Petitioner: AGENCY FOR HEALTH CARE ADMINISTRATION
Respondent: KEY WEST CONVALESCENT CENTER, INC., D/B/A KEY WEST CONVALESCENT CENTER
Judges: JOHN G. VAN LANINGHAM
Agency: Agency for Health Care Administration
Locations: Key West, Florida
Filed: Jul. 01, 2003
Status: Closed
Settled and/or Dismissed prior to entry of RO/FO on Monday, September 13, 2004.
Latest Update: Dec. 26, 2024
STATE OF FLORIDA on ‘/ ne
AGENCY FOR HEALTH CARE ADMINISTRATIO
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AGENCY FOR HEALTH CARE a - 7 a) ;
ADMINISTRATION, : . MO
Petitioner, AHCA No.: 2004003094
AHCA No.: 2004002850
v. Return Receipt Requested:
7002 2410 0001 4237 0935'
KEY WEST CONVALESCENT CENTER, INC., 7002 2410 0001 4237 0942 .
d/b/a KEY WEST CONVALESCENT CENTER,
Respondent.
’ ADMINISTRATIVE COMPLAINT
COMES, NOW the Agency for Health Care Administration
(hereinafter referred to as “AHCA”), by and through the
undersigned counsel, and files this Administrative Complaint
against Key West Convalescent Center, Inc., d/b/a Key West
Convalescent Center (hereinafter “Key West Convalescent
Center”), pursuant to Chapter 400, Part II, and Section
120.60, Fla. Stat. (2003), and alleges:
NATURE OF THE ACTIONS
1. This is an action to impose an administrative fine
of $2,500.00 pursuant to Section 400.23(8), Fla. Stat.
(2003), for the protection of the public health, safety and
welfare.
2. This is an action to impose a Conditional Licensure
status to Key West Convalescent Center, pursuant to Section
400.23(7) (b), Fla. Stat (2003).
JURISDICTION AND VENUE
i)
3. This Court has jurisdiction pursuant to Sections
120.569 and 120.57, Fla. Stat.'(2003), and Chapter 28-106,
4.. Venue lies in Monroe County, pursuant to Section
400.121(1) (e), Fla. Stat. ° (2003), and Rule 28-106.207,
Florida Administrative Code.
PARTIES
5. AHCA is the regulatory authority responsible for
licensure and enforcement of all applicable statutes and
rules governing nursing homes, pursuant to Chapter 400, Part
tr, Pla. Stat., (2003), ‘and Chapter 59A-4 Florida
‘Administrative Code.
6. Key West Convalescent Center is a 120-bed skilled
nursing facility located at 5860 W. Junior College Road, Key
West, Florida 33040-4392. Key West Convalescent Center is
licensed as a skilled nursing facility; license number
SNF1265096; certificate number 11360, effective 02/26/2004,
through 01/31/2005. Key West Convalescent Center was at all
times material hereto a licensed facility under the
licensing authority of AHCA and was required to comply with
all applicable rules and statutes.
7. Because Key West Convalescent Center participates
in Title XVIII or XIX, it must follow the certification
rules and regulations found in Title 42 C.F.R. 483, as
incorporated by Rule S59A-4.1288, F.A.C.
couNT I
KEY WEST CONVALESCENT CENTER FAILED TO PROPERLY ASSESS,
IMPLEMENT AND EVALUATE CARE IN ORDER TO PREVENT THE
DEVELOPMENT OF PRESSURE SORES AND ONCE DEVELOPED TO PROVIDE
APPROPRIATE CARE AD SERVICES FOR THREE RESIDENTS.
TITLE 42, SECTION 483.25(c), Code of Federal Regulations, as
incorporated by Rule 59A-4.1288, Florida Administrative Code
(QUALITY OF CARE)
4 CLASS II DEFICIENCY
8. AHCA re-alleges and incorporates paragraphs (1)
through (7) as if fully set forth herein.
9. * During an unannounced licensure and re-
certification survey conducted February 23-26, 2004 and
based on observation, interview and record review it was
revealed that the facility failed to properly assess,
implement and , evaluate care in order to prevent the
development of pressure sores and once developed to provide
appropriate cate and services for three (#11, #5 & #6) out
of 20 sampled residents.
10. Clinical record review for resident #11 revealed
that the resident was re-admitted to the facility on 7/31/03
and had the following diagnosis': atypical chest pains,
gastritis, MS, neurogenic bladder. The "Resident Assessment -
Data Collection Form dated 7/31/03 further revealed under
"skin condition" that the resident's sacral area was free of
any bruises, discolorations, abrasions or pressure ulcers.
A Braden Scale for Predicting Pressure Sore Risk was in the
clinical record behind the Resident Assessment form but was
found to be blank. The complete assessment dated 8/4/03
indicates that the resident has a stage Il pressure ulcer.
The assessment also indicates that the resident requires
extensive assistance with bed mobility requiring two or more
people assist.
(a) Further review of the clinical record reveals
that nurses’ notes dated 7/31/03, g/10/03, 8/11/03 and
8/27/03 did not document any skin breakdown/concern. The
resident assessment protocol for pressure ulcers updated
8/13/03 indicates that the resident has impaired bed
mobility, and is now incontinent of feces and has two stage
II decubitus ulcers. The form also indicates that the
‘resident has the following risk factors for pressure ulcers:
impaired transfer or bed mobility and quadriparesis. The
form further indicates that the resident receives
protective/preventive skin care evidenced by weekly skin
checks, pressure relieving bed pad, pressure ulcer care to
buttocks, turning/repositioning to be assisted as necessary
and dietary supplements between meals. The resident has a
care plan updated 8/13/03 for potential for skin impairment
as evidenced by poor mobility related to disease process,
Multiple Sclerosis. Some approaches listed are: skin
checks per orders, assist resident to reposition in bed
every two hours and as necessary and pressure relieving
mattress for bed.
(b) The Director of Nurses (DON) stated on
2/25/04 at 4:00 P.M. that she assumed that resicent #11l's
wound was found during the weekly skin checks by the
licensed staff. The DON further stated that the nurses
perform weekly skin checks on all of the residents. The
Certified Nursing Assistants (CNA) are to check the
residents during personal care for any redness or bruises
and report any findings to the nurse. The DON at this time
confirmed that there are no nurses’ notes to indicate when
the resident acquired the pressure ulcer. The treatment
administration record (TAR) was found and reviewed with the
DON. She confirmed that according to the TAR resident #11
did not receive weekly skin checks for 8/2/02, 8/9/03,
8/17/03 or 8/23/03. on 2/26/04 at 9:15 AM during an
interview with the DON she stated that there was no
documentation to indicate that the resident's are turned
every two hours as ordered. She stated that she was
implementing a form.
(c) During review of the personnel files on
2/26/04 it was revealed that Certified Nursing Assistants
(CNA) #1,2,3,4, and 5 all employed by the facility for over
one year lacked the state mandated training regarding risk
factors for pressure ulcers.
un
11. On 8/07/03 resident #5 was re-admitted to the
facility with diagnoses of dementia, psychosocial disorder,
eczema and organic brain syndrome. The facility's Braden
Scale- For Predicting Pressure Sore Risks assessed the
resident at a moderate risk for developing pressure areas.
On 8/15/03 the facility's weekly pressure sore record
revealed that the resident had developed a stage 1 area. On
8/31/03 it was noted that the, resident had an unstagable
area. This represents a significant change over a two-week
period.
(a) An interview with the MDS coordinator and the
admissions director at 10:30 am on 2/25/04 revealed that jit
is their policy that once a resident return from hospital a
head ‘to toe skin assessment is done. However, when asked
they could not provide any evidence that this was done for
resident #5.
(b) In addition, prompt dietary intervention was
not demonstrated since the Registered Dietitian (RD) did not
complete a nutritional assessment of the resident until
9/25/03, which was over a month after the development of the
pressure area. The facility failed to assess and intervene
in a timely manner, contributing to the rapid decline in the
resident's condition.
12. Resident #6 with diagnosis of fracture left hip,
dysrhythmia, hypertension and atrial fribilation, was
‘
admitted to the facility on 12/5/03 with a weight of 103
pounds (#) and the Resident Assessment Data Collection Form
showed that the resident was free from pressure areas.
Review of the Minimum Data Sets revealed that the resident
was assessed as needing assistant with all Activities of
Daily Livings (ADLs). Review of the Resident Assessment
Protocol (RAP) Guide for Pressure Ulcers (#16) dated
12/19/03 revealed that the resident was assessed as having a
stage IV pressure ulcer on the left heel with the size of
the ulcer measured at 5cm X 4 cm. The size for 12/30/03 was
indicated as 4cm X 8 cm stage IV necrotic and 1/28/04 it was
4.5 om X 4.cm stage IV necrotic. In addition, the RAP Guide
dated 12/19/03 indicated under "summary/recommendation" that
the resident's skin breakdown was "newly noted on the 14th
but appears to have been present".
(a) on 2/17/03 the registered dietitian (RD)
assessed the nutritional needs for a pressure area, and
indicated that the resident was to be supervised at meals,
and encouraged by staff to eat during meals. Chart note also
revealed that the resident's fluid needs were assessed below
the minimum fluid requirement of 1500cc daily. The RD had
recommended 1400cc daily. Observations of meals throughout
the survey 2/23/04 at dinner and 2/24/04 at lunch revealed
that the resident was not receiving any intervention, such
as not being supervised and encouraged to eat/drink during
meals. The resident percent intake during the meal
| I
observations was only about 25%.
(b) The resident's lab values of 12/8/03 revealed
abnormal albumin levels of 2.3 (3.9-5.0 is normal). On
1/13/04 an order was placed for lab work to be completed and
nutritional notes revealed that once the lab work was
received it would be evaluated. However, review of the chart
revealed that there was no evaluation of the new labs by the
RD and that the labs were not to be found in the chart until
2/25/04 after the RD was questioned.
(c) A physician order dated 12/14/03 indicated
that pressure relieving devices (heel blocks) under
bilateral calf was to be used for the resident for elevating
the heels off the bed at all times. However, on 2/24/04 at
7:40am and 2/25/04 at 10:15am the resident was observed to
be lying in bed without any type of pressure relieving
devices placed under the resident's calfs to elevate the
heels. Interview with the wound care nurse on 2/25/04
revealed that the CNA could have used a pillow or blue boxes
so that the resident's feet could be elevated.
13. Based on the foregoing, Key West Convalescent
Center violated Title 42, Section 483.25(c), Code of Federal
Regulations as incorporated by Rule 59A-4.1288, Florida
Administrative Code, herein classified as an isolated Class
Il deficiency pursuant to Section 400.23(8)(b), Fla. Stat.,
which carries, in this case, an assessed fine of $2,500.00.
This violation also gives rise to a conditional licensure
status pursuant to Section 400.23(7) (b).
DISPLAY OF LICENSE
Pursuant to Section 400.23(7) (e), Florida Statutes, Key
West Convalescent Center shall post the license in a
prominent place that is in clear and unobstructed public
view at or near the place where residents are beirg admitted
to the facility.
The Conditional License is attached hereto as Exhibit
wa"
CLAIM FOR RELIEF
WHEREFORE, the Petitioner, State of Florida Agency for
Health Care Administration requests the following relief:
A. Make factual and legal findings in favor of
the Agency on Count
B. Assess an administrative fine of $2,500.00
against Key West Convalescent Center on Count I.
Cc. Assess and assign a conditional license
status to Key West Convalescent Center in accordance with
Section 400.23(7) {b), Florida Statutes.
D. Grant such other relief as this Court deems
is just and proper.
Respondent is notified that it has a right to request an
administrative hearing pursuant to Sections 120.569 and
9
120.57, Florida Statutes (2003). Specific options for
I I t
administrative action are set out in the attached Election
of Rights and explained in ‘the attached Explanation of
Rights. All requests for hearing shall be made to the Agency
for Health Care Administration, and delivered to the Agency
for Health Care Administration, Lealand McCharen, Agency
Clerk, 2727 Mahan Drive, Mail Stop #3, Tallahassee, Florida
32308, telephone (850) 922-5873.
RESPONDENT IS FURTHER NOTIFIED THAT THE FAILURE TO RECEIVE A
REQUEST FOR A HEARING WITHIN 21 DAYS OF RECEIPT OF THIS
COMPLAINT WILL RESULT IN AN ADMISSION OF THE FACTS ALLEGED
IN THE COMPLAINT AND THE ‘ENTRY OF A FINAL ORDER BY THE
, AGENCY.
hi Charu
ourdes A. Naranjo
FL Bar No: 997315
Assistant General Counsel
Agency for Health Care
Administration
Spokane Building, Suite 103
8350 N.W. 52° Terrace
Miami, Florida 33166'
Copies furnished to:
Diane Lopez Castillo
Field Office Manager
Agency for Health Care Administration
Manchester Building
8355 N.W. 537° Street
Miami, Florida 33166
(U.S. Mail)
Jean Lombardi
Finance and Accounting
Agency for Health Care Administration
2727 Mahan Drive, Mail Stop #14
Tallahassee, Florida 32308
(Interoffice Mail)
Skilled Nursing Facility Unit Program
Agency for Health Care Administration
2727 Mahan Drive
Tallahassee, Florida 32308
(Interoffice Mail)
‘
EXHIBIT “A”
Conditional License
License No. SNF 1265096 Certificate No.
Effective date: 02/26/2004
Expiration date: 01/31/2005
Docket for Case No: 04-002296
Issue Date |
Proceedings |
Oct. 12, 2004 |
(Joint) Stipulation and Settlement Agreement filed.
|
Oct. 12, 2004 |
Final Order filed.
|
Sep. 13, 2004 |
Order Closing File. CASE CLOSED.
|
Sep. 10, 2004 |
Motion to Remand (filed by Respondent via facsimile).
|
Aug. 04, 2004 |
Notice of Service of Petitioner`s First Set of Request for Admissions, Interrogatories, and Request for Production of Documents (filed via facsimile).
|
Jul. 14, 2004 |
Order of Pre-hearing Instructions.
|
Jul. 14, 2004 |
Notice of Hearing (hearing set for September 17, 2004; 9:00 a.m.; Key West, FL).
|
Jul. 13, 2004 |
Response to Initial Order (filed K. Goldsmith via facsimile).
|
Jul. 02, 2004 |
Initial Order.
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Jul. 01, 2004 |
Conditional License filed.
|
Jul. 01, 2004 |
Petition for Formal Administrative Hearing filed.
|
Jul. 01, 2004 |
Administrative Complaint filed.
|
Jul. 01, 2004 |
Notice (of Agency referral) filed.
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