Failure to Provide Bed-Hold Notice During Hospital Transfers
Summary
The facility failed to ensure that residents and/or their resident representatives were provided written notice of the bed-hold policy when the residents were transferred to the hospital. Review of the clinical record, facility documentation, facility policy, and staff interviews identified that written notice specifying the duration of the bed-hold policy was not documented as being provided for three sampled residents who had multiple hospitalizations. Resident #5 had diagnoses including congestive heart failure, atrial fibrillation, and chronic obstructive pulmonary disease, and the quarterly MDS identified the resident as cognitively intact. The record did not show that written bed-hold notice was provided when the resident was transferred to the hospital on 7/6/25, 8/31/25, and 9/2/25. The DNS stated that a copy of the bed-hold policy should be provided at the time of transfer, attached to the paperwork sent with the resident, and mailed to the resident or representative, but identified that the notices for this resident were not completed. Resident #9 was admitted in February 2024 and had diagnoses including transient cerebral ischemic attack, dementia, and heart failure. The significant change MDS identified severely impaired cognition. The resident was sent to the hospital after a fall with a head laceration and bleeding, and again after becoming unresponsive with facial droop and drooling. The record did not reflect written bed-hold notice for either transfer. Resident #128 was admitted in January 2022 and had diagnoses including type 2 diabetes mellitus, anemia, and hypothyroidism, with severely impaired cognition on the quarterly MDS. The resident was transferred to the hospital after being found unresponsive and later returned from the hospital still lethargic and arousable only to sternal rub before being sent back to the emergency room. The record did not reflect written bed-hold notice for either hospital transfer. Facility interviews identified that the Director of Social Services was responsible for providing the bed-hold policy, while the DNS stated the notices should accompany the transfer paperwork and be mailed to the responsible party, but the notices for these transfers were not completed.
Penalty
Resources
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