Statistics for Texas (Last 12 Months)

1208
Total Providers
3536
Total Inspections in the last 12 months
Information
This includes all types of inspections: standard annual surveys, life safety code surveys, re-surveys, complaint investigations, and follow-up inspections.
99.2%
Providers with Citations in the last 12 months
Information
Among all providers that received one or more inspections in the last 12 months, this represents the percentage that received at least one citation of any severity level.
26.4%
Providers with Serious Citations in the last 12 months

Financial Impact (Last 12 Months)

$387,625
Maximum Single Fine
$21,045
Median Fine
111
Max Payment Suspension Days
11
Median Suspension Days

Most Cited Tags in Texas (Last 12 Months)


Latest Citations in Texas

Improper Sealing, Dating, and Storage of Dry and Refrigerated Foods
F
F0812 F812: Procure food from sources approved or considered satisfactory and store, prepare, distribute and serve food in accordance with professional standards.
Short Summary

Surveyors found that kitchen staff failed to follow facility policy and professional standards for food storage, leaving dry items such as spaghetti noodles, garlic powder, and salt unsealed, and refrigerated items such as a prepared drink, salad, and turkey lunch meat uncovered or undated. The DM and ADM both stated that all food should be sealed, labeled, and dated, that all staff are responsible for these tasks, and that staff had been trained, but observations showed food in both dry and refrigerated storage was not properly sealed or dated as required by the facility’s food receiving and storage policy.

No penalty information released
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The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Failure to Enforce Smoking Policy and Control Resident Smoking Supplies
E
F0926 F926: Have policies on smoking.
Short Summary

The facility failed to enforce its smoking policy and safe smoking assessments for three residents who used tobacco. One resident with mild cognitive impairment and two residents without cognitive impairment were assessed as smokers who required the facility to store their cigarettes and lighters, yet they reported keeping these items in their rooms, and surveyors observed cigarettes and lighters in bedside furniture. An LVN and the housekeeping supervisor stated that all smoking was to be supervised and that supplies were to be kept at the nurse’s station, and the DON and ADM confirmed that residents were not supposed to keep smoking articles in their rooms. However, residents reported they had not been told they could not keep smoking supplies in their rooms, and the facility’s written policy stated residents may not have or keep smoking articles except under direct supervision.

No penalty information released
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The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Failure to Ensure Call Light Accessibility for Dependent Resident
D
F0558 F558: Reasonably accommodate the needs and preferences of each resident.
Short Summary

A resident with dementia, severe cognitive impairment, limited lower extremity range of motion, and a need for assistance with ADLs was twice observed lying in bed without an accessible call light, which was either hanging under the head of the bed or tucked between the mattress and bedframe. An LVN confirmed the resident could use the call light if available, and a CNA, another LVN, the DON, and the ADM all stated that call lights should always be within reach, that all staff are responsible for ensuring access, and that they were unaware this resident’s call light was not in reach. This was inconsistent with the facility’s policy requiring each resident to have a means to call staff directly for assistance from the bed and other areas.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Failure to Maintain Adequate Hot Water Temperatures at Resident Hand Sinks
D
F0584 F584: Honor the resident's right to a safe, clean, comfortable and homelike environment, including but not limited to receiving treatment and supports for daily living safely.
Short Summary

A resident reported that bedroom hand sinks did not provide warm water, requiring handwashing with cold water and causing discomfort. Surveyors observed that in two rooms, the hot water remained cold despite running for several minutes, and thermometer readings at shared hand sinks showed temperatures in the 70°F range on the hot side, below the facility’s stated 100–110°F expectation. Further observation with the MD revealed that in one room the hot and cold valves were transposed, with hot water only available from the cold side. The MD, ADM, and DON each stated the MD was responsible for monitoring and maintaining water temperatures, but none were aware of recent issues, and the DON did not know the required temperature range. The facility’s maintenance request policy was requested twice but was not provided.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Failure to Maintain Accurate PASRR Level I for Resident With Mental Illness
D
F0644 F644: Coordinate assessments with the pre-admission screening and resident review program; and referring for services as needed.
Short Summary

A resident with documented Major Depressive Disorder (MDD), including recurrent severe and mild forms, was identified in multiple records such as the face sheet, MDS, care plan, physician orders, and diagnosis report, and was receiving Cymbalta for MDD. However, the resident’s PASRR Level I screening indicated no mental illness. The ADM stated the MDS nurse was responsible for PASRR accuracy and updates when mental illness diagnoses were made, and acknowledged the resident’s active MDD should have been reflected on the PASRR, but he was unaware of the inaccuracy. This resulted in an inaccurate and non-updated PASRR Level I for a resident with a mental illness diagnosis.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Failure to Maintain Accurate Care Plans for Dietary and PASRR-Related Needs
D
F0656 F656: Develop and implement a complete care plan that meets all the resident's needs, with timetables and actions that can be measured.
Short Summary

Two residents’ care plans were not accurately updated to reflect their assessed needs and physician orders. One resident with dementia, diabetes, and malnutrition had an active MD order and meal tickets for a large-portion, double-portion diet and was observed receiving double portions at meals, yet the care plan continued to list only a regular diet with thin liquids and did not specify the ordered double portions. Another resident with schizophrenia and schizoaffective disorder had a positive PASRR Level 1 for mental illness and a completed PASRR Level 2 evaluation, but the care plan, while listing the psychiatric diagnoses, contained no focus areas addressing the PASRR findings or related services. The ADM and DON acknowledged that care plans should have been updated to reflect these orders and PASRR results and were unaware that this had not occurred.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Failure to Follow Physician Orders for Weekly Weights
D
F0684 F684: Provide appropriate treatment and care according to orders, resident’s preferences and goals.
Short Summary

A resident with severe dementia, psychiatric comorbidities, and protein-calorie malnutrition had a physician order for weekly weights, but the facility failed to consistently obtain and document these weights over several months. Although the resident appeared adequately nourished and was observed eating most of a meal, multiple ordered weekly weights were missing from the treatment records. Facility leadership, including the DON and ADON, were unaware that the weekly weight order had not been followed, despite policies requiring adherence to physician orders and documentation of weights in the EHR.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Improper Handling and Storage of Oxygen Nasal Cannula
D
F0695 F695: Provide safe and appropriate respiratory care for a resident when needed.
Short Summary

A resident with severe cognitive impairment and COPD, receiving oxygen therapy via nasal cannula, was observed twice with the cannula lying on the floor beside the bed instead of stored in the bag on the oxygen concentrator as required. A CNA later picked up the cannula from the floor, wiped it with a non-disinfectant incontinent wipe, and reapplied it to the resident, despite having been trained that a cannula found on the floor should be replaced. An LVN, the DON, and the Administrator all confirmed that oxygen cannulas must be stored properly, replaced if found on the floor, and that incontinent wipes are not disinfectants, indicating a failure to follow the facility’s infection prevention and control policy.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Loose Medications Found on Two Medication Carts
D
F0761 F761: Ensure drugs and biologicals used in the facility are labeled in accordance with currently accepted professional principles; and all drugs and biologicals must be stored in locked compartments, separately locked, compartments for controlled drugs.
Short Summary

Surveyors found loose pills in drawers on two medication carts, indicating medications were not stored in their original packaging or assigned resident-specific areas as required by facility policy. On one cart, two loose tablets later identified as Carbidopa-Levodopa and Zofran were discovered with a medication aide who stated she was responsible for checking the cart at the start of her shift. On the second cart, four loose tablets identified as Allopurinol, Metoprolol, Lasix, and Amlodipine were found with another medication aide, who also reported routinely checking the cart for cleanliness and loose medications. The DON and ADM both reported they were unaware of the loose medications and stated that medication aides, nurses, and charge nurses were responsible for proper medication storage, monitored through administrative and pharmacy cart audits.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Unsafe discharge without needed supports
J
F0627 F627: Ensure the transfer/discharge meets the resident's needs/preferences and that the resident is prepared for a safe transfer/discharge.
Short Summary

A resident with CHF, COPD, morbid obesity, chronic wounds, and total bowel/bladder incontinence was discharged home by stretcher despite being a mechanical-lift resident who could not walk or toilet independently. Home health was not in place, the family reported difficulty reaching SW, and the resident was discharged without an AMA notice or Ombudsman notice. She soiled herself at home, could not clean up, and was hospitalized shortly after for CHF exacerbation and fluid overload.

Fine: $27,378
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.

Trusted data from CMS and state health departments

Every citation, penalty and Plan of Correction is sourced from public CMS records (latest release June 24, 2026) and official state health department websites — never guesswork.


Some of the Latest Corrective Actions taken by Facilities in Texas

  • Revised and reinforced timely pressure-injury risk identification on admission and with condition change using the 24-hour report, with DON/MDS reviewing every admission and condition change to ensure issues were identified and addressed (K - F0686 - TX)
  • Implemented weekly skin assessments with leadership validation by having charge nurses complete weekly skin assessments and ADON audit after completion (K - F0686 - TX)
  • Implemented a physician-notification audit process for skin issues by requiring charge nurses to notify the physician for identified skin issues and having the DON audit physician notification through progress notes (K - F0686 - TX)
  • Implemented a wound-consultant follow-up process by having the ADON round with the wound physician and implement orders and new treatments (K - F0686 - TX)
  • Implemented a care-plan revision validation process by requiring charge nurse/ADON/MDS to revise care plans following required change and having the DON audit care plan changes (K - F0686 - TX)
  • Implemented a heel offloading monitoring system by assigning charge nurses/CNAs to offload heels in bed, using an ADON/DON monitoring sheet for validation, and maintaining a DON list of residents requiring heel offloading (K - F0686 - TX)
  • Re-educated licensed nurses and CNAs with a post-test on pressure-injury prevention covering risk recognition, repositioning/offloading techniques, immediate reporting of skin changes, and documentation of skin checks on skin observation sheets (with administrator tracking attendance and post-tests) (K - F0686 - TX)
  • Implemented ongoing DON/ADON monitoring and audits for pressure-injury prevention and wound care compliance including audits of residents with pressure injuries/at risk for breakdown, repositioning documentation, weekly skin assessments, wound treatment compliance, and care plan updates, with immediate correction of negative findings and reporting of trends to QAPI (K - F0686 - TX)
  • Implemented DON/designee daily spot checks of wound treatments to verify ordered wound care was completed and documented (K - F0686 - TX)
  • Implemented a daily wound care assignment sheet to ensure accountability for completing ordered wound treatments (K - F0686 - TX)
  • Re-educated licensed nurses on the wound care policy including treatment frequency, dressing type, documentation requirements, and expectations for notifying the physician of wound-condition changes (K - F0686 - TX)
  • Reviewed audit results in QAPI meetings to support ongoing oversight of wound-treatment compliance (K - F0686 - TX)
  • Amended wound-treatment orders to require pain evaluation prior to treatments and medication if indicated to prevent unmanaged pain during wound care (J - F0697 - TX)
  • Re-educated licensed nurses on pain assessment and management including change in condition, administering pain medications, and the pain-clinical protocol (including anticipating increased pain with wound care, ambulation, repositioning, and using the critical element pathway for pain recognition/management) (J - F0697 - TX)
  • Re-educated non-licensed nursing staff on recognizing and reporting pain changes using STOP AND WATCH Alert in PCC/point-of-care documentation and/or direct communication to the charge nurse (J - F0697 - TX)
  • Validated staff education via quiz and acknowledgement covering recognition of changes in condition, notification procedures, and pain assessment/management (J - F0697 - TX)
  • Implemented ongoing change-in-condition/pain assessment audits by reviewing the 24-hour summary report and nurse progress notes to ensure changes were reported to the provider and documented and that pain assessments were completed prior to treatments, with audit results reviewed in IDT/QAPI meetings and issues addressed immediately (J - F0697 - TX)
  • Re-educated licensed nurses, MDS staff, and IDT members on comprehensive person-centered care planning requirements including timely care plan revision after new wounds/condition changes, measurable objectives and individualized interventions, and communication of updated interventions to direct care staff via Kardex/POC system and documentation of care plan review/implementation (J - F0656 - TX)
  • Implemented an expectation for immediate care-plan revision when issues were identified by requiring the ADON responsible for wound care to revise care plans as soon as an issue was identified and having the DON validate care plan revisions during morning meeting (J - F0656 - TX)
  • Established ongoing monitoring/audits for timely care-plan updates by having DON/ADON/MDS Coordinator audit residents with new wounds, current pressure injuries, significant changes in condition, and identified skin risk factors to verify care plans were revised timely and interventions were individualized and implemented, with results brought to QAPI for trend analysis and additional corrective action (J - F0656 - TX)

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