Missing Bed-Hold Notices and Ombudsman Notification
Summary
The facility failed to ensure written notices for bed holds and transfers were provided to residents and/or resident representatives and failed to notify the Ombudsman when residents were transferred to the hospital for 4 of 21 sampled residents. Facility policy titled Bed Hold and Returns required residents or resident representatives to be informed in writing of the bed-hold and return policy before transfers, including the rights and limitations regarding bed-holds, reserve bed payment policy for Medicaid residents, and the facility per diem rate for non-Medicaid residents or for holding a bed beyond the state bed-hold period. The Resident Transfer and Discharge Rights policy also required written notice of the reason for transfer or discharge, the effective date, the destination, and notification of the Office of the State Long-Term Care Ombudsman. R1 had diagnoses including pneumonia, Alzheimer’s disease, and atrial fibrillation, and was severely cognitively impaired. After being sent to the ER for evaluation and treatment, the record showed a transfer notice with blank sections for the location, notice recipient, and Ombudsman contact information, and there was no documentation that a bed hold notice was provided. During interviews, the DON stated the family member was mailed a copy, but later confirmed the transfer form did not include the transfer location, documentation that written notice was provided, or that the Ombudsman was notified. The BOM stated R1 was an automatic bed hold because she was Medicaid, but later confirmed no bed hold notice was provided and no documentation could be found that the Ombudsman was notified. For R7, the record showed transfer to the emergency department after a physician order for evaluation following a fall, but the transfer notice did not include a date for Ombudsman review and there was no bed hold notice in the record. For R83 and R94, discharge MDS records showed both residents were discharged to the hospital, and their notices of transfer or discharge contained no information regarding bed hold or any indication that a written bed hold notice had been provided to the resident or resident representative. The BOM stated the SSD called the family and Ombudsman after a resident discharged to the hospital, but this was not documented, and the Administrator stated he was aware bed hold notifications were not being provided to residents or their representatives.
Penalty
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