Failure to Protect Residents from Sexual Abuse
Summary
The facility failed to protect a cognitively impaired resident from resident-to-resident sexual abuse. Resident #02 exhibited increased sexual behaviors towards other residents, including exposing his genitalia and inappropriate touching. Despite these incidents being reported by staff, the facility did not update Resident #02's care plan to reflect these behaviors or implement effective interventions to prevent further abuse. This led to multiple incidents where Resident #02 exposed himself and inappropriately touched Resident #03 and Resident #21. On one occasion, Resident #02 was found with his pants unfastened in front of Resident #03, and on another, he was caught with his hands down Resident #03's pants. Despite these incidents, the facility only increased monitoring and did not initiate one-on-one supervision until much later. Resident #03 experienced significant psychosocial distress, including self-isolation and fearfulness, as a result of these incidents. The facility's failure to act promptly and effectively allowed the abuse to continue, causing harm to the residents involved. Interviews with staff revealed that the incidents were reported to the nursing staff, but no immediate or effective actions were taken. The Director of Nursing (DON) was not notified promptly, and there were no follow-up assessments or interventions for the affected residents. The facility's lack of timely and appropriate response to the reported sexual behaviors and abuse incidents resulted in ongoing harm and distress for the residents involved.
Removal Plan
- Resident #03 was assessed by the DON for ill effects. Physician #400 was notified with a new order for a psychiatric evaluation. Resident #03's care plan was updated by Regional Minimum Data Set Registered Nurse (RMDSRN) #49 with interventions for maintaining safety, a room change, and psychosocial well-being intervention to allow resident time to answer questions and to verbalize feelings, perceptions, and fears as indicated.
- Resident #02's care plan was updated by RMDSRN #49 for sexually inappropriate behaviors with interventions including intervening as necessary to protect the rights and safety of others, divert attention and remove resident to alternative location as needed, and monitoring behavior episodes, determine cause, and document. Resident #02's intervention of one-to-one supervision was effective pending psychiatric evaluation which is scheduled. Resident #02's interventions include: psychiatric evaluation, one-to-one monitoring, urinalysis STAT (immediately) and urinalysis with culture and sensitivity ordered by Physician #400.
- RMDSRN #49 updated the care plan for Resident #21 identified with sexually inappropriate behavior.
- The DON and QARN #43 completed a facility-wide audit to ensure accuracy of residents at risk for abuse were safe with no issues. The DON to complete audits weekly during clinical rounds and morning clinical meetings.
- The facility immediately implemented the following measures to assure this alleged deficiency does not recur: 1. The Administrator and DON provided the abuse policy education to all staff. 2. QARN #43 reviewed the policies and procedures related to abuse, documentation, and reporting. There was no revision to the policy made. 3. The DON provided an all-staff in-service on the policies and procedures stated above. 4. QARN #43 and RDO #40 provided education to the DON and Administrator on SRI reporting and immediate interventions.
- QARN #43 and Regional Director of Clinical (RDC) #48 with other members of the Quality Assurance Performance Improvement (QAPI) team completed a Root Cause Analysis using a Fishbone diagram to review the alleged deficiency. The Medical Director Physician #400 was made aware by QARN #43 verbally of the Immediate Jeopardy and the systemic actions being implemented.
- The DON will complete a random audit of potential for abuse weekly on three residents per week to ensure compliance and randomly thereafter.
- The first Ad-Hoc QAPI meeting was completed. The facility would discuss the results of the audits during a weekly Ad-Hoc QAPI meeting to ensure compliance.
- The DON completed a Self-Reported Incident (SRI) for the incidents.
- The facility Administrator would be responsible for ensuring the plan was completed.
Penalty
Resources
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