Failure to Communicate Protective Order and Elopement Risk Leads to Resident's Unauthorized Removal
Summary
The facility failed to administer its resources effectively and efficiently, resulting in a deficiency that compromised the safety and well-being of a resident. The deficiency involved the failure to communicate critical information about a resident's protective order and elopement risk to direct care staff. This oversight led to an incident where the resident, who was on a locked unit due to wandering behaviors, was removed from the facility by unknown family members without staff supervision or knowledge. The resident was missing for two days before being located with a family member. The resident in question had a history of dementia, encephalopathy, and altered mental status, and was admitted to the facility with an active protective order against family members due to domestic abuse concerns. Despite these significant risk factors, the facility did not develop a comprehensive care plan or implement interventions to ensure staff were aware of the protective order or the open Elderly Protective Services (EPS) case. The Director of Nursing (DON) and other administrative staff failed to update the elopement risk list and did not communicate the resident's status to direct care staff, contributing to the resident's unauthorized removal from the facility. Additionally, the facility did not report the elopement incident to the state agency or local law enforcement as required by state law. The DON and Administrator were aware of the resident's disappearance but chose not to notify authorities, believing the resident had not eloped since she left with family members. This decision was made despite the inability to identify the family members involved and the existing protective order. The lack of timely reporting and communication further exacerbated the situation, highlighting significant administrative oversights in handling the resident's care and safety.
Removal Plan
- Facility NFA contacted Elderly Protective Services to alert them Resident #3 left the facility.
- NFA alerted the facility Ombudsman that the resident's family removed her from the facility.
- All resident electronic charts and hard copy charts were audited by the DON and ADON to ensure that no other residents had an order for protection.
- All resident electronic charts and hard copy charts for residents considered an elopement risk were audited by the facility DON, ADON and MDS Nurses to ensure this information was care planned appropriately.
- Regional [NAME] President and NFA together reviewed the Long Term Care Survey manual for F609, F835, F656, & F689.
- Regional [NAME] in-serviced NFA and DON regarding these regulations and need to report to local police and LDH via the SIMS system.
- Regional [NAME] President will review all SIMS reports submitted by the NFA to ensure they were reported appropriately and timely.
- Regional [NAME] President will review incident report list to ensure administrative staff are reporting appropriately.
- Regional [NAME] President will oversee in-servicing/monitoring of the NFA and administrative staff to ensure all audits are completed appropriately and timely.
- An immediate in-service was initiated by the Director of Nurses with staff present at the facility at the time.
- All staff that were not present will be in-serviced prior to their next shift.
- The staff were in-serviced regarding: Residents with EPS cases.
- All residents with EPS cases will have a care plan and the information communicated to the staff immediately.
- All visits will be supervised.
- Should anyone try to leave with the resident the police will be called and it will be reported to the state.
- The Administrator and DON will be notified.
- Any resident classified as an elopement risk will be placed in the binder at the nurse's station.
- In the instance of elopement, the police will be called and a report shall be made to the state.
- The in-servicing was completed with present staff and will be completed with all non-present staff prior to the first shift by the Director of Nursing or designee.
- A master list of all staff was generated by the Human Resources Director.
- The DON and ADON used this list to retrain every staff member.
- The ADON Nurse, DON or designee will audit all paperwork for every new admission to ensure should the resident have an open EPS case or is an elopement risk this will be entered into the care plan and communicated to the staff by the DON.
- This will be communicated to the staff via the Point Click Care task that fires to the kiosk and nurse laptop.
- These audits will continue for every new admission for the next 30 days.
- The DON will audit 5 residents who are an elopement risk 3 times a week for four weeks and routinely thereafter.
- The audit will consist of reviewing the care plan for residents who are an elopement risk to ensure this is properly care planned/communicated to staff.
- Results of audits are to be captured on a special care form and discussed in the daily stand-up meeting with the interdisciplinary team.
- The Quality Assurance (QA) Committee is to meet weekly for no less than 4 weeks to promote compliance and gauge progress.
- The NFA or designee will interview 5 staff members 3 times a week for the next 4 weeks to ensure they understand the need to supervise any visitation with residents with EPS protective orders and they know they need to alert the NFA, DON and authorities should the family attempt to leave with the resident.
- An Emergency QA was held with the facility Medical Director and QA Committee regarding residents who are an elopement risk and/or who have open EPS cases.
- Should the above referenced QA measures not meet expectations, the QA/Audits/POC will be adjusted at that time.
- Staff found to be non-compliance will be re-educated and face progressive discipline up to and including termination.
Penalty
Resources
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