Failure to Monitor and Provide Care Leads to Resident's Death
Summary
The facility failed to provide adequate and timely care to Resident #42, who was dependent on staff for various needs, including transfers, incontinence care, and diabetes management. The resident, who had a complex medical history including Huntington's disease, diabetes, and was at risk for falls, was found unresponsive in his room, slumped over in his wheelchair with blood on his face and clothing. The last documented interaction with the resident was at 10:00 P.M. when an LPN checked his blood glucose level, which was elevated at 400 mg/dl, and administered 40 units of Glargine insulin. However, there was no follow-up or monitoring of the resident's condition throughout the night. The resident was not checked again until 4:30 A.M. when a nursing assistant found him unresponsive. Despite the elevated blood glucose level earlier, no further assessments or interventions were documented. The resident required CPR and was transported to the hospital, where his blood glucose was recorded at 607 mg/dl. He was admitted to the intensive care unit and subsequently passed away. The facility's failure to monitor the resident's condition and provide necessary care contributed to the resident's deterioration and eventual death. Interviews and record reviews revealed that the resident was supposed to be checked every two hours for incontinence care and was care planned to be in a common area when in his wheelchair due to fall risk. However, these interventions were not followed, and the resident remained in his room unattended. Staff statements indicated a lack of communication and follow-through on the resident's care needs, leading to a significant lapse in care that resulted in immediate jeopardy and actual harm.
Removal Plan
- Regional Quality Assurance Registered Nurse (RQARN) #800 audited residents with physician orders for blood sugar checks to ensure parameters for notifying the physician were included.
- Assistant Director of Nursing (ADON) #403 audited residents with physician orders for blood sugar checks to ensure compliance with physician's orders and appropriate follow-up.
- Regional Director of Operations (RDO) #510 educated facility leadership on following individualized care plans related to incontinence checks and resident monitoring.
- RQARN #800 educated nursing leadership on the facility policy Nursing Care of the Resident with Diabetes Mellitus, including obtaining follow-up blood sugar checks if indicated.
- Facility Medical Director was notified of the Immediate Jeopardy related to quality of care and treatment.
- Facility leadership educated all nursing staff on following individualized care plans related to incontinence checks and resident monitoring.
- RQARN #800, the DON, ADON #403, and UMLPNs educated all licensed nursing staff on the facility policy Nursing Care of the Resident with Diabetes Mellitus.
- Clinical Resource Specialist LPN #816 audited all current resident care plans to ensure fall interventions reflect resident preferences and refusals are addressed.
- Clinical Resource Specialist LPN #816 audited all current resident care plans to ensure incontinence care plans include resident preferences and refusals.
- RDO #510 added facility education for following individualized care plans and the facility policy Nursing Care of the Resident with Diabetes Mellitus to the facility General Orientation manual.
- Clinical Operations Specialist RN #992 completed an audit of progress notes for active residents with physician's orders for blood sugar checks.
- Ad hoc Quality Assurance Performance Improvement (QAPI) meeting held to discuss the plan of action.
- Regional Quality Assurance RN/Designee to review all residents with physician's orders for blood sugar checks.
- DON/designee to interview staff members to ensure understanding of individualized care plans.
- DON/Designee to review progress notes of current residents with physician orders for blood sugar checks.
- DON or Designee to audit new hires to ensure education on facility policy for care plans and diabetes management.
- DON or designee to audit all residents with physician orders for blood sugar checks to ensure parameters for physician notification are included.
- DON or designee to audit all residents with fall care plans to ensure interventions are in place and followed.
- DON or designee to audit all residents with incontinence care plans to ensure standard of care is followed.
- RDO #510 to review all audits to ensure completion and compliance.
- QA Committee to monitor the results of all audits and follow-up as needed.
Penalty
Resources
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