Citations in Hawaii
Statistics, citations and compliance trends for long-term care facilities in Hawaii.
Statistics for Hawaii (Last 12 Months)
Financial Impact (Last 12 Months)
Compliance trends in Hawaii
Data through Apr 2026Comparisons below measure the most recent period May 2025 – Apr 2026 against the prior period May 2024 – Apr 2025 (two equal 12-month windows). The most recent 1 months are excluded because CMS is still publishing them.
Top tags by month · last 24 months
dashed = still reportingMonthly citation counts for the 5 most-cited tags. The dashed tail is the 1-month reporting lag.
Care domain movers
Citations grouped into CFR care domains — F-tags by their §483 regulatory section (CMS State Operations Manual, Appendix PP) — measured as a rate per 100 inspections: May 2025 – Apr 2026 vs the prior period May 2024 – Apr 2025. Share is the domain's portion of citations this period; avg severity is the mean scope/severity letter and immediate jeopardy the percentage cited at J–L, both over the current period. Domains with at least 20 citations in both periods are shown; the sparkline tracks the last 12 months (left = oldest).
Immediate jeopardies · this period
Citations at the most serious scope/severity — J–L, immediate jeopardy, residents placed at risk of serious harm or death — over May 2025 – Apr 2026 vs the prior period May 2024 – Apr 2025. "Surveys with an IJ" counts distinct health inspections that had at least one.
Survey activity · by month
faded/dashed = still reportingCitations each month split into complaint-driven (unscheduled, triggered by grievances) vs standard surveys — bars, left axis — with the number of inspections as a line on the right axis. Rising inspections signal more scrutiny; a rising complaint share means more off-cycle surveys. The most recent 1 months are still being reported.
Deficiency-free survey rate
Share of health surveys that found zero deficiencies — the odds of a clean survey. May 2025 – Apr 2026 vs the prior period May 2024 – Apr 2025; the most recent 1 months are still being reported (dashed).
Penalties · by month
faded = still reportingTotal civil money penalty dollars imposed on the state's facilities each month — how hard the state is enforcing. The most recent 1 months are still being reported, and penalties often lag citations by several months.
Emerging tags
Tags that weren't established last period but surged — an early warning, distinct from movers (which track already-common tags). Criteria: fewer than 20 citations in the prior period, but at least 10 this period and 2.5× their prior volume. The sparkline shows monthly counts over the last 12 months (left = oldest).
No tags meet the emerging criteria for this period — nothing rare is spiking right now.
Latest Citations in Hawaii
Failure to Maintain Resident Dignity, Privacy, and Timely Response to Care Needs
Penalty
Summary
The deficiency involves multiple failures to honor residents’ rights to dignity, respect, and timely assistance with care needs. One resident reported that after an activities session she informed staff she needed to urinate but was told to wait; staff did not return for over an hour, and it was the next shift that ultimately assisted her. She stated she did not feel treated with respect or dignity. Her electronic health record showed diagnoses including diabetes, chronic kidney disease, chronic pain, borderline personality, and schizoaffective disorder, and her care plan documented mobility and self-performance deficits due to significant muscle weakness and debility. Surveyors also observed two residents with indwelling urinary catheters whose drainage bags were positioned facing the bedroom door and visible from the hallway without privacy bags in place, despite multiple observations over several hours. The RN and DON both confirmed that catheter drainage bags should always be covered with privacy bags, and facility policy on catheter care and promoting/maintaining resident dignity required catheter bags to be covered at all times while in use and that staff maintain resident dignity and respect resident rights. During a Resident Council meeting, residents reported that certain CNAs did not consistently respond to care needs, did not provide basic morning hygiene such as wiping faces and hands, and sometimes turned off call lights after asking if the need involved urine or bowel movement without returning to provide incontinence care, leaving care for the next shift. Two residents reported remaining in their bowel movements for about one and a half hours after lunch when staff did not return after call lights were activated, and one resident stated staff respond more quickly when the bathroom call light is used.
Failure to Keep Call Lights Within Reach for Dependent Residents
Penalty
Summary
The deficiency involves staff failing to ensure that resident call systems were within reach for multiple residents who were dependent on staff for activities of daily living. One resident with arthritis, bipolar disorder, chronic pain, and total bowel and bladder incontinence was observed in bed with her call light cord positioned toward the head of the bed and out of her reach; when asked, she confirmed she could not reach it and requested that it be moved closer. Another resident with a history of stroke and one-sided impairment, who was incontinent and dependent on staff for ADLs, was observed lying in bed without access to the gray call pad, which was hanging on a light fixture behind the bed; he stated he was able to use the call pad, but it was not placed where he could reach it until a CNA later repositioned it. A third resident with hemiplegia and hemiparesis affecting the left non-dominant side, impaired left upper extremity, and functional limitation in upper extremity range of motion was repeatedly observed lying comfortably in bed while the call light was left hanging on the wall above the bed and out of reach. This resident was able to communicate verbally and move the right upper extremity, but the call light remained out of reach during multiple observations on different days and times. Review of the facility’s policy titled “Call Light: Accessibility and Response” showed that staff were required to ensure the call light was within reach of the resident and accessible while the resident was in bed, which was not followed in these instances.
Failure to Maintain Homelike and Well-Maintained Resident Rooms
Penalty
Summary
The facility failed to maintain a safe, clean, comfortable, and homelike environment on the Pensacola 1 unit, as evidenced by multiple environmental deficiencies observed in six resident rooms. In one room, a wall clock was broken with a large piece missing and several white patches were visible on the wall. Another room had multiple large brown marks of unknown substance on the wall that were immediately visible upon entry. A separate room had a loud, constant buzzing noise whenever the bathroom light was turned on. Additional observations included several visible water marks on a ceiling, a broken electrical plug plate, and a heavily damaged wall behind a bed. Other rooms showed further environmental issues, including a wall light over a bed that had a cord extended with a plastic bag so the resident could reach it, and an electrical outlet at the head-of-bed wall that was not secure and was visibly coming out of the wall. One room had a dripping sink faucet and very discolored grout around the sink, while another had a strong smell of urine. Yet another room had a sink faucet that was constantly running, and one bed area had a washcloth attached to the light cord to extend its reach and six large screws or hooks in the wall. Interview with the Facilities Director revealed that unit staff were expected to complete work orders for needed repairs, but only two open work orders existed for this unit, both related to issues reported during the survey, indicating that routine work orders had not been submitted by unit staff for the observed problems.
Failure to Inform and Assist Residents With Advance Directives
Penalty
Summary
The deficiency involves the facility’s failure to properly inform and assist residents with formulating Advance Health Care Directives (AHCDs) and to ensure that existing AHCD documents were validly executed. For one resident (R17), the EHR showed that AHCD information was discussed and the resident requested a blank AHCD form on 04/14/25. However, there was no subsequent documentation that the resident completed an AHCD or that the facility provided follow-up assistance after that date. The Social Services Assistant (SSA) confirmed there was no follow-up documentation, and the most recent interdisciplinary team meeting record for this resident contained no reference to AHCD follow-up. For another resident (R170), the facility obtained a completed Five Wishes document intended to serve as an AHCD, but the document lacked required witness signatures, despite instructions on the form stating it must be signed and witnessed as directed to be legal and valid. The SSA confirmed the absence of witness signatures. For a third resident (R153), the EHR showed that AHCD information was last discussed on 12/10/24, at which time the resident declined to formulate an AHCD. There was no evidence that the facility revisited the discussion or reoffered assistance after that date. In a subsequent interview, this resident reported that the facility had not discussed an AHCD with him and stated he would like to complete one.
Unclean Lab Specimen Refrigerator Compromises Environmental Cleanliness
Penalty
Summary
Surveyors identified a deficiency related to the resident’s right to a safe, clean, comfortable, and homelike environment when the lab specimen refrigerator was found to be unclean. During an observation of the refrigerator, brown stains were noted on the door shelf and bottom shelf, and multiple small dead bugs were present on the door shelf. In a subsequent interview, the Infection Prevention Nurse acknowledged that the lab specimen refrigerator was dirty. These conditions demonstrated that the facility failed to maintain a clean environment in the area where lab specimens are stored.
Failure to Develop Comprehensive Care Plans for Anticoagulant Use, Dementia, and Pressure Ulcer Prevention
Penalty
Summary
The deficiency involves the facility’s failure to develop comprehensive, individualized care plans addressing all identified needs for two residents. For one resident with vascular dementia and agitation, record review showed an active order for Eliquis 2.5 mg twice daily with instructions to monitor for adverse reactions, but the resident’s care plan did not address the use of this anticoagulant medication. During interview, the MDS RN confirmed that the anticoagulant should have been included in the care plan. The same resident had diagnoses including vascular dementia with agitation and was prescribed psychotropic medications, yet the care plan did not include dementia-related care. The MDS RN verified that dementia care should have been incorporated, despite the facility’s own dementia policy requiring individualized care plans that consider symptoms, disease progression, and co-existing conditions. The second resident had a history of sacral/buttocks pressure ulcers that had previously healed, with APRN documentation that preventive interventions such as scheduled repositioning, pressure-relieving devices, incontinence care, and protective dressings remained in place. A subsequent wound clinic note documented that the prior sacral ulcer site had broken down again, with fat layer exposed, and attributed contributing factors including moisture-associated skin damage and trauma from a shower chair. The resident reported that the wound may have reopened due to prolonged time in a wheelchair without repositioning assistance and stated that staff did not consistently assist with repositioning every two hours as recommended. Review of the care plan revealed no documented interventions for pressure ulcer prevention or management, despite a Braden Scale score of 11 indicating high risk. Nursing staff confirmed the resident was at high risk for pressure ulcer development and that the care plan did not include pressure ulcer prevention interventions, and the MDS RN reported that the pressure injury care plan had been discontinued after healing and was not reinitiated until after the wound reopened, leaving the resident without an active pressure injury prevention care plan during that period.
Failure to Revise Care Plans to Reflect Monitoring Device Use and Recurrent In-Room Voiding
Penalty
Summary
The deficiency involves the facility’s failure to update and revise comprehensive care plans to reflect current care needs and practices for two residents. One resident with a history of heart failure, paroxysmal atrial fibrillation, cardiomyopathy, stroke, diabetes, and COPD reported during interview that he had a pacemaker and frequently connected himself to a bedside monitoring machine, demonstrating the connection process and stating that staff were aware this was done frequently. Review of his electronic health record and most recent comprehensive care plan showed no interventions or instructions related to the use of this monitoring machine. The unit manager later acknowledged that the care plan had not been revised to include these interventions or instructions. For the second resident, who had a history including CHF, anemia, alcohol dependence with alcohol-induced dementia, MRSA carrier status, and alcohol-induced psychotic disorder with delusions and other behavioral disturbances, surveyors repeatedly observed large puddles of urine on the bedroom floor, including under the bed and in the middle of the floor, accompanied by a strong urine odor. A nurse stated that the puddles were urine and that this resident urinated on the floor all the time, which was the reason he had a private room and could not have a roommate. Review of the resident’s active care plan showed a focus on self-care deficit for toileting with scheduled toileting assistance and a behavioral focus noting episodes of verbal aggression and voiding in the trash can, but it did not include that the resident urinated on the bedroom floor until it was later revised to add that he had daily episodes of urinating on the floor.
Failure to Follow Care Plans, Monitor Changes in Condition, and Implement Toileting and Wound Care Orders
Penalty
Summary
The deficiency involves the facility’s failure to provide treatment and care in accordance with professional standards of practice and person-centered care plans for three residents. For one resident with a history of stroke, paralysis, aphasia, dysphagia, dementia, seizures, and incontinence, staff did not complete appropriate ongoing assessments and monitoring after a significant change in condition. On the night of the change in condition, the RN documented that the resident was lethargic and unable to respond, with an SBAR note indicating increased stimulation (sternal rub) and stable vital signs at that time. Later documentation showed that IV fluids ordered by the provider could not be started due to difficulty inserting an IV line, and that the resident’s oxygen saturation dropped to 75% on 2 L O2, improving only slightly with increased oxygen. The Unit Manager later confirmed that when he assessed the resident that morning, the heart rate was below 60 and oxygen saturation was 75% on 20 L, and that there were no further neurological assessments or documentation of ongoing monitoring of vital signs or oxygen saturation after the initial change in condition. Another deficiency involved a resident with CHF, alcohol-induced dementia and psychotic disorder, MRSA carrier status, and behavioral disturbances, including voiding in inappropriate places. Surveyors repeatedly observed large puddles of urine on the floor of this resident’s room on multiple days, with a strong urine odor and urine under the bed and in the pathway to the exit. Nursing notes documented multiple episodes of the resident urinating on the floor throughout the month, including descriptions of the floor being urine soaked and housekeeping being called to clean. The resident’s care plan identified self-care deficits in toileting, behavioral issues including voiding in the trash can and on the bedroom floor, and goals to decrease behavioral episodes, with interventions such as offering toileting assistance after waking and meals, ensuring access to a urinal, providing reminders, and assisting with urinal use and emptying. However, behavior monitoring documentation did not reflect these urine-on-floor episodes, and behavior codes for other behaviors were not used. Bladder continence documentation lacked entries on days when urine was observed on the floor, and the 30-day look-back characterized the resident as sometimes continent and sometimes incontinent. Further review of this resident’s bowel and bladder screeners showed that he repeatedly met criteria as a candidate for scheduled toileting (timed voiding), yet the screener indicated that no toileting program was in use. The facility’s bowel and bladder program policy required incontinent residents to be scheduled for elimination tracking and placed on a continence plan, with individualized programs such as scheduled voiding, prompted voiding, or bladder retraining based on cognitive and functional status. Despite this, the MDS documented that no trial of a toileting program had been attempted since urinary incontinence was noted, and the Unit Manager confirmed there had been no evaluation of voiding patterns and no scheduled toileting or bladder program in place. Staff interviews indicated that CNAs documented such episodes simply as incontinence and were not aware of any specific plan to address the resident’s urinating on the floor, while housekeeping reported that the resident urinated on the floor every morning and that she cleaned it at the start of her shift and monitored for further episodes. A third deficiency involved a resident on hospice with a history of acute respiratory failure, muscle weakness, chronic pain syndrome, muscle spasm of the back, major depressive disorder, and Type 2 diabetes with chronic kidney disease, who required assistance with ADLs and had open lesions on the left shin. The physician’s order directed that the left shin be cleansed with normal saline, patted dry, and covered with hydrogel gauze, a non-adherent dressing, and kerlix, secured with tape, every other day and as needed for open lesions. During observation, the resident was seen in bed with a blood-soaked dressing on the left shin and foot, and she reported having open sores due to psoriasis that she picked at. On subsequent observations on two different days, the resident was in bed without any dressing on the left leg. Review of the Treatment Administration Record showed that dressing changes were documented as completed every other day, but there was no documentation on the TAR or in nursing progress notes explaining the absence of dressings on the days observed. The treatment nurse confirmed the wound care order and the documented schedule but could not explain why the resident did not have a dressing on the past two days. Collectively, these findings show that the facility did not ensure that residents received care and treatment according to physician orders, professional standards, and individualized care plans. For the first resident, there was a lack of ongoing neurological and vital sign monitoring after a documented change in condition and difficulty initiating ordered IV therapy. For the second resident, there was a pattern of unaddressed and incompletely documented urinary incontinence behaviors, absence of a toileting program despite policy and assessment findings indicating candidacy, and incomplete behavior and continence documentation. For the third resident, wound care orders for regular and as-needed dressing changes were not consistently implemented or documented in a manner consistent with observed care, as the resident was repeatedly observed without the ordered dressing in place.
Failure to Assist and Supervise Resident Requiring One-Person Ambulation Support
Penalty
Summary
The deficiency involves the facility’s failure to provide supervision and assistance consistent with one resident’s assessed needs and care plan to prevent accidents. The resident had a medical history that included acute respiratory failure, muscle weakness, chronic pain syndrome, muscle spasm of the back, major depressive disorder, and Type 2 diabetes with chronic kidney disease, and was on palliative care. Her care plan documented limited mobility related to her medical condition, with a goal to remain free of complications related to mobility and an intervention specifying that she required one staff member to assist with ambulation using a device for mobility. She had a prior unwitnessed fall that resulted in no injury. On the observed date and time, the resident was seen ambulating rapidly down the hall with a front-wheel walker, calling out to staff. She was wearing a patient gown and jacket, with the gown open in the back, no underwear, and her buttocks exposed. She had no foot coverings, and the dressing on her left lower leg/foot was coming undone and visibly soaked with blood. The only staff present in the area was an RN at the medication cart, who repeatedly told the resident to return to her room but did not stop her task to physically assist or ensure the resident’s safe return, despite the resident’s care plan requirement for one-person assist with ambulation. The unit manager later confirmed that the resident was a one-person assist and that the RN should have assisted her back to her room.
Catheter Drainage Bag Allowed to Touch Floor, Breaching Infection Control
Penalty
Summary
The facility failed to provide appropriate services to prevent urinary tract infections for one resident with an indwelling urinary catheter. A male resident admitted for short-term rehabilitation after a fall with a right femur fracture, and with diagnoses including malignant neoplasm of the prostate and secondary malignant neoplasm of the bone, was observed sitting in a wheelchair in the hallway with his indwelling urinary catheter drainage bag hung under the wheelchair seat and touching the floor. Facility records on the Treatment Administration Record showed staff were required to document each shift that the privacy bag was in place and that the urine collection bag was not touching the floor. During an interview, an RN confirmed that urine collection bags for all residents with indwelling urinary catheters are not supposed to touch the floor. This deficient practice exposed residents with urinary catheters to contaminants that may cause preventable urinary tract infections and had the potential to affect all residents with a urinary catheter.
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