Failure to Monitor Orthostatic BP and Enforce Safe Ambulation Practices Resulting in Fall With Fractures
Summary
The deficiency involves the facility’s failure to prevent a fall with injury for a cognitively impaired resident with a known history of falls and orthostatic hypotension. The resident was admitted with diagnoses including orthostatic hypotension, difficulty walking, muscle weakness, history of falling, and restless leg syndrome, and a subsequent History and Physical documented that the resident lacked capacity to understand and make decisions. A fall risk evaluation identified the resident as high risk for falls, and an MDS assessment showed moderately impaired cognitive skills for daily decision making, with a need for supervision for transfers and walking 150 feet and set-up assistance for walking 50 feet with two turns. The resident’s care plan for falls, initiated at admission, identified high fall risk factors such as impaired balance, poor safety awareness, orthostatic hypotension, history of repeated falls, and possible medication side effects. The facility did not implement and follow physician orders and internal policies related to orthostatic blood pressure monitoring and fall prevention. Physician orders dated 2/13/2026 directed staff to monitor for side effects of mirtazapine and antipsychotic medications, including postural/orthostatic hypotension and drowsiness, and to document observations with tally marks on the MAR every shift. Review of the MAR and vital signs logs showed no documented evidence that orthostatic blood pressures, including standing blood pressures, were obtained. An LVN acknowledged that orthostatic blood pressures were not being checked and that there were no standing blood pressure readings. Another LVN stated she did not obtain standing blood pressures due to fear the resident might fall if the blood pressure dropped. The DON confirmed that orthostatic blood pressure should have been obtained in lying, sitting, and standing positions per physician orders and that there was no documentation that this monitoring occurred. The facility also failed to ensure the resident used appropriate footwear and assistive devices while ambulating, and did not incorporate these issues into the care plan. Staff interviews revealed that the resident preferred to wear personal purple rubber slip-on slippers, refused nonskid socks, and occasionally refused to use an assistive device, instead sometimes pushing a wheelchair as a walker. Physical therapy records indicated the resident was not trained to ambulate more than ten feet without an assistive device and that discharge recommendations specified ambulation as desired using a front-wheeled walker with staff supervision; the rehabilitation director stated the therapy department did not recommend slippers and was not aware of the resident’s refusal to use assistive devices or preference for slippers. The fall care plan did not include interventions addressing orthostatic blood pressure monitoring, the use of personal slippers, or the resident’s refusal to use assistive devices. On the night of the incident, staff observed the resident walking in the hallway from the room toward the nurses’ station, approximately 71 feet, without an assistive device and wearing the purple slippers; the resident appeared groggy, then fell forward and was later found prone on the floor, complaining of severe left arm pain. The resident reported having walked in the room without a walker or wheelchair, then leaving the room without an assistive device while wearing the slip-on slippers, and next recalled being on the floor in front of the nurses’ station with severe left arm pain. The resident sustained a closed displaced fracture of the proximal left humerus and a closed displaced fracture of the proximal phalanx of the left great toe, requiring transfer to an acute care hospital.
Penalty
Resources
Below are regulatory guidelines relevant to this citation:
Trusted data from CMS and state health departments
Every citation, penalty and Plan of Correction is sourced from public CMS records (latest release July 29, 2026) and official state health department websites — never guesswork.
In your survey window? See what surveyors are citing.
The Survey-Prep Report maps your facility's risk from 12 months of CMS and state citation data — what's being cited around you and what to check first. $129 one-time.