F0835 F835: Administer the facility in a manner that enables it to use its resources effectively and efficiently.
K

Failure to Implement Abuse Policy and Investigate Resident-to-Resident Abuse

Jesup Ridge Of Journey LlcJesup, Georgia Survey Completed on 11-18-2024

Summary

The facility Administrator failed to provide adequate oversight to ensure the abuse policy was implemented when a resident with a known history of sexually inappropriate behaviors repeatedly engaged in verbal, sexual, and physical abuse toward other residents. Multiple incidents involving this resident included being found unclothed and exposing themselves in the presence of other cognitively impaired residents, making inappropriate sexual gestures and comments, physically preventing another resident from moving their wheelchair, and masturbating in the doorway of another resident's room. These incidents affected several residents, all of whom were vulnerable due to cognitive impairment or other conditions. Despite these repeated occurrences, the Administrator did not report or investigate the majority of the incidents as abuse, only reporting one incident where a resident was found in another resident's bathroom with the perpetrator unclothed. The Administrator stated that the other incidents were not considered abuse because the involved residents were hard of hearing or showed no signs of distress, and believed such behaviors were part of living in the facility. This lack of recognition and response to abuse allegations resulted in a failure to protect residents from further harm and to comply with established abuse prevention and reporting policies. The deficiency was determined to have caused, or was likely to cause, serious injury, harm, or death to residents, and was cited at a scope and severity level of Immediate Jeopardy. The Administrator's failure to report and investigate abuse allegations, particularly beginning with an incident where a resident expressed inappropriate sexual gestures and comments while standing over another resident's bed, constituted non-compliance with federal requirements for administration and resident protection.

Removal Plan

  • The Governing Body will ensure facility administrative staff and facility staff receive education and can demonstrate knowledge of facility systems and competency of procedures for the prevention of abuse and neglect, abuse investigations and resident protection and safety of all residents.
  • The Regional Director of Clinical Services provided education for Director of Administrator and Interim Administrator on the Abuse and Neglect Policy and Procedure, When to Report Policy and Procedure, and Proper Investigation of Occurrences and Allegations of Abuse and Neglect.
  • The Regional Director of Clinical Services provided education for Abuse and Neglect Policy and Procedure, When to Report Policy and Procedure, and Proper Investigation of Occurrences and Allegations of Abuse and Neglect to the Administrator, Interim Administrator, Director of Nursing (DON), Nurse Practitioner (NP), and Medical Director (MD).
  • A member of the governing body (Regional Director of Clinical Services) educated the DON and the Administrator.
  • The governing body member, Administrator, DON, Regional Director of Operations, Regional Director of Clinical Services reviewed the following policies: Behavior Assessment and Monitoring, Abuse and Neglect Policy and Procedure, When to Report Policy and Procedure, and Proper Investigation of Occurrences and Allegations of Abuse and Neglect.
  • The Administrator's and DON's job descriptions and education was reviewed by the Regional Directions of Operations.
  • The DON educated the Unit Managers (UM), and the Unit Managers educated current and contracted staff.
  • Current staff and contracted staff who have not been educated will be educated prior to their next scheduled shift.
  • The DON, the Administrator, and UM will educate remaining staff who have not been educated prior to returning to work (all departments).
  • The DON, UM, and the Administrator will review the 24-hr report and risk management report found in the electronic medical records.
  • The Registered Nurse (RN) supervisor will review the 24-hr report and risk management report found in the electronic medical records and will report any unusual occurrence immediately to the Administrator.
  • The Administrator and DON were trained on this process by the Regional Clinical Director and the UMs were trained by the DON.
  • An AD HOC QAPI meeting was conducted with the Administrator, DON, Regional Director of Clinical Services, Medical Director, and Nurse Practitioner.
  • The Medical Director was made aware and agrees with the immediate jeopardy removal plan.
  • The governing body member arrived and currently remains in facility.
  • Abuse and Neglect Policy and Procedure, When to Report Policy and Procedure, and Proper Investigation of Occurrences and Allegations of Abuse and Neglect were reviewed and no changes were made.
  • All corrections were completed.
  • The immediacy of the IJ was removed.

Penalty

Fine: $70,720
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The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.

Resources

Below are regulatory guidelines relevant to this citation:

See other F0835 citations
Failure to Ensure Provider Notification of Abnormal Blood Glucose Levels
E
F0835 F835: Administer the facility in a manner that enables it to use its resources effectively and efficiently.
Short Summary

Facility leadership, including the NHA and DON, did not ensure that physicians or other advanced practice providers were notified when multiple residents’ capillary blood glucose (CBG) levels were outside the parameters ordered by their physicians. Despite job descriptions assigning the NHA overall operational responsibility and the DON overall clinical leadership and regulatory compliance responsibility, the facility failed to implement effective management to ensure timely provider notification of these changes in condition. During interviews, the NHA and DON acknowledged that administration had not effectively managed this process, resulting in an Immediate Jeopardy situation for numerous residents.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Failure of Administrative Oversight Leads to Wrong-Resident Opioid Administration
E
F0835 F835: Administer the facility in a manner that enables it to use its resources effectively and efficiently.
Short Summary

Facility leadership failed to ensure effective systems and enforcement of policies for accurate resident identification during medication administration. The NHA and DON were responsible for developing, maintaining, and monitoring nursing and operational policies, including a medication administration policy requiring use of resident photos in the MAR and adherence to the five rights of medication administration. Despite this, multiple residents lacked photos in the EHR, and an agency RN relied only on calling out a resident’s name without verifying identity against the MAR photo or another reliable identifier. As a result, morphine sulfate and levothyroxine intended for one resident were given to another, who developed bradycardia and required ED transfer and naloxone administration. Surveyors cited this as Immediate Jeopardy due to the breakdown of medication administration safeguards.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Failure of Administration to Ensure DON, RN Coverage, Scope Compliance, and Adequate Staffing
F
F0835 F835: Administer the facility in a manner that enables it to use its resources effectively and efficiently.
Short Summary

Administration failed to ensure a DON was employed, did not maintain required RN coverage, and did not provide sufficient staffing, despite being responsible for recruiting competent leadership and ensuring adequate licensed and non-licensed staff. After the last DON left, there was no RN on staff, including most weekends, and there was no documented evidence that DONs from sister facilities who were said to be helping were actually present. A CMA/MT had been assessing pain and administering PRN narcotic pain medications, which leadership confirmed was outside that role’s scope of practice. A resident reported long delays in call light response, another reported that staff left the halls during mealtimes, and an LPN stated residents needed more attention than staff could provide. These failures resulted in Immediate Jeopardy under nursing services and were cited under F727, F658, and F725.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Failure to Ensure CPR per Code Status and Wound Care Coverage in Absence of Treatment Nurse
L
F0835 F835: Administer the facility in a manner that enables it to use its resources effectively and efficiently.
Short Summary

The facility failed to ensure that a resident with a physician’s order for full code status received timely and continuous CPR when found unresponsive, as nursing staff did not accurately verify the resident’s code status and did not maintain resuscitation efforts until EMS arrival, and facility leadership did not initially recognize or investigate this as deficient practice or provide staff re-education on CPR and code status verification. In addition, when no Treatment Nurse was on duty, multiple residents with Stage III and Stage IV pressure ulcers did not receive ordered wound care because LPNs were not clearly informed they were responsible for performing wound treatments on their assigned residents, despite the expectation by the DON and RN Supervisor that floor nurses would assume this role.

Fine: $13,505
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The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Failure of Administration to Prevent Elopement of High-Risk Residents
E
F0835 F835: Administer the facility in a manner that enables it to use its resources effectively and efficiently.
Short Summary

Facility administration, including the NHA and DON, did not effectively manage operations to ensure compliance with elopement-prevention regulations and facility policies. Although their job descriptions required them to direct care and nursing services in accordance with local, state, and federal standards, they failed to implement and oversee measures to prevent residents identified as elopement risks from leaving the building unsupervised. As a result, a known elopement-risk resident exited the facility without supervision, creating an Immediate Jeopardy situation for multiple residents documented as elopement risks.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Failure of Administrative Oversight for Physician-Ordered Consults and Diagnostic Tests
E
F0835 F835: Administer the facility in a manner that enables it to use its resources effectively and efficiently.
Short Summary

The Administrator failed to provide effective oversight of social services and referral processes, resulting in multiple physician-ordered consultations and diagnostic tests not being timely scheduled or properly documented in the EMR for several residents with dysphagia, neurologic conditions, and G-tubes. An LVN documented that social services was notified of orders for Modified Barium Swallow and Barium Swallow studies, but the Social Services Director (SSD) and assistant did not ensure appointments were scheduled or that refusals, barriers, or follow-up efforts were entered into the medical record, instead relying on paper folders and a temporary communication board that was not part of the permanent record. One resident with a history of stroke and dysphagia had ENT and MBS orders that were not fully acted upon or documented, another resident reportedly refused an MBS without any EMR note of the refusal, and another resident’s swallow study was delayed while the SSD attempted but did not document contact with the responsible party and hospital. The facility’s own policies required Social Services to coordinate referrals and document them in the medical record, and the Administrator, as the SSD’s direct supervisor, did not identify or correct these documentation and follow-through failures.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.

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