant, unfavorable weight change through the review date. Under Interventions, reflected to assist with meals, honor dietary preferences as able, provide and serve diet as ordered. Provide supplements as ordered: fortified cereal at breakfast and fortified mashed potatoes at lunch, healthy shakes with meals, and family to provide Ensure and [NAME] supplement as needed.
Review of the facility provided, Weights and Vitals (weights), date range 2/1/2022 to 10/31/2022, revealed the following:
3/3/2022 a weight of 96.6 pounds. (lbs.); -10 % change [comparison weight 9/14/2021, 110 lbs., -12.2 %, -13.4 lbs.]
5/13/2022 a weight of 88.6 lbs; -5.0% change [comparison weight 4/14/2022, 95.8 lbs., -7.5 %, -7.2 lbs.]; -7.5% change [comparison weight 3/3/2022, 96.6 lbs., -8.3 %, -8 lbs.] and -10 % change [comparison weight 12/28/2021, 99 lbs., -10.5 %, -10.4 lbs.]
There were no additional weights documented following the 5/13/2022 significant weight loss.
The weights further reveal no documentation that Resident #15's weight was obtained for the month of June 2022.
Review of the resident's Progress Notes (PN) from 5/13/2022 through 7/24/2022 revealed no documentation that Resident #15's physician was notified 5/13/2022 significant weight loss. The PN did not contain any additional notes from the RD and any assessment to determine the causal factor of Resident #15's 5/13/2022 significant weight loss.
Review of the resident's late entry Physician Progress Note, with the effective date 6/20/2022 at 4:43 PM, revealed no documentation about Resident #15's 5/13/2022 significant weight loss.
Further review of Resident #15's weights revealed a 07/1/2022 weight of 85.3 lbs.; -7.5 % change [comparison weight 1/20/2022, 96.4 lbs., -11.5 %, -11.1 lbs.]
Resident #15 had lost an additional 3.3 lbs. from 5/13/2022.
Review of Resident #15's NN, written by the RD, on 7/25/2022 at 2:36 PM, indicated that the resident was seen for a quarterly review and that there was no changed with the resident's chewing/swallowing status. The NN revealed that the resident triggered for significant weight loss of 10.5 lbs. or 11 % in three months and 11.5 % in six months. The NN revealed that the weight loss was unfavorable related to the resident having a BMI of 15.1, which indicated the resident was underweight, along with advanced age and disease progression. The NN further revealed that Resident #15's 7/12/22 laboratory results revealed an albumin level of 2.9. [The normal level is 3.4-5.4 low albumin level may indicate malnutrition.] The RD recommended to assist the resident will meals and to continue all other interventions. RD to follow and make changes as needed.
Resident #15's BMI had decrease by 1.9 from the previous BMI of 17 that was documented in the 4/29/2022 NN, written by the RD.
Review of Resident #15's physician's OSR, for active orders as of 7/31/2022, revealed a 7/25/2023 physician order for Active Liquid Protein Sugar Free (SF ALP) and to administer 30 millimeters (ml) one time a day for wound healing.
Review of the Resident #13's 4/2022 MAR revealed the corresponding 7/25/2022 physician order, with the discontinuation of 12/14/2022, for SF ALP. The MAR included the administration time of 9:00 AM.
During an interview on 6/8/2023 at 2:55 PM, the Licensed Practical Nurse (LPN) #1 stated that monthly weights were obtained between the first and the fifth of the month and that the nurses and Unit Manager (UM) were responsible for making sure the were obtained. The LPN added that the nurses and the Certified Nurse Assistants (CNA) could obtain a residents' weights and that the nursing staff were responsible for entering the weight into the electronic medical record (EMR.) The weights would then be reviewed by the UM and RD.
During an interview on 6/8/2023 at 3:06 PM, the Registered Nurse/Unit Manager (RN/UM) stated that monthly weights were obtained by the nursing staff and inputted into the EMR for the RD to review. Th RD would review the weights and inform the nursing staff of any weight loss. The RD comes to the weight meeting with a spreadsheet of all the weight loss for the interdisciplinary team (team) to review. The team included the RD, Director of Nursing (DON), Unit Manager and sometimes the Licensed Nursing Home Administrator (LNHA). They would discuss the plan of care for the residents with significant weight loss, the physician would be notified, meal consumption would be monitored, and a referral to Speech Therapy for evaluation may be initiated.
During an interview on 6/8/2023 at 3:20 PM, the RD stated her responsibilities included the monitoring residents' weights for weight loss, nutritional evaluation of newly admitted residents, and completing the quarterly and annual nutrition reviews. The RD added that weights were obtained by the 10th of each month and that she tracked to see which resident triggered for a significant weight loss in the past one month, three months, and six months. A 5 % or more weight loss in one month was considered significant and the resident would need to be reassessed. The resident's preferences and meal consumption would be reviewed and supplements and/or referral to speech therapy wound be initiated, if necessary. The RD added that any interventions would be documented in the resident's PN, and that nursing would notify the resident's physician and family of the weight loss. The UM would document the notification in the resident's PN. The RD stated Resident #15 was frail, required assistance with feeding, was on supplements, and that their family also provide additional supplements. When questioned about Resident #15's significant weight loss, the RD stated she would have to look into it and would follow up with the surveyor.
During a follow-up interview on 6/9/2023 at 9:47 AM, the RD stated that Resident #15 never had a significant weight loss. The RD continued that she completed a NN noted on 4/29/2023 and that the resident had triggered for a significant weight loss for the prior six months. The RD further stated that she recommended Ensure three times a day, one scoop of [NAME] super energy and that the resident was eating 50 % to 100% of meals at that time. The RD added that the recommendations in place were appropriate and that they met Resident #15's needs. The surveyor questioned Resident #15's weight loss from April 2022 to May 2022. The RD reviewed the Resident #15's weights in the EMR and calculated the weight loss percentage for aforementioned months, in the presence of the surveyor. The RD stated that Resident #15 triggered for a significant weight loss of 7.2 lbs. which was 7.5 % weight loss in one month. The RD added that there was nothing in the resident's medical record that indicated that the resident was re-weighed. The RD further stated the next NN documented in the EMR was on 7/25/22 and that she recommended Active Liquid [SF ALP] for wound healing. When question if the physician was notified of the Resident #15's significant weight loss, the RD stated she was not sure if the physician was notified, and that the UM was responsible for notifying the resident's physician. The surveyor question if Resident #15's weight loss was assessed in June 2022, the RD stated there was no weight obtained for the resident for the month of June 2022. The RD added that there were difficulties with staff obtaining the residents' weights back then and that they were not being obtained in a timely manner. The RD continued that Resident #15's weight had stabilized in May 2022 and that the new weight had become his/her baseline. When questioned about the resident's July 2022 weight, the RD stated the resident had lost an additional few more pounds from May 2022 to July 2022. The RD explained the facility process when a significant weight loss is identified. The resident would be re-weighed, weekly weights would be initiated, meals would be monitored, the resident would be reassessed for new interventions, and the CP would be updated by the RD. The RD added that everything would be documented in the EMR. The RD stated that the May 2022 weight meeting was conducted on 5/13/22 and at the time, Resident #15's weight was still pending. The RD further stated that the June 2022 weight meeting was conducted on 7/1/2022 and that Resident #15 was not discussed during that meeting because the weight had not been obtained. The RD added that normally she would follow up with nursing for the weight and that in a week she would check again with nursing if the resident's weight had not been obtained. The RD added that Resident #15 had came back on the weight meeting list for the month of July 2022 and that the resident's significant weight loss was addressed at that time. The RD stated that Resident #15 was maintaining a weight of 85 lbs. to 88 lbs., and that the interventions in placed met their need. The resident was being assisted with meals, supplements were in place, and was eating 50 % to 100 % of meals. The RD explained that the UM was responsible for the documenting and monitoring the residents' weight in the EMR. She would then review the weights, generate a report with all the resident's weight by unit, and compare the weights by one month, three months, and six months. The RD stated that back then, the weights were imputed late and that she had additional responsibilities. The RD further stated that she did not know why the resident's weight was not obtained or assessed for the month of June 2022.
Review of the 5/13/2022 Weight Meeting sheets revealed that Resident #15's May 2022 weight was pending.
Review of the 7/1/2023 Weight Meeting sheets did not include documentation for Resident #15.
Review of the 7/29/2023 Weight Meeting sheets revealed that Resident #15 had a 10 lbs. or 11 % weight loss times 3 months and a 11.1 lbs. or 11.5 % weight loss in six months. Under the Comments/Interventions, included the following interventions: unfavorable weight loss, regular pureed diet, fortified cereal, mashed potatoes daily, health shakes three times a day, SF ALP once daily, and assist with meals.
During an interview on 6/9/2023 at 10:22 AM, the DON stated that residents' weights were monitored monthly to monitor for any weight loss or gain. If a significant weight loss was identified, the resident would need to be re-evaluated. The UM and RD are responsible for monitoring residents' weights in order to identify any significant weight loss or gain. The DON added that the EMR triggers a significant weight loss once inputted and that they try to get on top of it as soon as possible. The DON explained that the resident would be reweighted, reassessed, food preferences and medications would be reviewed, speech and or psychiatry evaluations would be initiated, if needed. The resident physician and family would be notified by either the UM or RD and the notification would be documented in the resident's EMR. The RD generates a report monthly for residents with either weight loss or gain and those residents are discussed during the monthly weight meeting. The team discusses new interventions and would monitor the residents with a significant weight loss closely. Inteventions wound include a calorie count to assess the resident's meal consumption. The RD would document any new interventions and notify the physician and family. The DON stated that any missing weight noted during the monthly weight meeting should be obtained right away and that it was important to obtain the weight because the team would not be able to identify if a significant weight loss had occurred. The DON continued that they would come together as a team and would take a holistic approach in order to come up with proper interventions for any resident with significant weight loss. The resident's family and physician would also be notified because they would have to be on board with everything. The DON added that a physician order for weekly weights would be obtained and documented on the resident's Treatment Administration Record.
Review of Resident #15 May 2022, June 2022, and July 2022 revealed no physician order for weekly weights.
During interview on 6/9/2023 at 1:00 PM, the LPN #2 stated that she used to be the UM for Resident #15's unit. LPN #2 further stated that resident's weights were reviewed monthly and the team would discuss the residents that with a weight loss or gain. LPN #2 added that the CNAs would obtain the weights, the nurses would document the weights in the EMR, and the Charge Nurse or UM would review them. The residents identified with a significant weight loss or gain would be discussed at the next weight meeting. The team would hold off discussing the residents with missing weights and they would try to obtain the weight as soon as possible. The weight would be obtained and given to the RD, who would then assess the resident and inform nursing of any new interventions. When questioned about Resident #15, the LPN stated that she could not recall the resident. The LPN review Resident #15's EMR, in the presence of the surveyor, and stated that she now remembered the resident. The LPN stated that Resident #15 was pretty good and required a lot of encouragement with meals. The LPN added that the resident had a poor appetite, needed to be assisted with meals, and was able to verbalize when he/she had enough food.
During a follow-up interview on 6/9/2023 at 2:06 PM, the DON stated that he had no further information about Resident #15 significant weight loss from April 2022 to May 2022. The DON added that a significant weight loss would be considered as a change in condition and that it should be reported to the resident's physician and documented in the EMR. The DON further stated the physician's documentation would address the resident's weight loss and the intervention that were put in place.
No further information was provided by the facility.
Review of the facility's Change in Condition policy, rev 10/2019, revealed under Policy that the facility would ensure that changes in the resident's condition is communicated promptly to the licensed nursing staff to ensure prompt evaluation and management of such changes. Changes in condition will be communicated to the Attending Physician, resident and/or resident representative Care plan and medical records will be updated, as needed.
Review of the undated Title: Registered Dietician revealed Under Job Function: included: . Completes comprehensive nutrition assessments . in accordance with federal and state regulatory guidance. Completes comprehensive assessments in accordance with current standards of practice. Consults with resident, family, or interdisciplinary team as needed regarding the plan of care for residents.
NJAC 8:39-17.1(c)
SERIOUS
(G)
📢 Someone Reported This
A family member, employee, or ombudsman was alarmed enough to file a formal complaint
Actual Harm - a resident was hurt due to facility failures
Deficiency F0697
(Tag F0697)
A resident was harmed · This affected 1 resident
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** C#: NJ#161374
Based on observations, interviews, medical records review, and review of other pertinent facility documentation on...
Read full inspector narrative →
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** C#: NJ#161374
Based on observations, interviews, medical records review, and review of other pertinent facility documentation on 6/5/2023, 6/6/2023, 6/7/2023, 6/8/2023, and 6/9/2023, it was determined that the facility failed to consistently follow resident's care plans, evaluate a resident's pain and ensure that pain medications were administered according to the physician's orders (PO's) for a resident who was experiencing pain. The facility also failed to follow its policies titled Pain Management and Medication Administration. This deficient practice was identified for Resident #13, 1 of 1 resident reviewed for pain management, and was evidenced by the following:
Review of the facility's Pain Management policy, revised on 9/2022, indicated, The facility must ensure that pain management is provided to residents who require such services, consistent with professional standard or practice, the comprehensive person-centered care plan and the resident's goals and preferences. Under Treatment revealed .5. Pharmacological interventions should follow a systemic approach.
Review of the facility's Medication Administration-Policy and General Guidelines, revised on 2/2023, indicated under that medications are administered, as prescribed, in accordance with good nursing principles and practices, and only by persons legally authorized to do so . Medications are administered in accordance with State and Federal regulations. The Purpose is to ensure the safe, accurate, and timely administration of medications. Under Procedure, indicated the Medication Administration Record (MAR) is electronically initialed by the person administering a medication immediately after administration of the medication. All routine Controlled Schedule II, III, IV, V medications are documented in the electronic MAR at the time of administration. All doses of Controlled Schedule II and PRN [as needed] III, IV, V medications are signed out in both the Controlled Substance Book and the electronic MAR at the time of administration.
According to the admission Record, Resident #13 was admitted to the facility on [DATE] with diagnoses which included but were not limited to low back pain, secondary malignant neoplasm of bone, and prostate.
Review of the admission Minimum Data Set (MDS), an assessment tool used to facilitate the management of care, dated 01/26/23, revealed that Resident #13 had a Brief Interview for Mental Status (BIMS) score of 07, which indicated the resident had severe cognitive impairment. The MDS also showed that the resident needed extensive assistance with most Activities of Daily Living (ADLs) and received a scheduled and as-needed pain medication regimen. Further review of the MDS also showed that a pain assessment should be completed for the presence of pain, and the resident has pain occasionally with a pain intensity descriptor rating of moderate.
A review of Resident #13's Care Plan (CP) revealed a Focus, initiated on 1/23/2023, that Resident #13 had acute/chronic pain related to depression and disease process. The goal was for Resident #13's to not have an interruption in normal activities due to pain. Under Interventions, reflected to anticipate the need for pain relief, respond immediately to any complaint of pain, and evaluate the effectiveness of pain interventions as needed. Review for compliance, alleviating of symptoms, dosing schedules, and resident satisfaction with results, impact on functional ability, and impact on cognition. Identify and record previous pain history and management of that pain and impact on function. Identify and record previous pain history and management of that pain and impact on function. Identify previous responses to analgesia, including pain relief, side effects, and impact on function. Identify, record, and treat the resident's existing conditions, which may increase pain and or discomfort and cancer. Monitor/document for probable cause of each pain episode. Remove/limit causes where possible.
Review of Resident #13's physician's Order Summary Report (OSR) order date range 1/19/2023-2/25/2023, revealed a physician order dated 1/27/2023 for Morphine Sulfate Solution (a Schedule II narcotic used for relief of moderate to severe acute and chronic pain) (Morphine) 20 milligrams/milliliters (unit of measurement) (mg/ml) and to administer 0.5 ml [for a total dose of 10mg] every 4 hours for severe pain.
Review of the Resident #13's 1/2023 MAR revealed the corresponding 1/27/2023 physician order for Morphine 20 mg/ml and to administer 0.5 ml every 4 hours for severe pain, with a discontinued date of 1/29/2023. The MAR included the administration times of 12:00 AM, 4:00 AM, 8:00 AM, 12:00 PM, 4:00 PM, and 8:00 PM.
The 1/2023 MAR revealed that Resident #13 had a pain level of 8 out of 10 on 1/28/2023 at 8:00 AM and that Morphine had been administered.
Review of Resident #13's Individual Patient Controlled Substance Administration Record (declining sheet) (a narcotic medication sheet used to document the date and time the medication was removed, the nurse's signature and a declining count of the medication) for Morphine did not include documentation that the medication was removed for administration for the 1/28/23 8:00 AM dose.
Further review of Resident #13's 1/2023 MAR revealed that Resident #13's pain level was a 4 out of 10 at 12:00 PM and had increased to a 10 out of 10 at 4:00 PM on 1/28/2023.
Review of Resident #13's Progress Notes (PN) revealed no additional documentation about the resident's 1/28/2023 Morphine administration.
Review of Resident #13's Progress Notes (PN) revealed a Medication Administration Note (MAN), with the effective date of 1/28/2023 at 7:24 PM, that indicated Resident #13 had refused vital signs due to pain.
Review of Resident #13's OSR revealed a physician order, dated 1/29/2023, for Morphine 20 mg/ml and to administer 0.5 ml every 2 hours for severe pain.
Review of the Resident #13' 2/2023 MAR revealed the corresponding 1/29/2023 physician order for Morphine 20 mg/ml and to administer 0.5 ml every 2 hours for severe pain, with a discontinued date of 2/12/2023. The MAR included the administration times of 12:00 AM, 2:00 AM, 4:00 AM, 6:00 AM, 8:00 AM, 10:00 AM, 12:00 PM, 2:00 PM, 4:00 PM, 6:00 PM, 8:00 PM, and 10:00 PM.
The 2/2023 MAR revealed no documentation that Resident #13's pain level was assessed or that he/she received the physician ordered Morphine doses on 2/2/2023 at 6:00 PM and 10:00 PM.
Review of Resident #13's declining sheet for Morphine did not include documentation that the medication was removed for administration for the 2/2/2023 6:00 PM and 10:00 PM doses.
Further review of Resident #13's 2/2023 MAR revealed that Resident #13 had a pain level of 6 out of 10 on 2/2/2023 at 8:00 PM, which was the next administration time for Morphine after the missed 6:00 PM dose. The MAR further revealed that the resident's pain level had increased to a 9 out of 10 on 2/3/2023 at 12:00 AM, which was the next administration time for Morphine after the missed 10:00 PM dose.
Review of Resident #13's PN revealed no additional documentation about the resident's 2/2/2023 Morphine administration.
The 2/2023 MAR revealed that Resident #13 had the following pain levels and that Morphine had been administered:
1. A pain level of 8 out of 10 on 2/5/2023 at 8:00 AM.
2. A pain level of 8 out of 10 on 2/5/2023 at 2:00 PM.
3. A pain level of 6 out of 10 on 2/9/2023 at 2:00 PM.
Review of Resident #13's declining sheet for Morphine did not include documentation that the medication was removed for the administration of the 2/5/2023 8:00 AM, 2:00 PM, and the 2/9/2023 2:00 PM doses.
Further review of Resident #13's 2/2023 MAR revealed that, on 2/5/2023, Resident #13's pain level remained at an 8 out of 10. On 2/9/2023, the resident's pain level had increased to an 8 out of 10 at 4:00 PM, which was the next administration time for Morphine.
Review of Resident #13's PN revealed no additional documentation about the resident's 2/5/2023 and 2/9/2023 Morphine administration.
Review of Resident #13's Physician Progress Note (PPN), with the effective date of 2/11/2023 at 9:58 PM, revealed that the hospice registered nurse reported the resident as somnolent but still noted with facial grimacing. The PPN further revealed that the physician would increase the Morphine dose to 20 mg every two hours.
Review of Resident #13's PPN, with the effective date of 2/12/2023 at 11:23 AM, indicated that nursing had initiated Morphine 20 mg every two hours that morning, and the resident was comfortable, with no facial grimacing noted and was sleeping.
Review of Resident #13's OSR revealed a physician order, dated 2/12/2023, for Morphine 20 mg/ml and to administer 1 ml [for a total dose of 20 mg] every 2 hours for severe pain.
Review of the Resident #13' 2/2023 MAR revealed the corresponding 2/12/2023 physician order for Morphine 20 mg/ml and to administer 1 ml every 2 hours for severe pain, with a discontinued date of 2/15/2023. The MAR included the administration times of 12:00 AM, 2:00 AM, 4:00 AM, 6:00 AM, 8:00 AM, 10:00 AM, 12:00 PM, 2:00 PM, 4:00 PM, 6:00 PM, 8:00 PM, and 10:00 PM.
The 2/2023 MAR revealed no documentation that Resident #13's pain level was assessed or that he/she received the physician ordered Morphine dose on 2/12/2023 at 2:00 PM.
Review of Resident #13's declining sheet for Morphine did not include documentation that the medication was removed for administration for the 2/12/2023 2:00 PM dose.
Further review of Resident #13's 2/2023 MAR revealed the resident's pain level was 4 out of 10 on 2/12/2023 at 12:00 PM. Resident #13's pain level had increased to an 8 out of 10 at the 4:00 PM pain assessment, which was the next administration time for Morphine after the missed 2:00 PM dose.
Review of Resident #13's PN revealed no additional documentation about the resident's 2/12/2023 Morphine administration.
The 2/2023 MAR revealed that Resident #13 had the following pain levels and that Morphine had been administered:
1. A pain level of 3 out of 10 on 2/12/2023 at 6:00 PM.
2. A pain level of 7 out of 10 on 2/13/2023 at 6:00 AM.
3. A pain level of 5 out of 10 on 2/14/2023 at 12:00 AM.
4. A pain level of 9 out of 10 on 2/14/2023 at 2:00 AM.
Review of Resident #13's declining sheet for Morphine did not include documentation that the medication was removed for the administration of the 2/12/2023 at 6:00 PM, 2/13/2023 at 6:00 AM, 2/14/2023 at 12:00 AM, and 2/14/2023 at 2:00 AM doses.
Further review of Resident #13's 2/2023 MAR revealed the following:
1. The resident's pain level had increased to a 5 out of 10 on 2/12/2023 at 8:00 PM.
2. A pain level of 6 out of 10 on 2/13/2023 at 8:00 AM.
3. The resident's pain level had increased to a 9 out of 10 on 2/14/2023 at 2:00 AM.
4. The resident's pain level remained at a 9 out of 10 on 2/14/2023 at 4:00 AM.
Review of Resident #13's PN revealed no additional documentation about the resident's 2/12/2023, 2/13/2023, and 2/14/2023 Morphine administration.
During an interview on 6/6/2023 at 1:25 PM, the Registered Nurse/Unit Manager (RN/UM) who cared for Resident #13 stated the resident was very sick, on hospice, and required total assistance with ADLSs. The RN/UM stated that the resident experienced a lot of pain, had standing physician orders for pain medication, and was medicated as requested. Resident #13 was on palliative care, and that comfort measures were maintained. The RN/UM added that the resident had declined fast, was losing weight and muscle, and that she felt bad because the resident was in a lot of pain. The RN/UM stated there were family dynamics involved, the physician was in constant communication with both family members, and that care was administered per the physician's assessment and orders.
During a follow-up interview on 6/7/2023 at 1:13 PM, the RN/UM explained the nursing practice when administering Morphine. The RN/UM stated the nurse measures out the physician-ordered amount in a syringe, record the date, time, amount removed, and their signature on the declining sheet. The nurse would administer the medication to the resident, and then returns to the medication cart to sign the medication as administered on the MAR. The RN/UM added that the MAR and the declining sheet should match and that Morphine was always available because extra bottles are kept in backup. The RN/UM stated that standing pain medications should be administered as ordered, and there should not be any blanks on the MAR. The RN/UM added that blanks on the MAR indicated that the nurse forgot to sign the MAR. When questioned about Resident #13's pain management, the RN/UM stated the resident was diagnosed with metastatic cancer (when cancer spreads from where it started to a distant part of the body) and was constantly in pain. The RN/UM reiterated that there was family dynamics involved.
During a telephone interview on 6/7/2023 at 1:55 PM, the RN floor nurse explained the nursing practice when administering Morphine. The RN stated the nurse assesses the resident's pain level and administers the Morphine per the physician's order. The nurse is supposed to sign the declining sheet when the medication is removed from the bottle. The MAR is signed after the nurse administers the medication to the resident.
During an interview on 6/7/2023 at 3:19 PM, the Director of Nursing (DON) stated the nurse should review the physician's order and follow the five rights when administering medication. The five rights include the right resident, right medication, right dose, right time, and right route. The DON stated that he expected the nurse to sign the declining sheet once they removed the dosage from the Morphine bottle. The nurses are expected to sign the MAR after administering the medication to the resident. The DON added that there should not be any blanks on the MAR.
During an interview on 6/8/2023 at 9:50 AM, Resident #13's physician, who is also the facility's Medical Director (MD), stated the resident had an advanced cancer diagnosis, was malnourished when admitted , and that she assisted the family with end-of-life management and goals of care. The resident did not want to do further cancer treatments and just wanted to be comfortable. The MD added that family dynamics were involved and that the resident's sister did not want the resident on Morphine, while the resident's Power of Attorney (POA) wanted Morphine to be administered for pain management. The MD stated that she informed the resident's sister that the resident was not being overmedicated and that they were trying to keep him/her comfortable. The physician indicated that she had frequent communication with the resident's family, provided education about the resident's disease process and that the resident's pain needed to be managed . Due to the resident's lifestyle and medical history, he/she needed higher doses of Morphine for pain management. The MD added that Resident #13's appetite improved once the pain had been controlled. The MD stated that her goal was to control the resident's symptoms and that the Morphine dose was eventually lowered. The MD further stated that she expected the nurses to administer Resident #13's medication per the physician's order.
During a follow-up interview on 6/8/2023 at 11:59 AM, the DON stated that he expected nurses to administer the resident's medication per the physician's order. The DON reiterated that there should be no blanks and that the medication should have been administered. The DON stated the MAR and declining sheet should match. The nurses are supposed to document all removal of narcotics on the declining sheet. The DON could not provide an answer as to why the nurses did not sign the MAR and/or the declining sheet on the aforementioned dates.
During a follow-up interview on 6/9/2023 at 12:45 PM, the RN/UM, who was responsible for administering Resident #13's Morphine on 2/5/2023, stated that she would sometimes work the cart and that she administered the resident's medication per the physician order. The RN/UM added that the declining sheet should be signed when the medication is removed from the Morphine bottle. When questioned about Resident #13's 2/5/2023 medication administration, the RN/UM stated that she administered the medication as ordered but must have forgotten to sign the declining sheet.
No further information was provided by the facility.
Review of the facility's Controlled Substances Policy, revised on 1/2023, indicated under Policy that it was the policy of this facility to promote safe, high-quality patient care, compliant with state and federal regulations regarding monitoring the use of controlled substances. The policy is revealed under General Protocols, 4. The Controlled Substance Administration Record (CSAR) [declining sheet] serves the dual purpose of recording both the narcotic disposition and patient administration. 5. The licensed nurse administering a controlled substance will document the administration in the patient's electronic medical record, i.e. Medication Administration Record [MAR] and/or Progress Notes. The policy further revealed under Documenting Administration Controlled Substances, that any facility nurse who administers a Controlled Substance (CS) to a resident will document on the resident's applicable declining sheet the date and time the CS was removed and the number of remaining doses. The nurse will also document the administration in the resident's MAR.
N.J.A.C.: 8:39-27.1(a)
CONCERN
(D)
📢 Someone Reported This
A family member, employee, or ombudsman was alarmed enough to file a formal complaint
Potential for Harm - no one hurt, but risky conditions existed
Assessment Accuracy
(Tag F0641)
Could have caused harm · This affected 1 resident
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** C#: NJ#163626, NJ#164589
Based on interviews and review of other pertinent facility documents on 6/8/23 and 6/9/23, it was deter...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** C#: NJ#163626, NJ#164589
Based on interviews and review of other pertinent facility documents on 6/8/23 and 6/9/23, it was determined that the facility failed to complete the Minimum Data Set (MDS), an assessment tool, accurately and also failed to follow its facility policy titled Resident Assessment - (resident assessment instrument) RAI, for 4 of 15 sampled residents (Resident #3, Resident #4, Resident #5, and Resident #15). This deficient practice was evidenced by the following:
During a tour of the facility on 6/8/23 at 9:18 AM, the surveyor observed Resident #8 with an incontinence brief that was saturated with urine. The Certified Nursing Assistant (CNA) stated all incontinent residents should be changed at 6 AM during the previous shift. The CNA was unable to determine whether the Resident was changed at 6 AM.
Review of the Electronic Medical Records (EMR) were as follows:
1. According to the Face Sheet, Resident #3 was admitted to the facility with diagnoses that included but were not limited to Parkinson's disease, stroke, muscle weakness, and chronic kidney disease (CKD).
A review of the Physician's Orders (PO) as of 5/31/23 did not show an order for incontinence care, nor had a diagnosis of incontinence for Resident #3.
The Care Plan (CP) dated 5/15/23 indicated Resident #3 had a Self-Care Performance Deficit and required extensive one-person assistance with transfers, bed mobility, toilet use, and personal hygiene. The CP also revealed Resident #3 was not care planned for incontinence care.
A review of the Treatment Administration Record (TAR) dated 5/2023 revealed no orders for incontinence care.
A review of Resident #3's Progress Notes (PNs), dated 5/6/23 to 6/6/23, did not address urinary incontinence.
According to the Quarterly MDS, dated [DATE], Resident #3 had a Brief Mental Interview for Mental Status (BIMS), a cognitive assessment, which indicated the Resident was severely impaired and was rarely seen or heard .The MDS showed Resident #3 was an extensive two-person assist and/or total dependence on Activities of Daily Living (ADLs), specifically transfers, bed mobility, toilet use, and personal hygiene. The MDS also revealed Resident #3 was always incontinent of bowel and bladder.
Resident #3 was able to communicate clearly with the surveyor with a Spanish speaking interpreter. Resident #3 was mildly confused, but able to answer all questions asked by the surveyor. Resident was able to articulate his/her status, his/her incontinence and the type of care he/she received daily.
During a facility tour on 6/8/23 at 9:45 AM, the surveyor observed Resident #3 in a chair in the common area. The resident stated she/he had gotten up that morning and changed his/her incontinence brief by himself/herself by turning side to side. The Resident stated he/she needed to get changed as soon as he/she goes to the bathroom because it irritates his/her skin. Resident #3 stated the CNAs change him/her three times daily. Resident #3 stated she is incontinent of bowel and bladder.
2. According to the Face Sheet, Resident #4 was admitted to the facility with diagnoses that included but were not limited to acquired absence of right leg above the knee (AKA), muscle weakness, peripheral vascular disease, Type 2 Diabetes Mellitus without complications, cellulitis of left lower limb, nonpressure ulcer of left heel and midfoot, and need for assistance with personal care.
In a review of Resident 4#'s PNs, dated 8/29/22, the physician noted the Resident had a left leg above the knee amputation (AKA) on 8/25/22 for a gangrenous foot.
According to the Comprehensive MDS, dated [DATE], Resident #4 had a BIMS score of 15/15, which indicated the Resident was cognitively intact. Resident #4 was coded under Section G - Functional Status, Functional Limitation in Range of Motion - lower extremities, impairment on one side. Under Balance During Transitions and Walking, Resident #4 was coded under A. Moving from seated to standing position as 2 - Not steady, only able to stabilize with staff assistance; under B. Walking - 8 - activity did not occur; under C. Turning around and facing the opposite direction while walking - 8 activity did not occur; under D. Moving on and off the toilet - 2 Not steady, only able to stabilize with staff assistance; and E. Surface-to-surface transfer (transfer between bed and chair or wheelchair) - 2 - Not steady, only able to stabilize with staff assistance. Under Mobility Devices, Resident #4 was marked for B. [NAME] and C. wheelchair.
According to the most recent Quarterly MDS, dated [DATE], Resident #4 had a BIMS score of 15/15, which indicated the Resident was cognitively intact. The MDS showed Resident #4 was a two-person assist for most ADLs and had lower extremity impairment on one side. The MDS also revealed Resident #4 was always continent of bowel and bladder.
A review of Resident #4's PO dated 5/1/23 did not show a diagnosis for incontinence or the AKA of the left leg, and there was no order for incontinence care. Also on the PO was an order for Moisture Barrier to the Sacrum/Dry Skin/lower extremities, every shift for skin care.
The CP dated 5/24/22 and revised 4/18/23 indicated Resident #4 had a risk for falls related to gait/balance problems. The CP dated 7/31/22 and revised 4/18/23 revealed Resident#4 had pain related to a left heel wound. The CP dated 4/5/22 and revised 4/18/23 revealed Resident #4 had impairment to skin integrity related to a left heel wound and left shin wound.
The resident was marked on the MDS as continent of bowel and bladder, but had an incontinence brief on at the time of observation that was saturated with urine. The resident stated he is incontinent of bladder.
3. According to the Face Sheet, Resident #8 was admitted to the facility with diagnoses that included but were not limited to: Parkinson's disease, muscle weakness, anarthria (a total inability to articulate speech), aftercare following a joint replacement and need for assistance with personal care.
According to the Comprehensive MDS, dated [DATE], Resident #8 had a BIMS of 11/15, which indicated the Resident had moderate impairment. The MDS showed Resident #8 was an extensive two-person assist with most ADLs, specifically transfers, bed mobility, toilet use, and personal hygiene. The MDS also revealed Resident #8 was always incontinent of bowel and bladder.
A review of the PO dated 6/1/23 had no diagnosis of incontinence and no orders for incontinence care.
The CP dated 4/25/23 indicated Resident #8 had no CP for incontinence care.
A review of the TAR dated 6/2023 revealed no order for incontinence care.
A review of Resident #8's PNs, dated 5/16/23, revealed Resident was continent of the bladder and incontinent of bowel. A PN on 5/4/2023 revealed dark red fluid noted in disposable brief but did not mention incontinence at this time. A PN dated 5/3/23 revealed the Resident is bedfast all or most of the time.
The MDS revealed Resident #8 was always incontinent of bowel and bladder, however the progress notes indicated the resident was continent of bladder. The resident was wearing an incontinent brief at the time of observation that had urine in it.
During an interview on 6/8/23 at 11:39 AM, the former MDS coordinator reviewed Resident #3 and Resident #4's most current MDS. Resident #3's Quarterly MDS, dated [DATE], was completed using care and progress notes. The MDS coordinator stated she didn't get a chance to interview the Resident; the Social Worker (SW) conducts the interviews with the residents. The surveyor inquired why the Resident was coded as rarely seen or heard but was able to speak (in Spanish) to the surveyor with an interpreter. The MDS coordinator stated she coded it based on the SW interview and not from actual observation of the Resident.
According to Resident #4's Annual MDS, dated [DATE], the MDS coordinator coded the Resident with a lower extremity impairment on one side based on range of motion (ROM) documentation from nursing and rehabilitation. The surveyor informed the MDS coordinator that Resident #4 had an above-the-knee amputation (AKA) on both sides and inquired if she would have coded it differently. The MDS coordinator replied, I would have, but the documentation available stated differently. If I had assessed the Resident, I would have coded it differently.
During an interview on 6/9/23 at 2:15 PM, the DON stated if a resident had a bilateral AKA, that would be considered an impairment of the lower extremities on both sides, and it should be coded like that on the MDS.
During a telephone interview on 6/21/23 at 11:48 AM, the SW stated Resident #3's cognitive assessment was based on the questions they would ask on the BIMS. According to the SW, Resident #3 was unable to answer those questions and was coded 00, rarely seen or heard. The surveyor asked the SW if Resident #3's assessment was done in Spanish, and she stated, We have Spanish-speaking staff in the building. SW also stated psych also completed an assessment on Resident #3 on 6/13/23, and it was the same result. The surveyor asked the SW if the assessment was done in Spanish, the Resident's spoken language. She stated she didn't know if it was done in Spanish. The SW refused to answer any additional questions about Resident #3, #4, and #8's MDS assessments.
4. According to the admission Record, Resident #15 was admitted to the facility on [DATE] with diagnoses which included but were not limited to Alzheimer's disease, cerebral infarction, muscle weakness, and need for assistance with personal care.
Review of the 2/4/22 Braden Scale revealed that the facility identified Resident #15 as being moderate risk for developing a pressure sore.
Review of Resident #15's Progress Notes (PN) revealed a Health Status Note, with the effective date of 1/10/2023 at 10:36 PM, that indicated the resident was noted with an open area on left buttock.
Review of Resident #15's 1/10/2023 Pressure Injury report (incident report) indicated that the resident was noted with an open area on the left buttock. Under Immediate Action Taken, indicated that the wound was cleansed with normal saline, Medihoney with alginate (honey dressing for use on wounds) was applied and covered with foam dressing. Under Predisposing Physical Factors, indicated that Resident #15 was confused and incontinent. The incident report revealed that the resident's physician and family were notified.
Review of Resident #15's physician Order Summary Report, (OSR) order date range 1/1/2023-3/31/2023, revealed a physician order dated 1/10/2023 to cleanse left buttock with normal saline, apply Medihoney with alginate, and cover with optifoam dressing (foam dressing that has a silicone adhesive border and waterproof backing) every day shift for wound care.
Review of the January 2023 Treatment Administration Record (TAR) revealed the corresponding 1/10/2023 physician order to cleanse left buttock with normal saline, apply Medihoney with alginate, and cover with optifoam dressing every day shift for wound care, with the discontinuation date of 3/16/2023. The TAR included the administration time of day shift.
Review of Resident #15's Care Plan (CP) revealed a Focus, initiated on 4/24/2018, that Resident #13 had potential for pressure ulcer development related to immobility and incontinence of bowel and bladder . 1/10/2023- open area on left buttock, no bleeding, skin is raw, no drainage noted, The goal, initiated on 4/24/2018, was for Resident #15's to have intact skin, free of redness, blisters, or discoloration by/through review date. Under Interventions reflected to follow facility policies/protocols for the prevention/treatment of skin breakdown, prompt incontinence care, and wound consult as needed.
Review of the annual MDS, dated [DATE], revealed that Resident #15 had severe cognitive impairment. The MDS also showed that the resident needed extensive assist of one person for bed mobility and transfers and total assistance with personal hygiene and toilet use. The MDS also revealed that the resident was at risk for developing pressure ulcers. Further review of the MDS showed under Section M Skin Conditions (a section used to document the skin conditions of the resident and Pressure Ulcers and their stage) showed no documentation that Resident #6 had an open area on the left buttock.
During a telephone interview on 6/9/2023 at 11:41 AM, the MDS Coordinator responsible for completing Resident #15's 1/17/2023 MDS, explained that she normally looked at the resident's CP and physician orders when completing Section M of the MDS. The MDS Coordinator reviewed Resident #15's electronic medical record (EMR) and stated that she based the 1/17/2023 coding off the resident's 11/10/22 wound report, which indicated the wound was resolved. When questioned about Resident #15's 1/10/2023 physician order to cleanse left buttock with normal saline, apply Medihoney with alginate, and cover with optifoam dressing day shift for wound care. The MDS Coordinator reviewed the resident's EMR and stated that she missed the 1/10/2023 physician order. The MDS Coordinator further stated that the wound should have been captured on the 1/17/2023 MDS.
Review of the facility's undated Resident Assessment - RAI policy revealed the following under Policy: This facility makes a comprehensive assessment of each Resident's needs, strengths, goals, life history, and preferences using the RAI specified by CMS [Centers for Medicare & Medicaid Services.] Under Policy Explanation and Compliance Guidelines indicated that 3. The assessment process will include direct supervision and communication with the Resident, as well as communication with licensed and non-licensed direct care staff members on all shifts and under 4. The facility will maintain all resident assessments completed within the previous 15 months in the Resident's active record and use the results of the assessment to develop, review and revise the Resident's comprehensive care plan.
N.J.A.C.: 8:39-11.1
CONCERN
(D)
📢 Someone Reported This
A family member, employee, or ombudsman was alarmed enough to file a formal complaint
Potential for Harm - no one hurt, but risky conditions existed
Comprehensive Care Plan
(Tag F0656)
Could have caused harm · This affected 1 resident
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** COMPLAINT#: NJ155672
Based on interviews, medical records review, and review of other pertinent facility documentation on 6/5/20...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** COMPLAINT#: NJ155672
Based on interviews, medical records review, and review of other pertinent facility documentation on 6/5/2023, 6/6/2023, 6/7/2023, 6/8/2023, 6/9/2023 and 6/12/2023, it was determined that the facility failed to implement a baseline care plan (CP) for a resident who was admitted with an Ileostomy (a stoma (surgical opening) constructed by bringing the end or loop of the small intestine (the ileum) out onto the surface of the skin) for 1 of 14 residents (Resident #6). The facility also failed to follow its policy titled Baseline Care Plan. This deficient practice was evident in 1 of 14 care plans, as evidenced by the following:
According to the admission Record (AR), Resident #6 was admitted to the facility on [DATE] with diagnoses which included but were not limited to Encounter for Surgical Aftercare Following Surgery on The Digestive System, Ileostomy Status, and Generalized Muscle Weakness.
According to the Minimum Data Set (MDS), an assessment tool dated 6/16/2022, Resident # 6 had a Brief Interview of Mental Status (BIMS) score of 15/15, which indicated the Resident was cognitively intact. The MDS also showed Resident #6 needed extensive assistance with one-person physical assistance with Transfers and Toilet Use and with most Activities of Daily Living (ADLs).
A review of Resident #6's Care Plan (CP) revealed no CP for Ileostomy Care.
During a telephone interview on 6/7/2023 at 12:30 p.m., the Unit Manager/Registered Nurse (UM/RN) stated the purpose of the CP is so that nurses can meet our residents' needs, set goals for them and know how to care for them [residents].
During an interview on 6/9/2023 at 11:00 a.m., the LPN who cared for Resident #6 upon admission stated, [the] ileostomy care and monitoring the skin [around the ileostomy] should be on the care plan upon admission and updated by the Unit Manager (UM). The LPN continued to say the UM or the Nurse Supervisor initiates the CP, not the floor nurse.
During an interview on 6/9/2023 at 12:25 p.m., the Director of Nursing (DON) stated, If a resident [was] admitted with [an] ileostomy, stoma, [the] care of [the] ileostomy, [the] skin around the stoma [care] and monitor[ing of the] incision should be on the care plan.
In the same interview, when the Surveyor asked about the person responsible for the CP, the DON continued to say, The UM puts it [the ileostomy care] on the CP.
During an interview on 6/12/2023 at 1:15 p.m., the Administrator stated the nurses, the UM, and Supervisor are in charge of the CP .[the] UM usually makes sure the CP is done.
At the time of the survey, the Unit Manager and Nurse Supervisor who cared for Resident #6 were unavailable for an interview.
A review of the facility policy titled Baseline Care Plan with a revised date of 2/8/23 revealed the following: Under Policy included The facility will develop and implement a baseline care plan for each resident that includes the instructions needed to provide effective and person-centered care of the resident that meet professional standards of quality care . Under Policy Explanation and Compliance Guidelines, included 1. The baseline care plan will: a. Be developed within 48 hours of a resident's admission. b. Include the minimum healthcare information necessary to properly care for a resident, including but not limited to: i. Initial goals based on admission orders. ii. Physician Orders .
N.J.A.C. 8:39-27.1 (a)
CONCERN
(E)
📢 Someone Reported This
A family member, employee, or ombudsman was alarmed enough to file a formal complaint
Potential for Harm - no one hurt, but risky conditions existed
Deficiency F0657
(Tag F0657)
Could have caused harm · This affected multiple residents
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** COMPLAINT: #NJ155672, #NJ163626, #NJ164589
Based on interviews, medical records review, and review of other pertinent facility d...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** COMPLAINT: #NJ155672, #NJ163626, #NJ164589
Based on interviews, medical records review, and review of other pertinent facility documentation on 6/5/2023, 6/6/2023, 6/7/2023, 6/8/2023, 6/9/2023 and 6/12/2023, it was determined that the facility failed to a.) revise the comprehensive Care Plan (CP) for a change in condition for 5 of 15 residents (Resident #3, #4, #6, #8, and #15). The facility failed to follow its policies titled Change of Condition and Comprehensive Care Plans. This deficient practice was evidenced by the following:
Review of the Medical Record (MR) was as follows:
1. According to the admission Record (AR), Resident #3 was admitted to the facility with diagnoses that included but were not limited to: Parkinson's disease, stroke, muscle weakness, and chronic kidney disease (CKD).
According to the Minimum Data Set (MDS), an assessment tool, dated 5/18/23, Resident #3 had a Brief Mental Interview for Mental Status (BIMS) cognitive assessment, which indicated the resident was severely impaired and rarely seen or heard. The MDS showed Resident #3 was an extensive two person assist and/or total dependence with Activities of Daily Living (ADLs); specifically transfers, bed mobility, toilet use, and personal hygiene. The MDS also revealed Resident #3 was always incontinent of bowel and bladder.
A review of the Physician's Orders (POs) as of 5/31/23, did not show an order for incontinence care nor had a diagnosis of incontinence for Resident #3.
The CP dated 5/15/23 indicated Resident #3 had a Self-Care Performance Deficit and required extensive one person assist with transfers, bed mobility, toilet use and personal hygiene. The CP also revealed Resident#3 was not care planned for incontinence care.
A review of Resident #3's Treatment Administration Record (TAR) dated 5/2023, revealed no orders for incontinence care.
A review of Resident #3's Progress Notes (PNs), dated 5/6/23 to 6/6/23, did not address urinary incontinence.
2. According to the AR, Resident #4 was admitted to the facility with diagnoses that included but were not limited to: acquired absence of right leg above the knee (AKA), muscle weakness, peripheral vascular disease, Type 2 Diabetes Mellitus without complications, cellulitis of left lower limb, non pressure ulcer of left heel and midfoot, and need for assistance with personal care.
According to the MDS, dated [DATE], Resident #4 had a BIMS score of 15/15, which indicated the resident was cognitively intact. The MDS showed Resident #4 was a two person assist for most ADLs; and had lower extremity impairment on one side. The MDS also revealed Resident #4 was always continent of bowel and bladder.
A review of Resident #4's POs dated, 5/1/23, did not show a diagnosis for incontinence or the AKA of the left leg and there was no order for incontinence care. Also on the POs was an order for Moisture Barrier to the Sacrum/Dry Skin/lower extremities, every shift for skin care.
The CP dated 5/24/22, and revised 4/18/23 indicated Resident #4 had a risk for falls related to gait/balance problems. The CP dated 7/31/22, and revised 4/18/23 revealed Resident#4 had pain related to a left heel wound. The CP dated 4/5/22, and revised 4/18/23 revealed Resident #4 had impairment to skin integrity related to a left heel wound, left shin wound.
A review of Resident 4#'s PNs, dated, 8/29/22, revealed the physician noted the resident had a left leg AKA on 8/25/22 for gangrenous foot.
3. According to the AR, Resident #6 was admitted to the facility on [DATE] with diagnoses which included but were not limited to Encounter for Surgical Aftercare Following Surgery On The Digestive System, Ileostomy (a stoma (surgical opening) constructed by bringing the end or loop of small intestine (the ileum) out onto the surface of the skin) and Generalized Muscle Weakness.
According to the MDS, dated [DATE], Resident # 6 had a BIMS score of 15/15, which indicated the Resident was cognitively intact. The MDS also showed Resident #6 needed extensive assistance with one-person physical assist with Transfers and Toilet Use and with most Activities of Daily Living (ADLs).
A review of Resident #6's PNs dated 6/17/2022 at 10:46 p.m. revealed .new treatment order hydrocolloid .awaiting pharmacy delivery .
A review of the Order Summary Report (OSR) 06/09/2022-06/28/2022 for Resident #6 revealed a POs: Hydrocol II Pad (Wound Dressings) Apply to Around the stoma topically every shift for wound care when changing colostomy wafer make a hole in it and apply around the stoma then apply the wafer, dated 6/17/2022.
A review of Resident #6's CP initiated 06/10/2022, revealed under Focus: The Resident has acute pain r/t (related/to) new colostomy surgical site. The CP also included under Goal: The Resident will verbalize adequate relief of pain or ability to cope with incompletely relieved pain through the review date. Also, under Interventions: included, Administer analgesia acetaminophen 650 mg (milligrams) q (every) 6 PRN (as needed). Give ½ hour before treatments or care., Anticipate Resident's need for pain relief and respond immediately to any complaint of pain .
Further review of Resident #6's CP revealed the CP was not updated to reflect the aforementioned POs: Hydrocol II Pad (Wound Dressings) Apply to Around the stoma topically every shift for wound care when changing colostomy wafer make a hole in it and apply around the stoma then apply the wafer, dated 6/17/2022.
4. According to the AR, Resident #8 was admitted to the facility with diagnoses that included but were not limited to: Parkinson's disease, muscle weakness, anarthria (a total inability to articulate speech), aftercare following a joint replacement and need for assistance with personal care.
According to the MDS, dated [DATE], Resident #8 had a BIMS score of 11/15 which indicated the resident had moderate impairment. The MDS showed Resident #8 was an extensive two person assist with ADLs; specifically transfers, bed mobility, toilet use, and personal hygiene. The MDS also revealed Resident #8 was always incontinent of bowel and bladder.
A review of the POs dated 6/1/23, had no diagnosis of incontinence and no orders for incontinence care.
The CP dated 4/25/23 indicated Resident #8 had no CP for incontinence care.
A review of the TAR dated 6/2023, revealed no order for incontinence care.
A review of Resident #8's PNs, dated 5/16/23, revealed the Resident was continent of bladder, incontinent of bowel. A PN on 5/4/2023 revealed, dark red fluid noted in disposable brief but did not mention incontinence at this time. A PN dated 5/3/23 revealed the resident is bedfast all or most of the time.
During a tour of the facility on 6/8/23 at 9:18 a.m., the surveyor observed Resident #8 with an incontinence brief that was saturated with urine. The Certified Nursing Assistant (CNA) stated all incontinent residents should be changed at 6:00 a.m.during the previous shift. The CNA was unable to determine whether the resident was changed at 6:00 a.m.
During a tour of the facility on 6/8/23 at 9:30 a.m the surveyor, in the presence of a CNA and the Director of Nursing (DON), observed Resident #4 with an incontinence brief that was saturated with urine. Resident #4 stated he was last changed during the previous shift. The CNA was unable to determine when the resident was changed during the previous shift.
During a tour of the facility on 6/8/23 at 9:45 a.m., the surveyor observed Resident #3 in a chair in the common area. The resident is Spanish speaking and was questioned with an interpreter. The resident was able to answer all the questions asked of him/her. The resident stated he/she had gotten up this morning and changed his/her incontinence brief himself/herself, by turning side to side. The resident stated he/she needed to get changed as soon as he/she goes to the bathroom because it irritates his/her skin. Resident #3 stated the CNAs change him/her three times daily.
During an interview on 6/9/2023 at 10:38 a.m., the Director of Nursing (DON) stated if [there is] a new medication or treatment change [for a Resident], it should be on the CP, it would be considered a change in condition, [it] would be updated on the CP.
During an interview on 6/9/2023 at 11:00 a.m., the LPN who cared for Resident #6 stated if [a] resident has a treatment change, the Unit Manager puts the new medication or treatment on the CP.
During an interview on 6/9/23 at 2:15 p.m., the DON stated if a resident was a bilateral AKA that would be considered impairment of the lower extremities both sides. During the same interview, the DON stated if a resident's care plan changed, the moment is was identified, it would be updated. If a resident was incontinent or had a change in condition, it should be on the care plan. The DON reviewed Resident #3's care plan and incontinence care was not listed on the care plan. The DON stated, The care plan should have been updated. The nurse is responsible for updating it. The DON reviewed Resident #4's care plan which indicated gait/balance, left heel wound and diabetic neuropathy of lower extremities care, even though the resident was a bilateral AKA. The DON stated, No, that should not have been on the care plan. The care plan should have been updated. The DON reviewed Resident #8's care plan for incontinence care and it was not listed on the care plan. The DON stated, It is not on the care plan. The care plan should've been updated.
5. According to the admission Record, Resident #15 was admitted to the facility on [DATE] with diagnoses which included but were not limited to Alzheimer's disease, cerebral infarction, muscle weakness, and need for assistance with personal care.
A review of the annual MDS, dated [DATE], revealed that Resident #15 had severe cognitive impairment. The MDS also showed that the resident needed extensive assist of one person for bed mobility and transfers and total assistance with personal hygiene and toilet use. The MDS also revealed that the resident was at risk for developing pressure ulcers.
A review of the 2/4/22 Braden Scale, an assessment tool used to predict the risk for pressure sore development, revealed that the facility identified Resident #15 as being moderate risk for developing a pressure sore.
A review of the 1/26/23 wound care consult revealed that Resident #15 had an unstageable pressure injury to right lateral ankle. Under Assessment Notes: indicated that Resident #15 was known to our service, last seen 11/10/2022. Patient presents with an unstageable pressure injury to the right lateral ankle, noted with 80 % slough [dead tissue] and 10 % granulation [healing tissue] tissue. Under Treatment Recommendations, indicated to discontinue prior treatment. Cleanse wound with normal saline. Do not scrub or use excessive force. Pat Dry. Apply Honey (Medical Grade) Gel to wound. Cover with silicone foam adhesive dressing. Change dressing daily. The wound consult further revealed that the plan of care was discussed with facility staff.
A review of Resident #15's physician OSR, order date range 1/1/2023-3/31/2023, revealed a physician order dated 1/26/2023 to cleanse the right lateral ankle with normal saline, apply Medihoney (honey dressing for use on wounds) and foam border gauze dressing every day shift.
A review of the January 2023 TAR revealed the corresponding 1/26/2023 physician order to cleanse the right lateral ankle with normal saline, apply Medihoney, and foam border gauze dressing every day shift, with the discontinuation date of 2/3/2023. The TAR included the administration time of day shift.
A review of Resident #15's CP revealed a Focus, initiated on 4/24/2018 and revised on 1/24/2023, that Resident #13 had potential for pressure ulcer development related to immobility and incontinence of bowel and bladder. 9/11/2021-blistered to right side of heel. 1/10/2023- open area on left buttocks, no bleeding skin, skin is raw no drainage noted. The goal, initiated on 4/24/2018 and revised on 1/20/2023, was for Resident #15's to have intact skin, free of redness, blisters, or discoloration by/through review date, revised on 1/30/2023. Under Interventions revealed the following:
1. Follow facility policies/protocols for the prevention/treatment of skin breakdown, revised on 9/11/2021.
2. Heel booties to protect the skin while in bed, revised on 5/14/19.
3. Monitor/document/report to physician as needed changes in skin status, initiated 9/11/21.
4. Prompt incontinent care, revised on 8/1/2018.
5. Skin prep to right heel, initiated on 9/11/2021.
6. Wound consult as needed, initiated 8/1/2018.
Further review of Resident #15's CP showed no evidence that the CP was updated for the unstageable pressure injury to the right lateral ankle.
During an interview on 6/9/2023 at 2:06 PM, the DON stated that the resident's CP provided a specific plan of care that fit the resident's needs. The DON added that Resident #15 had a 1/26/2023 physician order for the right lateral ankle and that the new treatment order is supposed to reflect on the resident's CP. The DON reviewed Resident #15's CP, in the presence of the surveyor, and confirmed that the unstageable pressure injury to the right lateral ankle was not addressed in the resident's CP. The DON added that the resident's CP should have been updated to address the right ankle wound.
A review of the facility policy titled Change in Condition dated 09/2022, revealed the following under Policy included It is the policy of this facility to ensure that changes (physical and non-physical) in resident's condition is communicated promptly to a licensed nursing staff to ensure the prompt evaluation and management of such changes. Under Policy Explanation and Compliance Guidelines revealed .5. If a significant change in the resident's physical or mental condition occurs, a comprehensive assessment of the resident's condition will be conducted by the interdisciplinary care team as required by current Omnibus Budge Reconciliation Act of 1987 (OBRA) regulations governing resident assessments and as outlined in the MDS resident assessment instrument (RAI) Instruction Manual. 6. Care plan and medical records will be updated, as needed.
A review of the facility policy titled Comprehensive Care Plans dated 1/2023, revealed the following under Policy includedIt is the policy of the facility to develop and implement a comprehensive person-centered care plan for each resident, consistent with resident rights, that includes measurable objectives and timeframes to meet a resident's medical, nursing and mental psychosocial needs that are identified in the resident's comprehensive assessment. Under Policy Explanation and Compliance Guidelines revealed .5. The comprehensive care plan will be reviewed and revised by the interdisciplinary team after each comprehensive and quarterly MDS assessment. 6. The comprehensive care plan will include measurable objectives and timeframes to meet the resident's needs as identified in the resident's comprehensive assessment. The objectives will be utilized to monitor the resident's progress. Alternative interventions will be documented, as needed .
N.J.A.C. 8:39-11.2 (2)
CONCERN
(E)
📢 Someone Reported This
A family member, employee, or ombudsman was alarmed enough to file a formal complaint
Potential for Harm - no one hurt, but risky conditions existed
Pressure Ulcer Prevention
(Tag F0686)
Could have caused harm · This affected multiple residents
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** C#: NJ#1161374, NJ#163626
Based on observations, interviews, medical records review, and review of other pertinent facility docu...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** C#: NJ#1161374, NJ#163626
Based on observations, interviews, medical records review, and review of other pertinent facility documentation on 6/6/2023, 6/7/2023, 6/8/2023, 6/9/2023, and 6/12/2023, it was determined that the facility failed to a.) transcribe a physician's order for the wound treatment of a pressure ulcer in a timely manner for Resident #13 and b.) ensure that a pressure ulcer prevention treatment was completed in accordance with professional standards of practice for Resident #15.
The deficient practices were identified for Resident #13 and #15, 2 of 2 resident reviewed for pressure ulcers and was evidenced by the following:
1. According to the admission Record, Resident #13 was admitted to the facility on [DATE] with diagnoses which included but were not limited to low back pain, secondary malignant neoplasm of bone, and prostate.
Review of the admission Minimum Data Set (MDS), an assessment tool used to facilitate the management of care, dated 01/26/23, revealed that Resident #13 had a Brief Interview for Mental Status (BIMS) score of 07, which indicated the resident had severe cognitive impairment. The MDS also showed that the resident needed extensive assistance with most Activities of Daily Living (ADLs). The resident required extensive assist of one person for bed mobility, transfers, personal hygiene, and toilet use. The MDS also revealed that the resident was incontinent and was at risk for developing pressure ulcers.
Review of the 1/19/23 Braden Scale, an assessment tool used to predict the risk for pressure sore development, revealed that the facility identified Resident #13 as being moderate risk for developing a pressure sore.
Review of the Resident #13's Interdisciplinary Care Plan (CP) revealed that the facility Interdisciplinary Team identified a Focus, initiated on 1/19/23, that Resident #13 had potential for impairment to skin integrity r/t [related to] fragile skin, malignant neoplasm of the bone and prostate, sacral wound. The goal was for Resident #13's to be free from injury through next review date. Under Interventions, reflected to monitor/document location, size, and treatment of skin injury.
Review of Resident #13's 2/4/2023 Pressure Injury report (incident report) indicated that the resident was noted with an open area on the sacrum. Under Immediate Action Taken, revealed that wound care was provided and that the physician and family were informed. [The] resident was premedicated with Morphine prior to wound care. Under Predisposing Physical Factors, indicated that Resident #13 was confused, incontinent, in pain, and had a recent illness and change in condition.
Review of Resident #13's Progress Notes (PN) revealed a late entry Health Status Note, with the effective date of 2/4/2023 at 3:08 PM, that indicated the resident was noted with an open area to sacrum - affected area cleansed with NSS [normal saline]- Medihoney (honey dressing for use on wounds) applied and covered with dry dressing.
Review of Resident #13's physician's Order Summary Report (OSR) order date range 1/19/2023-2/25/2023, revealed a physician order dated 2/7/2023 for Medihoney Paste and to apply to sacral wound every day and evening shifts for wound care.
The OSR did not include a physician ordered that addressed Resident #13's sacral wound identified on 2/4/2023.
Review of the February 2023 Treatment Administration Record (TAR) revealed a 2/7/2023 physician's order for Medihoney Paste and to apply to sacral wound every day and evening shifts for wound care. The TAR did not include a physician ordered that addressed Resident #13's sacral wound identified on 2/4/2023. The TAR further revealed no documentation that Resident #13's sacral wound treatment was completed on 2/5/2023 and 2/6/2023.
Review of the Resident #13's 2/2/2023 to 2/7/2023 Progress Notes (PN) revealed no documentation that Resident #13 refused any wound treatments or that the resident's sacral wound treatment was completed.
During an interview on 6/6/2023 at 1:25 PM, the Registered Nurse/Unit Manager (RN/UM) who cared for Resident #13 stated the resident was very sick, on hospice, and required total assistance with ADLSs. Resident #13 was on palliative care, and that comfort measures were maintained. The RN/UM added that the resident declined fast and was losing weight and muscle. The RN/UM explained that with any new sacral wound opening, the nurse would notify the physician, obtain a new treatment order, and notify the family. The treatment order would then be transcribed into the electronic medical record (EMR).
During a follow-up interview on 6/7/2023 at 1:13 PM, the RN/UM stated that wound treatments should be initiated in the EMR as soon as a wound is identified. The wound treatment would then reflect on the TAR for the nurses to continue to complete.
During an interview on 6/7/2023 at 3:19 PM, the Director of Nursing (DON) explained the nursing practice when a new wound is identified. The DON stated the nurse would complete an incident report and notify the physician and family. The DON added that a wound treatment would be obtained from the physician and transcribed into the EMR. The treatment order would be initiated immediately and that it would reflect on the TAR for the nurses to complete. When questioned about the timely initiation of Resident #13's wound treatment for the sacral wound noted on 2/4/2023, the DON stated he would have to look into it and would follow up with the surveyor.
During a follow-up interview on 6/8/2023 at 11:59 AM, the DON stated that he looked into the timely initiation of Resident 13's sacral wound treatment and confirmed the surveyor's findings. The DON stated that Resident #13's sacral wound treatment was initiated on 2/7/2023 and not on 2/4/2023, when the sacral wound was identified. The DON stated the nurse was interviewed and stated that she forgot to transcribe the physician order into the EMR. The nurse stated she worked a double that day and had gotten caught up with other things. The DON further stated the nurse should have transcribed the physician order immediately after receiving it from the physician. The DON added that it was important to transcribe physician orders timely to make sure that the treatments are being completed as ordered.
2. According to the admission Record, Resident #15 was admitted to the facility on [DATE] with diagnoses which included but were not limited to Alzheimer's disease, cerebral infarction, muscle weakness, and need for assistance with personal care.
Review of the annual MDS, dated [DATE], revealed that Resident #15 had severe cognitive impairment. The MDS also showed that the resident needed extensive assist of one person for bed mobility and transfers and total assistance with personal hygiene and toilet use. The MDS also revealed that the resident was at risk for developing pressure ulcers.
Review of the 2/4/22 Braden Scale revealed that the facility identified Resident #15 as being moderate risk for developing a pressure sore.
Review of Resident #15's CP revealed a Focus, initiated on 4/24/2018, that Resident #13 had potential for pressure ulcer development related to immobility and incontinence of bowel and bladder. The goal, initiated on 4/24/2018, was for Resident #15's to have intact skin, free of redness, blisters, or discoloration by/through review date. Under Interventions reflected to follow facility policies/protocols for the prevention/treatment of skin breakdown.
Review of Resident #15's physician OSR order date range 1/1/2023-3/31/2023, revealed a physician order dated 1/11/2023 for Skin Prep Wipes (skin prep) and to apply to right ankle topically at bedtime for protection.
Review of the January 2023 TAR revealed the corresponding 1/11/2023 physician order for Skin Prep to be applied to right ankle topically at bedtime for protection, with the discontinuation date of 2/2/2023. The TAR included the administration time of 9:00 PM.
The TAR further revealed no documentation that the physician ordered Skip Prep was applied to Resident #15's right ankle on the following dates: 1/12/2023, 1/13/2023, 1/14/2023, 1/15/2023, 1/16/2023, 1/17/2023, 1/18/2023, and 1/19/2023.
Review of the Resident #15's 1/12/2023 to 1/19/2023 PN revealed no documentation that Resident #15 refused any wound treatments or that Skip Prep was applied to Resident #15's right ankle as ordered.
During an interview on 6/6/2023 at 1:25 PM, RN/UM stated that nurses sign the medications and treatments as administration in the EMR. The RN/UM further stated that there should not be any blanks on the Medication Administration Record (MAR) and TAR. The RN/UM added that the nurse would document the reason for not completing a physician order in the resident's PN.
During a follow-up interview on 6/8/2023 at 3:06 PM, the RN/UM stated that she could not recall Resident #15 and that the resident was gone by the time she started working on the unit.
During an interview on 6/12/2023 at 11:01 AM, the DON stated Skin Prep was used as a preventative measure to prevent a wound from opening for residents at risk for developing wounds. The DON added that Skin Prep orders were documented on the TAR and the nurses were responsible for administering the treatment as ordered by the physician. When questioned about the completion of Resident #15's skin prep treatment on the aforementioned dates, the DON stated he would look into it and follow up with the surveyor.
During a follow-up interview on 6/12/2023 at 12:25 PM, the DON confirmed that the nurses did not document that skin perp was applied to Resident #15's ankle on the aforementioned dates. The DON stated that treatment orders are transcribed into the EMR and are reflected on the TAR for the nurses to sign. The DON further stated the nurses should sign the TAR when they completed the treatment. The DON added that skin prep should be administered per the physician order and that if the treatment was not signed out, then it was not done. The DON further stated that nurses should complete the resident's treatment per the physician order.
During an interview on 6/12/2023 at 1:26 PM, the Administrator stated physician orders were to be transcribed onto the EMR and completed per the physician order. The Administrator further stated that she expected nurses to document the completion of treatments immediately and that the nurses had laptops on their medication cart to document as needed.
Review of the facility's undated Pressure Ulcer Prevention & Management Policy, indicated under Procedure that 7. The Licensed Nurse is responsible to implement the PRESSURE ULCER TREATMENT PROTOCOL (See Pressure Ulcer Treatment Policy), unless otherwise ordered by the attending physician. All treatments except for moisture barrier for Stage I require a physician's order.
Review of the facility's Physician Orders policy, rev on 2/2023, indicated that the nurse receiving the order must . enter the order into the medical record and to follow through with orders by making appropriate contact or notification.
Review of the facility's Medication Administration-Policy and General Guidelines, revised on 2/2023, indicated under that medications are administered, as prescribed, in accordance with good nursing principles and practices, and only by persons legally authorized to do so . Medications are administered in accordance with State and Federal regulations. The Purpose is to ensure the safe, accurate, and timely administration of medications. Under Procedure, indicated that topical medications used in treatments and dosage schedules should be listed in the TAR.
Review of the facility's undated Skin Check Policy, included under Procedure that 6. Where new open areas are present . The Licensed Nurse will also inform the attending physician, family/responsible party, and initiate treatment according to the Wound Treatment Protocol Policy.
Review of the facility's Wound Treatment Management policy, rev 9/2022, revealed under Policy To promote wound healing of various types of wounds, it is the policy of this facility to provide evidenced-based treatments in accordance with current standards of practice and physician orders. Under Policy Explanation and Compliance Guidelines, indicated that 1. Wound treatments will be provided in accordance with physician orders, including the cleansing method, type of dressing, and frequency of dressing change . 6. Treatments will be documented on the Treatment Administration Record.
NJAC 8:39-27.1(a)
CONCERN
(F)
📢 Someone Reported This
A family member, employee, or ombudsman was alarmed enough to file a formal complaint
Potential for Harm - no one hurt, but risky conditions existed
Deficiency F0726
(Tag F0726)
Could have caused harm · This affected most or all residents
**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** COMPLAINT#: NJ164590
Based on observation, interviews, medical record review and review of pertinent facility documentation on [...
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**NOTE- TERMS IN BRACKETS HAVE BEEN EDITED TO PROTECT CONFIDENTIALITY** COMPLAINT#: NJ164590
Based on observation, interviews, medical record review and review of pertinent facility documentation on [DATE], [DATE], [DATE], [DATE], [DATE] and [DATE], it was determined that the facility failed to ensure a process was in place and followed to ensure untrained staff without sufficient competencies were meeting the health and/or safety needs of one or more residents. Hospitality Aides (HAs) were competent to provide resident care by failing to ensure: a.) HAs were enrolled in a State-approved training and competency program, and b.) a system was in place to ensure all HAs received the appropriate training and deemed eligible to provide resident care, which included, but was not limited to; two person transfers, bathing and feeding of dependent residents. This was identified for 15 employees, who provided facility wide direct resident care on 4 of 4 units from [DATE] through [DATE], were reviewed.
On [DATE], the Surveyor reviewed the Assignment Sheets from [DATE] through the present. The assignment sheets showed a total of 15 uncertified staff. The Surveyor then requested the uncertified staff Personnel files from the Administrator and noted the following documentation was missing from the Personnel files for the HAs at the time of the survey:
HA #1: Under Human Resources New Hire Form (HRNHF) revealed a Date of Hire (DOH) [DATE]. Under Professional Reference (PR) only noted the Applicant's Name:,Applicant Signature: and Date: [DATE] no references contacted.
HA #2: Under HRNHF revealed a DOH [DATE]. Under PR noted as blank, no references contacted.
HA #3: Under HRNHF revealed a DOH [DATE]. Under PR noted only the Applicant's Name, Applicant Signature: and Date [DATE], no references were contacted.
HA #4: Under PR revealed the Applicant's Signature: and Date [DATE], no references were contacted.
HA #5: Under Application for Employment dated [DATE] revealed Position(s) Applied for Hospitality. Under undated HR New Hire Form revealed Under Department Nursing and Under Position as Hospitality. Under Position Title: Certified Nurse Aide included Department: Nursing Reports to: Charge Nurse/Supervisor/Nursing Administrator revealed HA #5 signature on [DATE]. There was no Certification number noted in the Personnel file. HA #5 was noted as a Hospitality Liaison on the [DATE] list provided by the RHRM. Under PR revealed a date of [DATE] only documented 1 reference.
HA #6: Under Application for Employment dated [DATE]-23 revealed Position(s) Applied for Care Give H.H.A. (Home Health Aide). Under HR New Hire Form revealed a Date of Hire [DATE] revealed Position: TNA (Temporary Nursing Assistant). There was no Job Description noted in the Personnel File.
Under PR revealed the Applicant's Signature: and Date [DATE], no references were contacted.
HA #7: Under Application for Employment dated [DATE] revealed Position applied for CNA/TNA. Under undated HRNHF revealed Department as Float and Under Position NA (Nursing Assistant). There was no Job Description noted in the Personnel File. Under PR revealed blank PR with no references contacted.
HA #8: Under undated Application for Employment revealed no references listed. Under PR revealed blank spaces with no references contacted.
HA #9: Under Application for Employment dated [DATE] revealed only 1 reference listed. Under HRNHF revealed a Date of Hire [DATE] revealed Position Hospitality. Under undated Position Title: Hospitality Liaison included Department: Nursing Reports to: Charge Nurse/Supervisor/Nursing Administrator revealed no second page or employee signature on the Job Description. Under PR revealed blanks with no references contacted.
HA #10: Under Application for Employment dated [DATE] revealed Position(s) Applied For CHHA and only 1 reference listed. Under HRNHF revealed a Date of Hire [DATE] revealed Position Hospitality. Under undated Position Title: Hospitality Liaison revealed no second page or employee signature on the Job Description. Under PR revealed blanks with no references contacted.
HA #11: There was no PR in the Personnel File.
HA #12: Under Application for Employment revealed a date, [DATE]. There was no Criminal History Background Check noted in the Personnel file.
Under Position Title: Certified Nurse Aide included Department: Nursing Reports to: Charge Nurse/Supervisor/Nursing Administrator revealed HA #12 signature on [DATE]. There was no CNA Certification noted in the Personnel file. HA #12 is noted as a Hospitality Liaison on the [DATE] list provided by the RHRM. Under PR revealed only the Applicant's Signature: and Date of [DATE] [2023], no references were contacted.
HA #13: Under Application for Employment dated [DATE] revealed no references listed. There was no PR in the Personnel File.
HA #14: Under undated Position Title: Hospitality Liaison revealed no second page or employee signature on the Job Description. Under PR only revealed 1 reference contacted.
HA #15: Under undated Position Title: Hospitality Liaison revealed no second page or employee signature on the Job Description. There was no PR in the Personnel File.
During an interview on [DATE] at 2:23 p.m., the Regional Human Resources Manager (RHRM) stated, Certified Home Health Aides (CHHAs) are Hospitality Aides, [they] assist with Activities of Daily Living (ADLs), but no transferring [of residents]. The HA[s] need to work with a certified person to do a transfer.
In the same interview, the RHRM continued to say the Supervisor, the Unit Manager (UM), Director of Nursing (DON), Assistant Director of Nursing (ADON) or Department Head reviews the job description with the HAs and both sign off on it and [a copy] is kept in the personnel file . We don't offer the Certified Nursing Assistant (CNA) class here I give the numbers [for staff] to call. The staff brings their certification and the nurses follow up with them.
During an interview on [DATE] at 5:35 p.m. when the Surveyor asked who ensures the TNAs and HAs receive the required training, the Administrator replied the Nursing Staff Educator ensures the TNA[s] and HA[s] receive the required training. She continued to say, between the months of February to April, 2023, the Regional Corporate Clinical Nurse (RCCN) was responsible for ensuring the required training was done.
During an interview on [DATE] at 5:40 p.m., when the Surveyor asked about the TNA and HA training, the RCCN stated I provided education and competencies on ADLs to the TNAs. CHHAs are HAs, [they] don't do direct care, TNAs and HAs are always buddied up with Certified Nursing Assistants (CNAs) as long as they are in the facility and until they become certified.
In the same interview, the RCCN stated [the] TNAs are used after taking [a] 8 hours [of] class and enrolled in a school. I'm not sure if the TNAs now are enrolled in school. If [the TNA is] not able to enroll in [a] CNA school, we switched them over to hospitality aide and will be a buddy system. They should not be doing direct care.
In the same interview, when the surveyor asked about documentation, the RCCN replied there is no documentation about [the] buddy system, it's only [noted] on [the] staffing sheets.
During an interview on [DATE] at 2:40 p.m., the RHRD stated Criminal History Background Checks and Results should be in the [Personnel] File. Any documentation before [DATE] I can't speak about because I wasn't hired yet.
In the same interview, she continued to say it was a general orientation, not a hiring orientation, staff would complete hiring paperwork and start to work. Orientation has not happened in a while, but I don't know how long.
On [DATE] at 2:01 p.m., the RHRM stated the job description for Hospitality Liaison and Hospitality Aides are the same position in the computer.
On [DATE] at 1:20 p.m., the RHRM provided another list of 13 HAs to the Surveyor, then upon review, 2 more were added for a total of 15.
On [DATE] at 2:42 p.m., when the Surveyor asked about the current HA list, the Administrator replied the CHHA/HA list given on Monday, [DATE] was taken from the shared drive [on the computer] but it was not updated.
During an interview on [DATE] at 11:04 a.m., the Registered Nurse Educator stated when I started [in May], the facility nurse was to become certified and the HAs would enroll in [CNA] school here, some HAs enrolled, but I don't know who, where or what place. She continued to say the new hire [staff] goes to Human Resources (HR) first about [the] job position, then the new staff comes to me for onboarding and education, I'm not involved with the schooling. I do the competencies.
A review of the undated Position Title Regional Human Resources Manager revealed Under Responsibilities/Accountabilities: included: .Ensures compliance with federal, state, and local employment laws and regulations, best practices to maintain compliance .Knowledge of state and federal laws .On-boarding, orientation, and employment verification of new employees; .Knowledge of requirements of each position; .
A review of the undated Position Title: Staff Educator: revealed Under Responsibilities and Accountabilities: included: Plan, develop, direct, evaluate, and coordinate educational and on-the-job training programs .Develop, evaluate, and control the quality of in-service educational programs sin accordance with established policies and procedures .Perform administrative requirements such as completing necessary forms, reports, class attendance and subject records, etc .Develop and participate in the planning, conducting, and scheduling of orientation programs that orient newly hired personnel to their position, the facility's policies and procedures, resident rights and responsibilities, etc.
A review of the undated facility policy titled Employee Care Partner Hiring Policy revealed the following: Under Our Purpose included As a caring community, we believe in created empowered care partner teams who will support our communities in creating meaningful relationships with all people who live and work in the homes. We will hire qualified candidates whose values and attitudes align with our core value of promoting honor, dignity and respect for all care partners in the homes. Under Our Strategies included .5.All candidates must complete and sign a job application form. 6. The following criteria will be considered in determining whether an applicant is qualified for a particular job position: a. Ability to perform the essential functions of the job .c. Valid certifications and licenses. 7. Nursing Positions: Department Head, Nursing Services Mentor (Director of Nursing) and Community Mentor (administrator) will interview candidates and discuss qualifications for potential hire .11. Upon final selection of the candidate the application is forwarded to the Staffing Coordinator to conduct reference checks. A minimum of two (2) reference checks are required for each applicant .15. Every effort must be made to contact previous employers expeditiously to ensure we do not lose qualified candidates .17. The Team Member Services Manager will conduct a Criminal Background Check (CBC) on all applicants being considered for employment. If the CBC is unfavorable the hiring process ends for the candidate .22. All policies, procedures, benefits and conditions of employment must be reviewed with all new hires. All policies and procedures must be signed and dated by the new hire .
N.J.A.C. 8.39-43.2