Rule/Regulation Violated:
A.R.S. § 36-420.04.A.1-9. Emergency responders; patient information; hospitals; discharge planning; patient screenings; discharge document<br> A. An assisted living center or assisted living home that contacts an emergency responder on behalf of a resident shall provide to the emergency responder a written document that includes all of the following:<br> 1. The reason or reasons the emergency responder was requested on behalf of the resident.<br> 2. Whether the resident receives medication services and, if the resident has provided this information to the assisted living center or assisted living home, a list of all the resident's prescription and over-the-counter medications, their dosages and how frequently they are administered.<br> 3. The name, address and telephone number of the resident's current pharmacy.<br> 4. A list of any known allergies to any medications, additives, preservatives or materials like latex or adhesive.<br> 5. The name and contact information for the resident's primary care physician and power of attorney or authorized representative.<br> 6. Basic information about the resident's physical and mental conditions and basic medical history, such as having diabetes or a pacemaker or experiencing frequent falls or cardiovascular and cerebrovascular events, as well as dates of recent episodes, if known.<br> 7. The point-of-contact information for the assisted living center or assisted living home, including the telephone number, if available, cell phone number and email address. A point of contact must be available to respond to questions regarding the information provided twenty-four hours a day, seven days a week.<br> 8. A copy of the resident's health insurance portability and accountability act release authorizing a receiving hospital to communicate with the assisted living center or assisted living home to plan for the resident's discharge. This paragraph does not preclude a resident from revoking the resident's health insurance portability and accountability act release authorization.<br> 9. A copy of the resident's advance directives, if any, on file at the assisted living center or assisted living home. This paragraph does not preclude a resident from revoking or modifying the resident's advance directives.
Evidence/Findings:
<p>Based on record review, documentation review, and interview, the manager of an assisted living center who contacted emergency responders on behalf of a resident failed to provide the emergency responders with a written document that included all information required in A.R.S. § 36-420.04, for one of four residents sampled. The deficient practice posed a risk if the emergency responder was not aware of critical health information for the resident.</p><p> </p><p><br></p><p><br></p><p>Findings include:</p><p> </p><p><br></p><p><br></p><p>1. A review of R3's medical record revealed an incident that occurred on March 01, 2025. The Incident/ Accident Report stated, “At 2:28 pm on 3/1/2025, a server delivered lunch meal to resident [R3]. At that time [Staff] saw something wrong due to [R3] not responding to basic commands. … went into [R3] room and [R3] was unresponsive… while on phone with 911, performed CPR until fire dept. & paramedics arrived…” However, R3 was pronounced dead later that day.</p><p><br></p><p><br></p><p><br></p><p>2. A review of facilities policy and procedures revealed a policy titled "Advanced Directive." The policy stated, "It is the policy of The Retreat at Alameda that each Resident must provide information addressing an advanced directive, prior to becoming a Resident in our Community..."</p><p><br></p><p><br></p><p><br></p><p>3. A review of Department documentation revealed that on March 1, 2025, EMS was requested for R3; however, the facility did not provide the required documentation of a copy of the resident’s advance directives, if any, on file at the facility. O1 stated that ‘There was no DNR in that paperwork either. Later to find out at the hospital that the [O2] called the pt’s [O3] and [O2] found out the pt does in fact have a DNR and the facility failed to produce one to ems at the time arrival to pt’s bed side.’</p><p><br></p><p><br></p><p><br></p><p>4. In an interview, E3 acknowledged that the documentation provided to the emergency responder did not include a copy of the resident’s advance directives, if any, on file at the facility.</p><p><br></p><p><br></p><p><br></p><p>5. In an exit interview, the findings were reviewed with E1, and no additional information was provided.</p><p><br></p><p><br></p><p>This is a repeat deficiency from the complaint investigation conducted on July 23, 2024, and the complaint investigation and compliance inspection conducted on January 30, 2025.</p>
Summary:
This revised Statement of Deficiencies (SOD) replaces the SOD sent on September 30, 2025.
The following deficiencies were found during the on-site investigation of complaints 00141814, 00141832, and 00121538 conducted on August 22, 2025: