Medication destruction, hazardous drug handling, and controlled substance documentation failures
Summary
Medication destruction and disposal of non-controlled prescription medications were documented without a witness signature in the facility’s Medication Disposition Log for July 2025 through January 2026. During interview and record review with the DON, the log was reviewed and the DON confirmed she signed the section indicating the medications were destroyed, but no witness signature was documented to verify the destruction process. The DON agreed that medication destruction should be witnessed to ensure accountability and reduce the risk of drug diversion. The facility policy titled Discarding and Destroying Medications, revised October 2014, stated that the medication disposition record will contain the signature of witnesses. Resident 146 was admitted with diagnoses including benign prostatic hyperplasia without lower urinary tract symptoms and mood disorder. During observation, an LN was seen administering Finasteride and Divalproex, both labeled as hazardous medications, and handled them without wearing gloves while dispensing them into a small container. The LN acknowledged that gloves were required when handling hazardous medications and stated she forgot to wear them. The DON stated staff are expected to wear gloves when handling hazardous medications to protect themselves and ensure safe handling practices, and the facility policy on Hazardous Drugs stated hazardous pharmaceutical drugs are handled according to practice standards to minimize staff and resident exposure and that staff are trained on and required to wear PPE specific to the risk of exposure and activities performed. Resident 86 was admitted with muscle weakness, chronic low back pain, depression, and anxiety. Review of the resident’s Controlled Drug Record for Morphine and the MAR for January 2026 through February 2026 showed discrepancies, including one date with CDR removal documentation present but no MAR documentation, and other dates with MAR documentation present but no corresponding CDR removal documentation. During interview and record review, the DON confirmed nursing staff did not complete the required documentation when removing and administering the resident’s controlled medication. The DON stated accurate documentation was necessary to ensure medication accountability and reconciliation of controlled substances, and the facility policy on Controlled Substances stated the facility complies with laws, regulations, and other requirements related to handling, storage, disposal, and documentation of controlled medications.
Penalty
Resources
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