Avir At Houston
Inspection history, citations, penalties and survey trends for this long-term care facility in Houston, Texas.
- Location
- 2310 S Eldridge Parkway, Houston, Texas 77077
- CMS Provider Number
- 676066
- Inspections on file
- 21
- Latest survey
- December 2, 2025
- Citations (last 12 mo.)
- 4 (1 serious)
Citation history
Health deficiencies cited at Avir At Houston during CMS and state inspections, most recent first.
A resident with severe cognitive impairment and multiple comorbidities developed several pressure ulcers, including on the sacrum, left foot, right ankle, and left hip, due to the facility's failure to provide timely pressure-reducing devices and consistent repositioning. Delays in obtaining an air mattress and heel boots, along with inconsistent wound care, led to the progression of wounds to unstageable and necrotic stages, ultimately resulting in hospital transfer for surgical intervention and a recommendation for hospice care.
A resident with severe cognitive impairment, right-sided paralysis, and dependence on staff for most ADLs was discharged to a men's homeless shelter that could not provide necessary assistance with personal care or medication management. Despite documentation and staff observations indicating the resident's ongoing need for substantial help, the facility proceeded with the discharge due to the end of a payment agreement and lack of family support, resulting in the resident struggling to manage basic needs and medication adherence at the shelter.
A resident with multiple complex medical conditions was discharged from the facility without a completed or transmitted discharge MDS assessment. The resident left against medical advice, and although an AMA form was signed, it was not promptly uploaded to the electronic record system. Staff interviews and record reviews confirmed that required documentation and transmission of the discharge MDS were not completed in accordance with facility policy.
A resident with an indwelling catheter and total dependence for ADLs did not have urine output monitored and documented as ordered, despite a history of UTIs and physician directives. Missed documentation occurred on multiple shifts, and lab results indicated recurrent UTIs. Interviews with staff and leadership confirmed the importance of output monitoring, but the facility's policy did not address documentation requirements.
The facility failed to provide adequate weekend activities for residents, offering only self-guided options like puzzles and movies. Residents expressed dissatisfaction with the lack of structured activities on weekends, which did not align with the facility's policy of providing activities seven days a week.
A resident receiving IV antibiotic therapy had their PICC line dressing changed improperly and not according to schedule, increasing infection risk. The facility failed to change the dressing every 7 days as ordered, and LVN B did not measure the catheter length before removal, risking dislodgement. Systemic issues included unavailable dressing kits and poor communication among staff, contributing to the deficiency.
A facility experienced a 14% medication error rate due to an LVN's improper administration of medications to two residents. The LVN failed to follow professional standards for PEG tube administration and did not adhere to physician orders regarding medication timing, leading to potential drug interactions. The DON and ADON noted a lack of proper orientation for the LVN, contributing to these errors.
A facility failed to complete a resident's Annual MDS assessment within the required timeframe, resulting in a 124-day delay. The resident, an 88-year-old female with multiple diagnoses, had her assessment overdue by 26 days. Staff interviews highlighted the importance of timely MDS submissions for compliance and adequate care. The facility's policy mandates comprehensive assessments at specific intervals, and the delay could affect current care plans and interventions.
A facility failed to complete a quarterly assessment for a resident with severe cognitive impairment within the required timeframe. The resident's last MDS assessment was completed several months prior, and the subsequent assessment was overdue by 26 days. The MDS Coordinator admitted the delay, which was contrary to the facility's policy requiring timely submission of assessments to CMS.
A facility failed to complete and transmit a quarterly MDS assessment for a resident within the required timeframe. The assessment, due in February, was not uploaded until March, as confirmed by the MDS Coordinator. This delay could result in an incomplete record for the resident.
A facility failed to implement a comprehensive care plan for a resident with a PICC line, despite physician orders and the resident's medical history. The MDS Coordinator misunderstood the difference between a peripheral IV and a PICC line, leading to the omission. The DON acknowledged the risks associated with this oversight, which included potential infiltration and embolism.
A resident with a G-tube did not receive medication and water according to physician's orders, as LVN B administered 630 cc of water instead of the prescribed 140 cc. The resident complained of feeling too full, and it was revealed that LVN B had not received proper orientation on G-tube procedures. The facility's policy and Texas Administrative Code standards were not followed, leading to a deficiency in care.
Two residents in an LTC facility did not receive adequate grooming and personal care. One resident did not receive scheduled showers, resulting in dry, itchy skin, while another was left in a saturated incontinent brief, leading to skin excoriation. Staff failed to document and communicate effectively, contributing to these deficiencies.
A resident with multiple medical conditions, including a seizure disorder and dysphagia, experienced a significant medication error when an LVN failed to administer medications via a G-tube according to professional standards. The LVN did not ensure all medication was delivered, leaving some in the cups, which could affect therapeutic drug levels. The DON confirmed the LVN lacked proper orientation on G-tube administration, and the facility's policy on medication administration was not followed.
Two residents dependent on staff for ADL care did not consistently receive necessary grooming and personal hygiene services. One resident experienced ongoing dry, flaky skin that was not properly reported or addressed by staff, while another did not receive scheduled showers on multiple occasions, with missed care not documented as refused. Staff interviews revealed lapses in communication, monitoring, and documentation, resulting in unmet care needs.
A resident with severe cognitive impairment and limited mobility did not receive timely or appropriate foot care, resulting in long, thick, and deformed toenails with fungal infection. Multiple staff members observed the condition but failed to report it promptly, and the podiatrist was not notified until the administrator intervened. Facility policy requiring regular nail care was not followed, leading to a deficiency in maintaining proper foot health.
LVNs did not document the reasons for withholding a prescribed pain medication for a resident with multiple neurological conditions and a pain management care plan. The MAR showed the medication was not given, but no explanation was recorded in the progress notes, contrary to facility policy.
Failure to Prevent and Treat Pressure Ulcers
Penalty
Summary
A resident with multiple medical diagnoses, including a lumbar fracture, subdural hemorrhage, and severe cognitive impairment, was admitted to the facility and identified as being at risk for pressure ulcers. Despite this, the facility failed to implement and maintain necessary interventions to prevent the development of pressure ulcers. The resident required total assistance with all activities of daily living and was noted to be chairfast and incontinent, further increasing the risk for skin breakdown. Initial assessments documented some redness and bruising, but subsequent weekly skin assessments repeatedly indicated intact skin until a significant change was noted, including the development of blisters and open wounds on the sacrum and lower extremities. The facility did not provide a pressure-reducing mattress for 15 days after it was ordered, nor did it supply pressure-reducing heel boots for 11 days, despite the resident's high risk and the presence of developing wounds. During this period, the resident developed multiple pressure ulcers, including on the left foot, right lateral ankle, left hip, and sacrum. Documentation and interviews revealed delays in obtaining and applying essential support surfaces and offloading devices, as well as inconsistent implementation of repositioning and pressure relief measures. The resident's wounds progressed to unstageable and deep tissue injuries, with the sacral ulcer eventually becoming necrotic and infected. The lack of timely and consistent interventions led to the resident's transfer to an acute care hospital for surgical debridement of the sacral ulcer. Interviews with facility staff confirmed that there were delays in receiving ordered equipment and that staff education on wound care and repositioning was reactive rather than proactive. The resident's condition deteriorated, resulting in a recommendation for hospice care due to the severity of the wounds and overall poor prognosis.
Inappropriate Discharge to Homeless Shelter Without Adequate Support
Penalty
Summary
The facility failed to ensure that a resident was discharged to an appropriate setting that could meet his needs and preferences. The resident, a male with a history of stroke resulting in right-sided hemiplegia and hemiparesis, severe cognitive impairment, bowel and bladder incontinence, and a history of falls, was discharged to a men's homeless shelter. At the time of discharge, assessments indicated that he required substantial to maximal assistance with most activities of daily living (ADLs), including bathing, dressing, toileting, and personal hygiene, and had significant communication deficits due to aphasia and dysarthria. The resident also had a swallowing disorder and required a mechanically altered diet while in the facility. Despite these needs, the discharge plan involved sending the resident to a homeless shelter that only provided 30 days of emergency housing and did not offer assistance with ADLs or medication management. Interviews with shelter staff revealed that the resident was unable to read, write, or speak effectively, and required explanations and assistance to understand shelter rules. The shelter did not allow staff to assist with showering, and the resident struggled with basic hygiene and medication adherence. The resident was unable to consistently take his prescribed medications, as the shelter could not store or administer them, and he had memory issues that prevented him from managing his medication independently. Facility staff, including social workers and nursing staff, indicated that the discharge was prompted by the end of a payment agreement with the hospital and the lack of available family support or financial resources for continued care. Although some staff believed the resident could perform his own ADLs, multiple interviews and documentation indicated ongoing dependence for personal care and hygiene. The resident expressed fear and difficulty functioning at the shelter, and family members reported concerns about his safety and well-being post-discharge. The facility's actions resulted in the resident being placed in an environment unable to meet his documented care needs.
Failure to Complete and Transmit Discharge MDS Assessment
Penalty
Summary
The facility failed to complete and transmit a discharge Minimum Data Set (MDS) assessment for a resident who was discharged. The resident, a female with multiple medical diagnoses including nephrostomy catheter infection, congestive heart failure, hypertension, end stage renal disease, and anemia, was admitted and later discharged from the facility. Documentation showed that she was cognitively intact and required substantial assistance with activities of daily living, and had ongoing monitoring for nephrostomy tube output and antibiotic therapy for a urinary tract infection. Upon review, it was found that the discharge MDS assessment for this resident was not documented or transmitted as required. The resident left the facility alert, oriented, and stable, taking all her belongings. Interviews with the DON revealed uncertainty about the resident's discharge destination and indicated that the resident left against medical advice (AMA). The AMA form was signed but not immediately uploaded to the electronic record system, and the discharge order was entered after the resident had already left the facility. Further interviews with the social worker confirmed that the resident left AMA and that the AMA form was obtained but not provided to medical records staff in a timely manner. The facility's policy required documentation of the date and time of discharge, a summary of the resident's condition, and the signature of the person recording the data, but these steps were not fully completed. The lack of a completed and transmitted discharge MDS assessment was confirmed through record review and staff interviews.
Failure to Monitor Catheter Output and Prevent UTIs
Penalty
Summary
The facility failed to ensure that a resident who was incontinent of bladder and had an indwelling catheter received appropriate treatment and services to prevent urinary tract infections (UTIs) and to restore continence to the extent possible. Specifically, the resident's urine output was not monitored and documented as ordered on multiple occasions, including several missed shifts in March 2025. The resident had a history of significant medical conditions, including a traumatic spinal fracture, subdural hemorrhage, and lower extremity impairment, resulting in total dependence for activities of daily living and mobility. The care plan and physician orders required regular monitoring of urine output due to the presence of a Foley catheter and recent UTIs, but this was not consistently performed or recorded. Record reviews showed that the resident experienced recurrent UTIs, as indicated by laboratory results showing cloudy urine and elevated white blood cell counts. Interviews with nursing staff and facility leadership confirmed that urine output monitoring was essential for assessing hydration status and catheter function, and that failure to document output could prevent timely identification of changes in the resident's condition. The facility's policy on changes in resident condition did not address the need for accurate documentation in resident records, contributing to the deficiency.
Lack of Weekend Activities for Residents
Penalty
Summary
The facility failed to provide activities that meet the interests and support the physical, mental, and psychosocial well-being of residents on weekends. During a group interview, five residents expressed that there were no activities available on Saturdays and Sundays, except for church services on Sundays. The Activities Director confirmed that she only worked Monday through Friday and occasionally on weekends, leaving residents with self-guided activities such as uno, coloring books, and dominos. The facility was in the process of hiring an assistant activities director, but the current staffing did not provide adequate weekend activities. The Activities Calendar for January, February, and March 2025 showed limited activities on weekends, primarily consisting of independent activities, matinee movies, and church services. The facility's policy stated that activities should be scheduled seven days a week and tailored to meet the needs and interests of each resident. However, the lack of structured activities on weekends did not align with this policy, potentially impacting the residents' quality of life and psychosocial well-being.
Deficiency in PICC Line Management and Dressing Changes
Penalty
Summary
The facility failed to ensure the proper administration of parenteral fluids for a resident, specifically in the management of a PICC line. The resident, a female with multiple diagnoses including sepsis and pneumonia, was receiving IV antibiotic therapy. The facility did not change the resident's PICC line dressing every 7 days as ordered by the physician, which was a critical oversight in maintaining sterile conditions and preventing infections. During observations, it was noted that the dressing on the resident's PICC line had not been changed according to the schedule, with the last change documented on 03/07/25, despite the order for weekly changes. LVN B, who was responsible for the resident's care, admitted to not changing the dressing on 03/19/25 due to being busy and losing track of time. Additionally, LVN B did not measure the external catheter length before removing the old dressing, which is necessary to ensure the catheter has not dislodged. This oversight, along with improper removal techniques, increased the risk of dislodgement and infection. Further interviews revealed systemic issues, such as the unavailability of central line dressing kits and a lack of communication among staff. RN E, who worked on 03/15/25, could not find a dressing kit and failed to notify upper management, which was against protocol. The ADON, responsible for overseeing the unit, was absent due to illness, and the DON acknowledged the need for better oversight and supply management. These lapses in protocol and communication contributed to the deficiency in care for the resident with a PICC line.
Medication Administration Errors by LVN
Penalty
Summary
The facility failed to maintain a medication error rate below 5 percent, resulting in a 14 percent error rate. This involved five errors out of 35 opportunities, specifically concerning one staff member, LVN B, and two residents. LVN B administered medications to Resident #392 via a PEG tube without adhering to professional standards. She crushed medications into powder, dissolved them in water, and failed to ensure all medication was administered, leaving residue in the medication cups. This practice could affect the therapeutic drug levels in the resident's blood. Additionally, LVN B did not follow the physician's orders for Resident #393 by administering doxycycline monohydrate alongside antacids, vitamins, or iron without waiting the required two hours. This oversight could lead to drug interactions or reduced efficacy of the medication. LVN B admitted to not checking the medication label and acknowledged the potential for stomach upset due to the improper administration. Interviews with the DON and ADON revealed that LVN B did not receive proper orientation on G-Tube medication administration. The facility's policy requires medications to be administered according to prescriber orders and pharmaceutical recommendations, which were not followed in these instances. The lack of proper orientation and adherence to medication administration procedures contributed to the medication errors observed.
Delayed MDS Assessment Completion
Penalty
Summary
The facility failed to complete the Annual Minimum Data Set (MDS) assessment for a resident within the required timeframe, resulting in a delay of 124 days. The resident, an 88-year-old female with multiple diagnoses including dementia, bipolar disorder, and schizophrenia, had her MDS assessment due on a specific date but it remained incomplete and overdue by 26 days. The MDS Coordinator acknowledged the delay and stated that the assessment was completed but not uploaded in a timely manner, which is crucial for compliance and ensuring adequate care. Interviews with facility staff, including the Administrator and Director of Nursing (DON), revealed awareness of the issue and the importance of timely MDS submissions. The Administrator noted that MDS assessments should be completed and submitted within required timeframes, and the DON emphasized that timely updates are essential for staff to be aware of residents' current risks and care needs. The facility's policy requires comprehensive assessments at specific intervals, and the failure to adhere to these requirements could impact the reflection of current care plans and interventions for residents.
Failure to Complete Timely Quarterly Assessment
Penalty
Summary
The facility failed to conduct a quarterly assessment for a resident, identified as Resident #1, within the required three-month timeframe. Resident #1, an 88-year-old female with severely impaired cognition as indicated by a Brief Interview of Mental Status (BIMS) score of 03, was admitted to the facility on an unspecified date. The last completed Minimum Data Set (MDS) assessment for this resident was dated 08/08/2024, and the subsequent quarterly assessment was due by 02/22/2025. However, as of 03/20/2025, the assessment was still in progress and 26 days overdue. During an interview on 03/20/2025, the MDS Coordinator acknowledged that the MDS assessment for Resident #1, due by 02/22/2025, had not been completed until 03/20/2025. The facility's policy, revised in October 2023, mandates that resident assessments be conducted and submitted in accordance with federal and state submission timeframes. The policy specifies that the assessment coordinator or designee is responsible for ensuring timely submission of assessments to CMS' internet Quality Improvement Evaluation System (iQIES). Despite these guidelines, the facility did not adhere to the required timeframe for Resident #1's assessment, potentially impacting the accuracy of the resident's care plan.
Delayed MDS Transmission for a Resident
Penalty
Summary
The facility failed to complete and transmit a quarterly Minimum Data Set (MDS) assessment for Resident #1 within the required timeframe. Resident #1, an 88-year-old female, was admitted to the facility, and her quarterly assessment was due on February 22, 2025. However, as of March 20, 2025, the assessment was still marked as 'In Progress' and had not been uploaded to the CMS System. During an interview, the MDS Coordinator acknowledged that the assessment was transmitted late, on March 20, 2025, and admitted it was her responsibility to ensure timely submission. This delay in transmission could result in an incomplete record for the resident.
Failure to Implement Comprehensive Care Plan for PICC Line
Penalty
Summary
The facility failed to develop and implement a comprehensive person-centered care plan for a resident who had a PICC line inserted. The resident, a female with a history of sepsis, hypertension, neuropathy, metabolic encephalopathy, pneumonia, and depression, was admitted to the facility and was receiving IV antibiotic medications. Despite the physician's order for a PICC line insertion, the resident's care plan did not reflect this critical aspect of her treatment. The MDS Coordinator mistakenly believed that a peripheral IV was the same as a PICC line, leading to the omission in the care plan. The Director of Nursing acknowledged the importance of individualized comprehensive care plans and recognized that the lack of proper care planning for the PICC line could result in significant risks, such as infiltration and embolism. The facility's policy on care plans emphasized the need for measurable objectives and timetables to meet residents' needs, which was not adhered to in this case. This oversight placed the resident at risk for infections and unwanted hospitalization.
Failure to Follow G-Tube Medication Administration Protocol
Penalty
Summary
The facility failed to ensure that services provided to a resident with a gastrostomy tube (G-tube) met professional standards of quality. The resident, who had multiple diagnoses including dysphagia and chronic thromboembolic pulmonary hypertension, was observed receiving medication and water through her G-tube by LVN B. The physician's orders specified that the G-tube should be flushed with 30 ml of water before and after medication administration, and with 10 cc between each medication. However, LVN B administered a total of 630 cc of water, significantly exceeding the prescribed amount. During the medication administration, the resident complained of feeling too full, indicating discomfort. LVN B admitted to not calculating the total amount of water given and acknowledged that the excessive water could lead to fluid overload and aspiration. The Director of Nursing (DON) confirmed that LVN B had not received proper orientation on G-tube procedures, which was supposed to be provided by the Assistant Director of Nursing (ADON). However, the ADON stated that another RN, who no longer worked at the facility, was responsible for LVN B's orientation. The facility's policy on administering medications through an enteral tube was not followed, as it required verification of physician's orders and proper dilution of medications. The Texas Administrative Code also mandates that nurses obtain necessary instruction and supervision when implementing nursing procedures. The lack of proper orientation and adherence to physician's orders and facility policy contributed to the deficiency in care provided to the resident.
Deficiencies in Resident Care and Hygiene
Penalty
Summary
The facility failed to provide necessary grooming and personal care services for two residents, leading to deficiencies in their care. Resident #195, a female with diabetes, hypertension, and an amputation, did not receive scheduled showers or bed baths consistently. Despite being scheduled for showers three times a week, there were no records of showers being given, and the resident reported feeling unclean and having dry, itchy skin. Staff interviews revealed a lack of communication and documentation regarding the resident's refusal or acceptance of showers, contributing to the oversight in care. Resident #192, a female with diabetes, hypertension, and atrial fibrillation, experienced a delay in receiving incontinent care. The resident was found lying in a wet hospital gown and bed linens, having been left in a saturated incontinent brief for an extended period. This resulted in redness and excoriation on her skin. Staff interviews indicated that rounds for incontinent care were not conducted as frequently as required, and there was a lack of monitoring by the nursing staff to ensure timely care. The facility's policy on Activities of Daily Living (ADL) requires that residents who cannot perform ADLs independently receive necessary services to maintain hygiene and grooming. However, the facility failed to adhere to this policy for both residents, leading to potential risks of skin breakdown and infection. The lack of proper documentation and communication among staff members further exacerbated the deficiencies in care provided to these residents.
Medication Administration Error via G-Tube
Penalty
Summary
The facility failed to ensure that a resident was free from significant medication errors. Specifically, a Licensed Vocational Nurse (LVN) did not administer medications via a gastrostomy tube (G-tube) in accordance with professional standards. The resident, who had a history of dysphagia, pneumonitis, hyponatremia, chronic thromboembolic pulmonary hypertension, and seizure disorder, was dependent on staff for all activities of daily living. The LVN crushed and dissolved medications, including atorvastatin, lamotrigine, and fluoxetine, but failed to ensure that all the medication was administered, leaving some in the medication cups. This action was not in line with the physician's orders, which required flushing the feeding tube with water before and after medication administration and between each medication. Interviews revealed that the LVN was aware that not all medication was administered, which could affect the therapeutic drug levels in the resident's blood. The Director of Nursing (DON) acknowledged that the LVN had not received proper orientation on G-tube medication administration, as the Assistant Director of Nursing (ADON) was responsible for the LVN's orientation. The ADON stated that another RN, who no longer worked at the facility, had provided the orientation. A review of the LVN's competency skills orientation showed no signatures on the performance objectives, indicating a lack of proper training. The facility's medication administration policy emphasized the importance of administering medications according to prescriber orders and ensuring optimal therapeutic effects, which was not adhered to in this case.
Failure to Provide Consistent ADL Care and Personal Hygiene
Penalty
Summary
The facility failed to provide necessary services to maintain grooming and personal care for two residents who were dependent on staff for activities of daily living (ADLs). One resident, a male with severely impaired cognition and multiple medical diagnoses including HIV, hypertension, and cerebral infarction, was observed to have ashy, dry, and flaky skin from below the knees to the soles of his feet. Despite being totally dependent on staff for personal hygiene and bathing, staff did not consistently report or address his dry skin. The wound care nurse, floor nurse, and CNA all acknowledged the presence of dry, flaky skin but did not communicate this to supervisory staff or document it appropriately. The wound care nurse also reported not having received skills check-off or in-service training on skin assessment at the facility. Another resident, a male with moderately impaired cognition and significant physical limitations, was dependent on staff for showers and other ADLs. He reported not receiving scheduled showers consistently, specifically missing showers on several assigned days. Documentation on shower sheets confirmed these missed showers, and there was no record of the resident refusing care. Staff interviews revealed that when showers were missed, CNAs would sometimes state they were too busy, and there was a lack of follow-up or documentation regarding refusals or reasons for missed care. The process for monitoring and ensuring completion of scheduled showers was inconsistently followed, with both nurses and the unit manager acknowledging lapses in oversight and documentation. The facility's policy required that residents unable to perform ADLs independently receive necessary services to maintain grooming and hygiene. However, observations, interviews, and record reviews demonstrated that these services were not consistently provided or documented for the two residents in question. The lack of communication among staff, insufficient monitoring, and failure to document care or refusals contributed to the deficiencies in maintaining residents' personal hygiene and skin integrity.
Failure to Provide Timely and Appropriate Foot Care
Penalty
Summary
A deficiency was identified when a male resident with severe cognitive impairment, limited mobility, and multiple medical diagnoses, including HIV, hypertension, and cerebral infarction, was not provided with appropriate foot care. The resident was dependent on staff for all activities of daily living, including personal hygiene and bathing. Despite these needs, observations and record reviews revealed that the resident's toenails were long, thick, deformed, and discolored, with evidence of fungal infection and irritation. The podiatrist's assessment confirmed onychomycosis, calluses, and atherosclerosis, and noted the resident's complaints of pain due to the condition of his toenails. Staff interviews indicated a lack of timely communication and action regarding the resident's foot care needs. The wound care nurse and an LVN both observed the resident's long and discolored toenails but did not promptly report the issue to the unit manager or social worker. The wound care nurse stated that she had informed the social worker about the toenails two weeks prior, but the podiatrist only visited the facility every three months. The LVN admitted to not reporting the condition, despite having completed a skills check-off on nail care. The podiatrist was only notified after the administrator intervened, and he stated that earlier notification would have allowed for more timely care and possibly prevented the development of cracks and fungal infection. Further interviews with facility leadership, including the social worker, administrator, nurse practitioner, and DON, revealed that none were aware of the resident's foot condition until it was brought to their attention by the wound care nurse or administrator. Facility policy required regular cleaning, trimming, and infection prevention for residents' nails, but this was not followed in the resident's case. The lack of timely assessment, reporting, and intervention resulted in the resident not receiving foot care consistent with professional standards of practice.
Failure to Document Reasons for Withheld Pain Medication
Penalty
Summary
Licensed Vocational Nurses (LVN) failed to accurately document the reasons for not administering a prescribed pain medication, Tramadol HCl Oral Tablet 100 MG, to a resident on two occasions. The Medication Administration Record (MAR) indicated that the medication was held or not given, but the required explanations were not entered in the resident's progress notes as per facility policy. Interviews with staff revealed that the medication was likely withheld due to the resident's declining condition and a change in the route of administration, but no supporting documentation was found in the medical record. The resident involved was an elderly female with diagnoses including encephalitis, encephalomyelitis, dysphagia, and cognitive communication deficit, and was on a care plan for pain management. She passed away on the same day the medication was not administered. The facility's policy required that any held or omitted medication be clearly documented with reasons in the resident's record, which was not done in this case.
Latest citations in Texas
A resident with severe dementia, mobility deficits, and dependence for transfers was provided bed rails without a documented entrapment risk assessment, physician order, or inclusion of bed rail use in the care plan, despite a facility policy requiring alternatives, IDT review, informed consent, and proper installation. Maintenance installed 1/3 bed rails on verbal request from nursing, believing the clinical steps had been completed, and the resident later was found partially out of bed with her head pinned between the rail and a low air loss mattress, unresponsive, and subsequently pronounced deceased. The medical examiner noted neck abrasions, bruising, and muscle hemorrhage consistent with entrapment between the mattress and bed rail and indicated the likely cause of death as strangulation on the rails or asphyxiation on the mattress, and the deficiency was cited as past Immediate Jeopardy.
A resident with severe cognitive impairment and multiple pressure injuries received twice-daily wound care without a corresponding pain care plan or documented pain assessments, despite having a PRN acetaminophen order. During an observed wound care attempt, the resident winced, cried out, and showed facial expressions consistent with pain when repositioned, while staff were unsure of her primary language, whether she had been assessed or medicated for pain, or even what pain medications were ordered. CNAs and the treatment nurse noted foul odor and colored drainage from the wounds and that the resident felt warm, but the LVN initially reported no indication of pain or need for vital signs and only checked a temperature after surveyor prompting, without performing a clear pain assessment. The wound care NP later reported the resident had increased necrotic tissue, odor, and frequent combative behavior during prior treatments that had not been considered as possible pain responses, and the resident’s representative stated they were unaware of wound odor, infection concerns, or antibiotic orders and believed the resident was receiving pain medication while video showed wound care being attempted without it.
Surveyors found three mechanical lifts repeatedly parked unlocked and unsecured in a hallway adjacent to the 300 Hall, where they were stored and charged when not in use. An RN and a CNA assigned to the hall both stated they were unaware the lifts were unsecured, despite prior in‑service training on lift safety and storage, and each could not recall when that training last occurred. The DON confirmed that all lifts were expected to be locked when not in use, acknowledged unawareness of the unsecured lifts over several days, and stated that while staff had been educated on lift safety, there was no facility policy addressing accidents and hazards related to mechanical lift safety and storage, and the existing mechanical lift policy lacked such content.
Surveyors found multiple food safety and storage deficiencies in the kitchen, including an unsealed bag of meat, sauce containers with dried drippings on the handle and rim, a container of overripe bananas with black peels, and uncovered whole eggs in an unlabeled, undated bowl. Temperature logs for reach-in refrigerators and a freezer were missing required PM shift temperature checks and staff signatures. In interviews, dietary staff, the Dietary Manager, and the Administrator confirmed that these conditions did not follow facility policies requiring open food to be securely covered, labeled, dated, properly cleaned, and monitored with completed temperature logs.
A resident with lymphedema and multiple comorbidities had physician orders for bilateral lower extremity ace wraps each morning with removal in the evening, along with edema checks every shift. On the survey day, the resident was observed in a wheelchair without leg wraps, while the MAR showed the morning treatment as completed. The resident reported his legs were supposed to be wrapped daily and that they had not been wrapped for about a week, and he described inconsistent staff response to his call light. The charge nurse admitted it was not normal practice to document treatment before completion and stated the resident usually received wraps after a shower, which had not yet occurred. CNAs gave conflicting accounts about how consistently the wraps were applied, and leadership confirmed expectations that treatments be performed per orders and documented only after completion, in line with the facility’s documentation policy prohibiting false entries.
Surveyors found that the facility failed to provide pressure ulcer care consistent with professional standards for three residents. One resident with hemiplegia and vascular dementia had a sacral wound that was omitted from the care plan and repeatedly left off weekly skin assessments, while heel wounds were documented without consistent measurements or staging and ordered treatments were not always recorded as given. A second resident with multiple comorbidities developed a sacral wound that progressed from MASD to an unstageable and then Stage 4 pressure injury with surgical debridement, yet the care plan was not updated to reflect the active pressure ulcer and specific interventions, and weekly skin assessments often lacked complete staging and measurements. A third resident with dementia and incontinence had an unstageable sacral ulcer and MASD, but weekly skin assessments were inconsistent, some ordered wound treatments and topical medications were not documented on the TAR, and nursing notes did not show that care was provided on those dates. Staff interviews revealed that the treatment nurse handled nearly all weekly skin assessments and wound care documentation, relied on the DON or wound physician for staging and measurements, and that facility policies requiring complete wound assessment and documentation were not consistently followed.
The facility failed to ensure call lights were accessible for four residents who were identified as fall risks and required assistance with ADLs or had significant mobility or cognitive impairments. Observations found residents lying in bed with call lights placed at the head of the bed, on the floor, on a roommate’s bed, or on a nightstand, all out of reach, despite care plan interventions requiring call lights to be kept within reach. A CNA, an LVN, and the DON each confirmed that all staff are responsible for keeping call bells within residents’ reach and acknowledged that inaccessible call bells could lead to accidents, falls, avoidable injuries, delayed care, and unmet needs, contrary to the facility’s written call light policy.
Surveyors found that multiple resident rooms and two halls were not maintained in a clean and sanitary condition. Bathrooms in several rooms had brown or gray stains in corners and around toilets, and some showers and room floors had dark or built-up dirt along edges, near closets, and by beds and walls. Air conditioning vents and filters in several rooms were observed with black grime or thick dust. Handrails on two halls had debris, including tissue with a red-brown substance, candy wrappers, gum, plastic, and paper wedged between the rails. Sharps containers in several rooms had used gloves and trash placed on top. The Administrator and housekeeping staff confirmed that housekeeping was responsible for cleaning rooms, bathrooms, floors, handrails, and air conditioning units, and staff acknowledged that the observed conditions were a health hazard and could cause infection.
The facility failed to follow its own infection control practices and physician orders for three residents requiring respiratory care. A resident with COPD had a nasal cannula and nebulizer mask connected to equipment that were not bagged or dated when not in use, despite orders for weekly changes. Another resident with asthma had an unbagged, undated nasal cannula and an oxygen humidifier bottle that was partially full, cracked, and dated from a prior week. A third resident with COPD had both nasal cannula and nebulizer mask unbagged and undated, despite orders for weekly equipment changes and monitoring of pulse, O2 sat, treatment time, and lung sounds. Staff, including a CNA, an LVN, and the DON, acknowledged that equipment should always be bagged, dated, and changed per schedule to prevent infection, consistent with the facility’s infection prevention and control policy.
Surveyors found that staff failed to administer multiple residents’ scheduled medications within the facility’s one-hour administration window, despite active orders for numerous drugs treating conditions such as DM, HTN, CHF, dementia, seizures, and hypothyroidism. During a morning med pass, a med tech had not completed 8:00 a.m. and 9:00 a.m. medications by late morning, and staff interviews confirmed that medications were required to be given within a defined time range. In addition, staff did not consistently check BP before dispensing medications with BP parameters, did not keep a milk-based Med Pass nutritional supplement refrigerated or on ice as required by manufacturer directions and facility protocol, and failed to date most insulin vials when opened, contrary to facility policy. These actions and inactions showed that pharmaceutical services, including accurate dispensing, administration, and storage of medications and biologicals, were not provided as required for the residents reviewed.
Failure to Assess, Order, and Care Plan Bed Rail Use Resulting in Fatal Entrapment
Penalty
Summary
The deficiency involves the facility’s failure to follow its own policy and regulatory requirements for the assessment, ordering, care planning, and safe use of bed rails for a cognitively impaired resident. The resident was an elderly female with severe dementia, repeated falls, a fractured neck of the left femur, cognitive communication deficit, and a need for assistance with personal care. Her admission MDS showed a BIMS score of 03, indicating severe cognitive impairment, and documented that she required substantial staff assistance with bed mobility and was completely dependent on staff for transfers from bed to chair. Despite these needs, her care plan addressed ADL self-care performance deficits related to dementia and included interventions for bed mobility requiring one staff member to assist with repositioning, but it did not mention bed rails or any risk of entrapment. The facility obtained a bed rail consent form signed by the resident’s family member, which listed multiple potential dangers of bed rail use, including suffocation and various forms of entrapment that could cause injury or death. However, from the time of admission through the date of the incident, there was no documented bed rail safety or entrapment risk assessment for this resident, no physician order for bed rails, and no inclusion of bed rail use in the resident’s care plan. Maintenance staff reported that a charge nurse verbally requested installation of bed rails on the resident’s bed, and he believed the usual clinical steps—assessment, IDT review, consent, and physician order—had already been completed, but he had no documentation of when the rails were installed. The DON later confirmed that, for this resident, the required risk of entrapment assessment, physician order, and care plan focus for bed rails were not completed, and alternatives to bed rails were not attempted prior to installation, contrary to facility policy. On the night of the incident, a CNA observed the resident resting calmly around 2:00 a.m. During a subsequent round close to 5:00 a.m., the CNA found the resident partially out of bed with her head pinned between the assist bar/bed rail and the mattress, and notified the LVN. The LVN’s written statement described finding the resident seated on the floor on the right side of the bed, off the mattress, with her head resting between the side rail and the mattress, unresponsive. CPR was initiated and EMS was called, but the resident was later pronounced deceased. The county medical examiner reported that the resident had bruising and abrasions around the neck and jawline and hemorrhaging in the neck muscles, injuries consistent with being trapped between the mattress and bed rails, and indicated that the likely cause of death would be strangulation on the bed rails or asphyxiation on the mattress. Subsequent observation of the bed showed 1/3 bed rails of the same make and model as the bed frame and a low air loss mattress; while the rails were not loose and there was little space when the mattress was fully inflated, the air mattress could be compressed enough to create significant space between the mattress and rails. The facility’s failure to conduct a bed rail entrapment risk assessment, obtain a physician order, and incorporate bed rail use into the care plan prior to installation led to the resident’s entrapment and death, and constituted noncompliance identified as past Immediate Jeopardy. The facility’s written bed rail policy required that appropriate alternatives be attempted before installing bed rails, that the IDT assess each resident for entrapment risk, that risks and benefits be reviewed with the resident or representative, that informed consent be obtained prior to installation, and that manufacturer instructions and compatibility of bed, mattress, and rails be verified. It also required updating the care plan to reflect the need or choice for bed rails. In this case, staff interviews and record review showed that these steps were not followed for the resident involved. The DON acknowledged that the process did not occur as required, that the IDT did not meet to assess the resident for entrapment risk, and that the bed rails were installed based on the responsible party’s request without the mandated clinical review and documentation. This sequence of omissions and deviations from policy directly preceded the resident’s fatal entrapment between the bed rail and mattress.
Removal Plan
- Notify Medical Director
- Notify Ombudsman
- Conduct ad hoc QAPI
- DON to provide education to trainers regarding abuse and neglect
- Review admissions processes regarding bed rails and complete in-service with DON, ED, and IDT
- Provide in-service to all nurses involved with admissions process regarding bed rails
- Audit bed rails currently in use
- Inspect bed rails currently in use
- Verify consent on file for all bed rails in use
- Verify order and care plan for all bed rails
- Complete bed rail safety evaluation for all residents with bed rails
- Audit low air loss mattresses currently in use
- Verify order and care plan for all low air loss mattresses in use
- Complete fall risk assessment for all residents with low air loss mattress
- Provide staff education regarding use of enabler/bed rail
- Provide staff education regarding false safety
- Provide staff education regarding low air loss mattress
- Audit admissions for completion
- Audit low air loss mattresses and bedside rails
- Conduct ongoing monitoring for improvement to be reviewed at QAPI
Failure to Assess and Manage Pain During Wound Care for a Nonverbal Resident
Penalty
Summary
The deficiency involves the facility’s failure to provide safe, appropriate pain management consistent with professional standards of practice and the resident’s needs during wound care. A female resident with severe cognitive impairment (BIMS score of 00) was admitted with multiple pressure-related skin conditions, including a left heel deep tissue injury (DTI), right heel DTI, an unstageable sacral pressure injury, a left heel ulcer, a right bunion DTI, and other bruising/discoloration. Her MDS Care Area Assessment did not trigger for pain and no care planning decision for pain was documented. The resident’s care plan contained detailed entries for her multiple wounds but did not include any care plan for pain, despite the presence of significant pressure injuries and ongoing wound care orders. Record review showed the resident had an active PRN order for acetaminophen 500 mg every 6 hours as needed for pain and an order for Doxycycline for the sacral wound, as well as twice-daily wound care orders for the unstageable sacral pressure injury. The MAR for the month showed that no acetaminophen had been administered since early in the month, even though wound care was being performed twice daily. During an observed attempt to perform wound care, the resident was dependent for mobility and required staff to roll and reposition her. When staff attempted to roll her for treatment, she winced, cried out "Oh my God" in Spanish, and displayed furrowed eyebrows and facial expressions consistent with pain. CNAs assisting with care noted that she appeared to be lying on the wound, that her wounds often drained, and that there was a foul odor and visible brownish-green drainage on her brief and positioning towels. Despite these signs, the treatment nurse could not confirm whether the resident had been assessed for pain or medicated prior to the procedure and was unsure of the resident’s primary language. During this same encounter, the resident was noted by the surveyor and CNAs to feel warm to the touch, and her wounds and dressings showed green, brown, or red drainage. The treatment nurse and CNAs acknowledged the resident felt warm, but the charge nurse (LVN) initially stated there was no indication the resident was in pain or needed vital signs assessed and only checked the resident’s temperature after being prompted by the surveyor. The LVN reported a normal temperature using a contactless thermometer, was unsure if the resident had any pain medication orders, and did not initially perform a direct pain assessment. Subsequent interviews revealed that the wound care NP had observed increased necrotic tissue and odor in the sacral wound the prior week and that the resident had been frequently combative, refusing wound care by kicking and biting, but this behavior had not been considered as a possible reaction to pain. CNAs later described the resident’s facial expressions and reactions during repositioning as indicating pain, while the LVN reported feeling pressured and nervous during the surveyor’s questioning and could not clearly describe having assessed the resident for pain during her shift. The resident’s responsible party stated they had not been informed of wound odor, infection concerns, or antibiotic orders and believed the resident was receiving pain and fever medications, later expressing shock upon reviewing video that showed wound care being attempted without medication. The facility’s own pain assessment and management policy stated that residents should be assessed for pain at admission and ongoing, monitored for pain with changes in condition, and that procedures such as moving or wound care can cause pain. It also directed that pain management interventions be consistent with the resident’s goals and documented in the care plan, and that underlying causes of pain, including skin/wound conditions like pressure ulcers, be addressed. In this case, the resident with multiple pressure injuries and ongoing wound care had no pain care plan, no documented pain assessment using appropriate tools for severe dementia, and no administration of ordered PRN pain medication in the weeks preceding the observed event, despite clear non-verbal signs of pain during wound care attempts. These actions and omissions led surveyors to determine that the facility failed to ensure pain was assessed and treated prior to wound care, resulting in the resident crying out and exhibiting pain behaviors when touched or moved.
Removal Plan
- Amend treatment orders to require pain evaluation prior to treatments and medication if indicated upon re-admission.
- Provide additional 1:1 education to CNA A, CNA B, LVN A, and the facility treatment nurse specific to issues identified in the preliminary fact analysis.
- Nursing leadership (DON/designees) to conduct facility rounds on all residents to ensure no unreported or undocumented changes in pain levels; audit all wound care orders to ensure pain management orders are present as indicated.
- Complete house-wide pain assessments; communicate any reported pain to the charge nurse for medication administration if indicated and complete follow-up assessment to ensure effectiveness.
- Re-educate licensed nurses on change in condition, pain assessment and management, administering pain medications, and the pain-clinical protocol (including identifying situations where increased pain may be anticipated such as wound care, ambulation, repositioning, and reviewing the critical element pathway for pain recognition and management).
- Re-educate all non-licensed nursing staff on recognizing change in condition/status including changes in pain levels and proper reporting using STOP AND WATCH Alert in PCC/point-of-care documentation and/or direct communication to the charge nurse; re-educate staff not working prior to their next scheduled shift.
- Educate the Facility Administrator and DON by the Divisional President of Operations on standards of care, pain management, and quality oversight.
- Validate staff education via completion of a quiz and acknowledgement covering recognition of changes in condition, proper notification procedures, and pain assessment and management.
- Review and validate the pain assessment and management policy to ensure alignment with regulatory requirements (no changes required).
- Implement monitoring: change in condition/pain assessment audits (review 24-hour summary report and nurse progress notes; ensure changes are reported to the provider and documented; ensure pain assessments are completed prior to treatments); review audit results in IDT/QAPI meetings and address issues immediately, including provider communication.
Unsecured Mechanical Lifts Left Unlocked in Resident Hallway
Penalty
Summary
The deficiency involves the facility’s failure to keep the environment as free of accident hazards as possible in the hallway adjacent to the 300 Hall, specifically related to unsecured mechanical lifts. Surveyors repeatedly observed three mechanical lifts parked in this hallway that were unlocked and unsecured on multiple occasions over three consecutive days at various times. These observations showed that the lifts remained in an unsecured state while not in use, in an area used for storing and charging them. During interviews, an RN assigned to the 300 Hall stated she was unaware that the three mechanical lifts parked in the adjacent hallway were unlocked and unsecured, despite being stationed at the nearby nurses’ station. She reported having received in‑service training on mechanical lift safety and storage but could not recall when the training occurred. The RN acknowledged that mechanical lifts were supposed to be locked when not in use and confirmed that the three lifts observed were the only ones she used for residents and that they were stored in that hallway to be charged when not in use. She also stated that she typically did not check the parked lifts to verify they were locked and secured. A CNA assigned to the same hall similarly reported being unaware that the three mechanical lifts were unlocked and unsecured, despite also having received in‑service training on mechanical lift safety and storage and being unable to recall when that training last occurred. The DON stated she was unaware that the three lifts had been left unlocked and unsecured over the three days of observation and confirmed her expectation that all mechanical lifts be locked when not in use. The DON stated that all staff had been educated on proper mechanical lift usage and safety but could not recall when the last in‑service training occurred. The DON and Administrator both reported that the facility did not have a policy addressing accidents and hazards related to mechanical lift safety and storage, and the existing “Total Mechanical Lift” policy did not contain information on accidents and hazards related to lift safety and storage.
Food Storage, Labeling, and Temperature Monitoring Deficiencies in Kitchen
Penalty
Summary
Surveyors identified a deficiency in the facility’s food storage and handling practices in the main kitchen. During an observation of the walk-in refrigerator, they found a zip-top bag containing meat slices that was not fully sealed and exposed to air. They also observed one gallon container of sauce with black drippings on the handle and one jar of sauce with yellow, dried drippings around the rim. A container held approximately ten overripe whole bananas with black peels, and three whole eggs were left uncovered and exposed to air in an unlabeled and undated bowl. Additionally, temperature logs for two reach-in refrigerators and one reach-in freezer were missing the PM shift temperature checks and signatures for a specific date. In interviews, dietary staff, the Dietary Manager, and the Administrator confirmed that these conditions were inconsistent with facility policies and expected practices. Dietary staff stated that temperature logs were to be completed at the start and end of each shift by cooks and dietary aides, and that the Dietary Manager was responsible for ensuring completion. They explained that eggs should be returned to their original container or stored sealed, labeled, and dated; overripe bananas should be discarded; zip-top bags should be fully sealed; and jars and gallon containers should be wiped down after each use. The Dietary Manager and Administrator reiterated that all open food must be securely covered, labeled, and dated, and that fruits and vegetables showing visible damage or rot should be discarded, consistent with written facility policies on food storage and dietary food service personnel responsibilities.
Failure to Follow Physician Orders for Lymphedema Leg Wraps and Accurate Documentation
Penalty
Summary
The deficiency involves the facility’s failure to provide treatment and care in accordance with physician orders and professional standards of practice for one resident with lymphedema. The resident was an adult male with multiple diagnoses including cardiac arrhythmia, musculoskeletal symptoms, osteitis deformans of multiple sites, eye and adnexa disorder, lymphedema, major depressive disorder, prostate disorder, chronic pain, hypokalemia, COPD, muscle weakness, lack of coordination, epilepsy with complex partial seizures, unsteadiness on feet, and other gait and mobility abnormalities. His Quarterly MDS showed a BIMS score of 15, indicating intact cognition, and he was dependent for toileting hygiene, showering/bathing, and personal hygiene. Physician orders on the March MAR included ace wraps to both lower extremities every morning and removal every evening, along with edema checks every shift. On the survey date, record review of the March MAR showed that the charge nurse had documented completion of the resident’s morning leg wrap treatment, but when the surveyor reviewed the resident at 11:21 a.m., he was observed sitting in his wheelchair with his legs not wrapped. At 11:50 a.m., the MAR still reflected that the treatment was completed, despite the wraps not being in place. The resident reported he had severe leg swelling due to lymphedema and stated his legs were supposed to be wrapped daily, but the last time they had been wrapped was about a week prior. He stated that whether his call light requests for treatment were answered depended on who responded, and that staff sometimes did not return to complete his care, which made him feel bad. In interviews, Charge Nurse A acknowledged that it was not normal nursing practice to document treatment before completion and stated that the resident normally received leg wraps after his shower, but that morning the resident had not yet had a shower. CNAs provided differing accounts: one CNA stated the wraps were always on during bed baths but did not bathe the resident that day; another CNA stated that sometimes the resident’s legs were wrapped and sometimes not, that his legs were not wrapped that day, and that she had given him a bed bath that morning; a third CNA stated she had never seen his legs unwrapped. The NP explained that the purpose of the wraps was to enhance circulation due to lymphedema. The DON confirmed the resident had bilateral leg wrap orders in the morning and removal in the evening, and that she was informed around midday that his legs were not wrapped. The Administrator stated she knew the resident’s legs were wrapped but did not know why, and both the DON and Administrator stated that documentation of treatment should occur after the treatment is performed, consistent with the facility’s documentation policy, which prohibits false information in the medical record.
Failure to Accurately Assess, Care Plan, and Treat Pressure Ulcers for Multiple Residents
Penalty
Summary
The deficiency involves the facility’s failure to provide pressure ulcer care consistent with professional standards, including accurate assessment, staging, measurement, care planning, and implementation of ordered treatments for multiple residents with pressure injuries. For one resident with hemiplegia, vascular dementia, incontinence, low body weight, and an admission Braden score indicating risk, the facility did not consistently identify and document all existing wounds. Her care plan listed only a left heel pressure wound and omitted a sacral wound. Weekly skin assessments from late January through March repeatedly failed to document the sacral wound after its initial identification, and heel wounds were inconsistently documented without required measurements or staging. On several dates, the weekly skin assessment was left blank or lacked measurements, despite physician documentation that the left heel wound progressed from Stage 3 to Stage 4 with increasing size. The treatment administration record (TAR) also showed missing documentation of ordered wound treatments to the sacrum and left heel on multiple dates, with no corresponding nursing notes indicating that care was provided. A second resident with hemiplegia, vascular dementia, diabetes, malnutrition, peripheral vascular disease, incontinence, and significant weight loss was identified as at risk for pressure ulcers but initially had no documented pressure wounds. Her care plan, last updated the previous year, addressed only potential for pressure ulcer development and other skin integrity risks, and did not reflect a current sacral pressure wound. However, physician orders and TAR entries showed daily treatment to a sacral wound, and weekly skin assessments documented a sacral wound beginning in mid-February. These assessments frequently lacked staging and, at times, lacked complete measurements. Over several weeks, documentation showed the sacral wound increasing in size and evolving from MASD to an unstageable wound and then to a Stage 4 pressure injury requiring surgical debridement of devitalized tissue, including subcutaneous tissue, muscle fascia, and tendon. Despite this progression and ongoing wound physician involvement, the resident’s care plan was not updated to reflect the current pressure injury and specific wound care interventions. A third resident with dementia, Alzheimer’s disease, muscle weakness, incontinence, and an initially non-risk Braden score that later declined to moderate risk had an unstageable sacral pressure ulcer present on admission and MASD. Her care plan included potential for pressure ulcer development, an unstageable sacral pressure ulcer related to immobility, and a wound infection requiring oral antibiotics. Physician orders directed weekly skin assessments and specific daily and evening wound treatments to the sacral area. However, the March TAR showed multiple dates where ordered sacral wound treatments and topical medication for left upper buttock redness were not documented as given, and nursing progress notes did not show that wound care was provided on those dates. Weekly skin assessments for this resident were inconsistent, with several assessments in early January documented as refused or limited, alternating between noting arm discoloration and no skin issues, and later assessments intermittently omitting the sacral wound or lacking measurements and staging. Wound physician notes documented an unstageable sacral pressure injury with rapid clinical decline and later a Stage 3 pressure injury that had increased in size, but these changes were not consistently mirrored in the facility’s weekly skin assessment documentation. Interviews with nursing staff and leadership further described systemic issues contributing to the deficiency. The treatment nurse stated she could not stage wounds and relied on the DON or wound physician for staging, and that she was responsible for updating care plans when new pressure injuries were identified, though she was unsure of the required timeframe. She also reported that she performed nearly all weekly skin assessments for approximately 96 residents Monday through Thursday, with no assessments scheduled on Fridays unless there was a new admission, and that wound measurements were typically taken only when the wound physician visited, after which she transferred his measurements into the weekly skin assessments. The DON and ADON indicated that the treatment nurse was responsible for all wound care planning, weekly skin assessments, and ensuring documentation, and acknowledged that missing or inconsistent wound measurements and documentation on weekly skin assessments would prevent the facility from determining whether wounds were improving or worsening. Facility policies required full assessment and documentation of pressure ulcers, including location, stage, length, width, depth, exudate, and necrotic tissue, as well as complete wound care documentation, but the records for these three residents showed repeated omissions and inconsistencies in assessment, staging, measurement, care planning, and documentation of ordered treatments.
Failure to Ensure Accessible Call Lights for Multiple Residents
Penalty
Summary
Surveyors identified a deficiency in the facility’s failure to reasonably accommodate resident needs and preferences by not ensuring that call lights were accessible to four residents reviewed. For one male resident with a skull fracture, a baseline MDS showing he was a fall risk and unable to complete the BIMS interview, and a care plan indicating he required assistance with ADLs, observation showed he was lying in bed with his call light positioned at the head of the bed, out of his reach. A second male resident, with diagnoses including need for assistance with personal care, stroke, and dysphagia, and a quarterly MDS indicating he was unable to complete the BIMS interview, had a care plan intervention specifying that his call light should be within reach; however, observation found him lying in bed with his call light on the floor, out of reach. A third resident, a female with lack of coordination, unsteadiness on her feet, repeated falls, and severe cognitive impairment (BIMS score of 1), had a care plan intervention to ensure her call light was within reach, yet she was observed lying in bed with her call light placed on her roommate’s bed. A fourth male resident with right-sided paralysis, intact cognition (BIMS 14), and a care plan identifying him as a fall risk with an intervention to keep his call light within reach, was observed lying in bed with his call light on the nightstand, out of reach. During interviews, a CNA, an LVN, and the DON each stated that call bells should always be within residents’ reach and that all staff are responsible for ensuring this, and acknowledged that lack of accessible call bells could result in accidents, falls, avoidable injuries, delayed care, and unmet needs. The facility’s written policy on call lights required staff to place the call device within the resident’s reach before leaving the room.
Failure to Maintain Clean Resident Rooms and Hallway Handrails
Penalty
Summary
Surveyors identified a deficiency in the facility’s failure to provide a safe, clean, comfortable, and homelike environment, as required by the facility’s Resident Rights policy. During observations on the 300 and 400 halls, surveyors noted that handrails contained debris, including a piece of tissue with a red and brownish substance on the 300 hall and candy wrappers, gum, clear plastic materials, and large pieces of paper wedged between the rails on the 400 hall. Multiple resident rooms on these halls were found with unclean and unsanitary conditions. Several bathrooms had brownish or grayish stains in the corners of the floors and around toilets, as well as dark stains along floor edges, in corners, and in showers. Room floors showed built-up dirt near closet doors, door frames, and along floor edges, with brownish or dark stains near beds and walls. Additional observations revealed that air conditioning unit vents and filters in several rooms had black grime or thick dust accumulation. In multiple rooms, sharps containers used for needle disposal had used, dirty or disposable gloves and pieces of trash placed on top of them. During interviews, the Administrator stated that housekeeping services were provided seven days a week, with cleaning in the morning and evening, and that housekeeping was expected to thoroughly clean resident rooms and facility areas. A housekeeper assigned to the 300 and 400 halls confirmed responsibility for cleaning entire rooms, bathrooms, floors, and wiping down handrails, stating that handrails were wiped at least once a week and acknowledging that the observed conditions were a health hazard. The Housekeeping Supervisor confirmed that housekeeping and floor technicians were responsible for cleaning hallways, floors, handrails, entire rooms, bathrooms, and air conditioning units, and acknowledged that not thoroughly cleaning rooms and handrails could cause an infection.
Improper Storage and Maintenance of Oxygen and Nebulizer Equipment
Penalty
Summary
Surveyors identified that the facility failed to provide respiratory care consistent with professional standards, physician orders, and the infection prevention and control program for three residents receiving oxygen and nebulizer treatments. For a male resident with COPD, record review showed physician orders to change tubing, clean filters, and change the O2 water bottle and nebulizer kit weekly on night shift every Saturday. However, observation revealed that his nasal cannula connected to the oxygen concentrator and his nebulizer mask connected to the nebulizer machine were not bagged or labeled with a date when not in use. For a female resident with asthma, physician orders directed weekly changes of tubing, filter cleaning, and O2 water bottle changes, but observation showed her nasal cannula connected to the oxygen concentrator was not bagged or labeled, and an oxygen humidifier bottle left on the nightstand was only one-quarter full, cracked, and dated from an earlier date. A female resident with COPD had physician orders to change tubing, clean filters, and change the O2 water bottle and nebulizer kit weekly, as well as orders to obtain and record pulse, O2 saturation, treatment minutes, and lung sounds in relation to nebulizer treatments. Observation found that her nasal cannula connected to the oxygen concentrator and nebulizer mask connected to the nebulizer machine were not bagged or labeled with a date when not in use. Staff interviews with a CNA, an LVN, and the DON confirmed that facility practice and expectations were for oxygen tubing and nebulizer masks to be bagged and dated when not in use, with bags changed weekly or as needed, and for humidifier bottles to be changed regularly. The DON stated that failure to follow these practices could be an infection control issue leading to serious health consequences. The facility’s written Infection Prevention and Control Program policy emphasized decreasing infection risk, recognizing infection control practices during care, and ensuring compliance with infection control regulations, which was not followed in these observed instances.
Medication Administration, Monitoring, and Storage Failures During Med Pass
Penalty
Summary
The deficiency involves the facility’s failure to provide pharmaceutical services that ensured accurate acquiring, receiving, dispensing, and administering of medications and biologicals for all 10 residents reviewed for pharmacy services. Record reviews showed that multiple residents had active physician orders for medications to treat conditions such as Type 2 diabetes, dementia, end-stage renal disease, hypertension, heart failure, schizophrenia, bipolar disorder, hypothyroidism, seizures, neuropathy, and pain. These medications included antihypertensives (such as amlodipine, hydralazine, metoprolol, benazepril, nifedipine), anticoagulants (Eliquis), antidiabetics (metformin, insulin), antipsychotics (olanzapine, quetiapine), anticonvulsants (levetiracetam), thyroid replacement (levothyroxine), heart failure medications (furosemide, carvedilol, isosorbide dinitrate), and others such as gabapentin, baclofen, galantamine, and lidocaine patches. During observation of a morning medication pass, surveyors noted that Med Tech F had not finished passing morning medications on two hallways between 10:15 a.m. and 11:14 a.m., even though those medications were scheduled for 8:00 a.m. and 9:00 a.m. This meant that residents’ medications were administered more than one hour after their scheduled administration times, contrary to the facility’s stated one-hour before or after administration window. Interviews with Med Tech F, LVN A, and the DON confirmed that facility practice and policy required medications to be given at the ordered times within that window to maintain effectiveness and comply with physician orders. The facility also failed to follow required procedures related to medication parameters and storage. Med Tech F and LVN A stated that medications with blood pressure check parameters required a blood pressure reading before dispensing the medication into a cup, but the report states the facility failed to check one resident’s blood pressure before dispensing medication. Additionally, observations and interviews revealed that the Med Pass liquid nutritional supplement, described as milk-based, was not kept refrigerated or on ice during medication administration, despite manufacturer directions and facility protocol requiring it to be refrigerated or kept on ice. Further, review of insulin storage on three halls showed that 12 of 14 insulin vials were not dated with the date of first use, even though LVN A, LVN B, and the DON stated that facility policy required insulin vials to be dated when opened and discarded after a specified period (generally 28–30 days). These failures placed residents at risk for receiving medications outside ordered time frames and using insulin vials without a known open date. Facility policy and procedure for medication administration (Policy Number 7C) required that medications be administered as prescribed by the resident’s physician, in accordance with written orders and the resident’s service plan, and that routine medications be administered per facility time ranges unless otherwise specified. The policy also required that medications be recorded on the MAR, that resident identification be verified prior to administration, and that medications be administered according to the dosage schedule on the MAR. Staff interviews confirmed awareness of these requirements, including the need to date insulin vials upon opening and to maintain proper storage conditions for nutritional supplements. Despite this, the observed late medication administration, failure to check blood pressure before dispensing certain medications, failure to keep Med Pass on ice or refrigerated, and failure to date insulin vials demonstrated noncompliance with the facility’s own medication administration and pharmaceutical services procedures for the residents reviewed.
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