Dietary Manager Qualification and RD Consultation Deficiencies
Summary
The facility failed to ensure that the Certified Dietary Manager (CDM) met California requirements for the position. A review of California Health and Safety Code 1265.4 showed that a CDM serving as the full-time person responsible for the day-to-day operation of dietetic services must complete at least six hours of in-service training on the specific California dietary service requirements in Title 22 before assuming full-time duties. The CDM’s personnel file showed he was credentialed as a certified dietary manager through 8/31/26, but during interview he stated he had been employed as the CDM since October 2025 and was not aware of the additional six-hour requirement for skilled nursing facilities. He stated he had worked in a hospital previously and had not been told of any additional requirements. The facility also failed to ensure the CDM received frequently scheduled consultation from the Registered Dietitian (RD). The RD stated she worked remotely, reviewed records once or twice a week, and communicated with the CDM by telephone conferences, phone calls, and email. She stated the consultations were not scheduled weekly at a set date and time, and she did not keep documentation or a log of the consultations. The facility’s business correspondence from the RD showed recommendations related to clinical nutrition, but did not show evaluation of food services. The facility’s policy stated that if a dietitian is not employed full time, the director of food and nutrition services will receive frequently scheduled consultations from a qualified dietitian. During observations in the kitchen, surveyors found a dietary aide without a hair net, a wet quarter pan stacked on another quarter pan, and ground beef thawing in the refrigerator without a pull/thaw date or use-by date. The CDM stated the RD checked in periodically and that he contacted her with kitchen or resident concerns as needed. The Administrator stated she expected the RD to visit weekly and described prior practice at another facility where the RD came in person, assessed new admits, observed meal service, reviewed sanitation, and provided reports. The consultation agreement for dietetic services stated the consultant would evaluate sanitation, safety, food handling practices, and meal service regulations, but the documentation reviewed did not show that the RD provided frequently scheduled consultation to the CDM or evaluated food service practices.
Penalty
Resources
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