Failure to Notify Physician of Resident's Condition Change
Summary
The facility failed to immediately consult with a resident's physician and notify the resident's representative when there was a significant change in the resident's condition. This deficiency was identified for a resident who showed signs of altered mental status for at least 22 hours and was later diagnosed with severe sepsis at a local hospital. The resident, a male with paraplegia, osteomyelitis, and polyneuropathy, was admitted with stage 4 pressure ulcers and required IV medication and isolation for infectious disease. Despite these conditions, the facility did not document or report the resident's change in mental status to the physician or responsible party in a timely manner. Observations and interviews revealed that the resident exhibited symptoms such as hallucinations, yelling, and sweating, which were indicative of a significant change in condition. These symptoms were noted by various staff members, including CNAs and nurses, over a period of time. However, there was a lack of communication and documentation regarding these changes. The resident's hallucinations and altered mental status were reported by CNAs to an LVN, but the LVN did not document the assessment or notify the physician. The resident's condition continued to deteriorate, leading to a diagnosis of severe sepsis at the hospital. Interviews with staff members highlighted inconsistencies in the reporting and assessment of the resident's condition. Some staff members reported the resident's hallucinations and changes in condition, while others did not observe or document these changes. The facility's policy required that any significant change in a resident's condition be reported to the physician and family, but this was not adhered to in this case. The failure to promptly notify the physician and responsible party of the resident's altered mental status and potential infection risk resulted in a delay in appropriate medical intervention.
Removal Plan
- CCS in-serviced Administrator and DON on change of condition policy and procedure to include comprehensive assessments and notification of Physician/NP. In-service covered when to notify the Physician/NP for a change of condition, discussed what categories fall under change of condition, the process for notification of Physician/NP, escalation of the communication process if the Physician/NP cannot be reached, and examples of significant changes. Competency was verified via quiz.
- Administrator and DON initiated in-services with the licensed nurses on change of condition policy and procedure to include comprehensive assessments and notification of Physician/NP. In-services covered when to notify the Physician/NP for a change of condition, discussed what categories fall under change of condition, the process for notification of Physician/NP, escalation of the communication process if the Physician/NP cannot be reached, and examples of significant changes. Competency was verified via quiz. Nursing staff will not be allowed to work until In-servicing has been completed.
- An audit was conducted by DON/Designee to identify other residents with potential change of condition. Via direct observation, staff interviews, and record review, no other residents were identified as having a change of condition. Medical Director was notified.
- In order to monitor current residents for potential risk, DON and CCS will monitor residents for change of condition for 30 days on all residents via Triage Log. The purpose of this log is to monitor residents with acute changes in condition. DON compliance will be monitored weekly by CCS for 90 days. Thereafter, QA will monitor quarterly up to a year for compliance of change of condition, quality of care and abuse and neglect. If any issues are identified, the physician will be contacted for further medical management and family/POA of the same. The facility QA Committee will meet weekly for the next eight weeks to review compliance with the plan of action. If no further concerns are noted, will continue to monitor as per routine facility QA Committee.
Penalty
Resources
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