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Inspection visit

complaint

MY LOVELY HOUSELicense 1958504211 citation on this visit
1 citation recorded

Inspector’s narrative

What the inspector wrote

The allegation of “Residents who are bedridden are being retained in a room without bedridden fire clearance” alleges that the facility is retaining two (2) bedridden individuals in a non-bedridden approved room in violation of their fire clearance. LPA identified resident #1 (R1), and resident #2 (R2) as the subjects of the complaint. LPA conducted a physical plant tour and observed R1 and R2’s room. R2 was not present at the facility during the inspection. During the interview with S1 they confirmed that they do assist R1 and R2 with repositioning in bed. S1 stated that they assist R1 and R2 approximately every two (2) hours. S1 stated that R2 was able to reposition without assistance until approximately two (2) to three (3) weeks ago. LPA interviewed R1 who confirmed that they require assistance with repositioning in bed. During the interview R1 demonstrated the inability to reposition without assistance. Additionally, R1 stated that they and R2 are roommates. R1 confirmed that R2 requires and is being provided with assistance in repositioning in bed. LPA reviewed R1 and R2’s resident files. R1’s medical assessment dated 10/15/2024 identifies them as “non-ambulatory” and R2’s medical assessment dated 07/09/2025 identifies them as “non-ambulatory”. LPA interviewed Witness #1 (W1) who confirmed that their criteria for determining if a resident is “Non-Ambulatory” Vs. “Bedridden” includes determining the resident’s ability to reposition themselves in bed without assistance. W1 confirmed that R1 is no longer a client of their office. LPA interviewed the facility Administrator who confirmed that R1 is “Mostly” bedridden and receives assistance from staff with repositioning. The Administrator stated that R2 began needing assistance with repositioning around 07/10/2025 before their hospitalization on 07/12/2025. LPA reviewed the facility’s fire clearance and observed that the facility is cleared to retain one (1) bedridden resident in bedroom #3 only. LPA observed both R1 and R2 to reside in bedroom #1 which is only cleared for non-ambulatory residents. LPA informed the Administrator that retaining bedridden residents in a room which is designated as non-ambulatory is a violation of their fire clearance and an immediate civil penalty in the amount of $500 is being assessed on today’s date (07/21/2025). LPA informed the Administrator that per their approved fire clearance they may only retain one (1) bedridden resident and failure to relocate the bedridden resident to the bedridden approved room may result in the issuance of a 100$/day civil penalty. Based on the information obtained during interviews there is sufficient evidence to support the allegation of “Residents who are bedridden are being retained in a room without bedridden fire clearance.” Therefore, the allegation is deemed Substantiated at this time. The following deficiency and civil penalty were cited (refer to LIC 9099D). This report was read to the Administrator via telephone call. A copy of the report was printed, appeal rights were provided, and exit interview was conducted.

Citations

3 citations recorded*CCLD

What does Type A vs Type B mean?

Type A. Serious citation. Imminent or substantial risk to children. The regulator requires corrective action immediately and may impose a civil penalty.

Type B. Lower-severity citation. Corrective action required, no imminent risk. The regulator monitors compliance on the next visit.

  • 87211(a)(1)Type B

    87211 Reporting Requirements(a) Each licensee shall...(1) A written report shall be submitted to the licensing agency and to the person responsible for the resident within seven days...This requirement is not met as eviednced by: Based on interviews and record review the licensee did not comply with the section cited above as R2's recent hospitalization was not reported to CCLD within the required timeframe which poses a potential health, safety, or personal rights risk to clients in care.

  • 87463(f)Type B

    (f) The licensee shall immediately, or as soon as reasonably possible, communicate...the recommendation...of the appropriate licensed medical professiona...Documentation...shall be added to the resident’s record.This requirement is not met as evidenced by: Based on interview and record review, the licensee did not comply with the section cited above asR1 and R2 did not have an updated medical assessment that accurately reflected their current conditions following a change in condition which poses a potential health risk to persons in care.

  • 1569.149Type A

    §1569.149 Fire clearance......the facility shall secure and maintain a fire clearance approval from the local fire enforcing agency, as defined in Section 13244, or the State Fire Marshal...This requirement is not met as evidenced by: Based on observation, interview, and record review the licensee did not comply with the section cited above as R1 and R2 need assistance with repositioning in bed and did not reside in the bedridden approved room which poses an immediate safety risk to clients in care.

FAQ · About this visit

Common questions about this visit

What happened during the July 21, 2025 inspection of MY LOVELY HOUSE?

This was a complaint inspection of MY LOVELY HOUSE on July 21, 2025. 1 citation were issued: 1 Type A (serious).

Were any citations issued to MY LOVELY HOUSE on July 21, 2025?

Yes, 1 citation was issued (1 Type A, 0 Type B). The first citation was for: "87211 Reporting Requirements(a) Each licensee shall...(1) A written report shall be submitted to the licensing agency an..."

What type of inspection was this?

This was a complaint inspection. Complaint inspections are triggered when someone reports a concern about the facility to CCLD.

SourceView on CCLDView original report

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Data from CCLD public records. Last updated . If you believe any information is inaccurate, report it here.