MDS Did Not Accurately Reflect Hearing Status and Wound Care
Summary
The facility failed to ensure that the MDS accurately reflected Resident #70’s hearing status. Resident #70 was admitted with diagnoses including cerebrovascular accident, unspecified dementia without behavioral disturbance, essential hypertension, and atherosclerotic heart disease. The MDSs reviewed coded the resident in Section B as having adequate hearing and not using a hearing aid, while the care plan dated 2/17/2026 identified difficulty understanding others related to hard of hearing on the right side and included interventions such as repeating phrases, speaking clearly, and adjusting tone as needed. The facility also failed to accurately document Resident #79’s surgical wound care and external fixator on the MDS. Resident #79 was admitted after a fall at home that resulted in a left trimalleolar fracture requiring a closed reduction and external fixation. The comprehensive MDS identified fractures and other multiple trauma and presence of other medical devices as the primary reason for admission, but Section M did not include surgical wound care or pressure ulcer wound care. The care plan revision dated 02/09/2026 did not include the resident’s wound care or external fixator, although the resident had an order for daily treatment of a left medial ankle blister with normal saline or wound cleanser, betadine, and open to air. During interview, the MDS nurse stated Resident #70 never reported hearing difficulty and that if a hearing impairment were identified, the resident would be evaluated by SLP and referred to a specialist. She also stated that if there was a discrepancy in the MDS, she would speak to the DON and Social Worker to further evaluate the concern and update the care plan and MDS accordingly. For Resident #79, the MDS nurse stated the purpose of including the surgical wound care was to increase reimbursement as it was a service provided by the facility, and that not including it would not affect the resident. The facility policy stated each assessment must represent an accurate picture of the resident’s status during the observation period and that all resident needs and strengths are to be addressed within the MDS assessment.
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.