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Inspection visit

Correction check

Clean visit · 0 citations

Inspector’s narrative

What the inspector wrote

Licensing Program Analyst (LPA) Janira Arreola conducted an unannounced Plan of Correction (POC) Visit. LPA met with Administrator, Armond Hagan, and later met with Staff, Aidan Hagan who were informed of the purpose of the visit. LPA made (3) attempts to contact the licensee during the visit but no response was received. LPA conducted a walk through, interviews, and records review to verify the POC from visits conducted on 06/11/2025 and 07/01/2025. The following deficiencies were corrected by the POC due date. The POC's were cleared at the time of the visit: Deficiency cited under California Code of Regulations (CCR) Title 22 section 87202 Fire Clearance for the facility exceeding the capacity for residents who are bedridden. The licensee agreed to have the resident relocated and apply for an increase in their bedridden status to the local fire department by POC due date of 07/02/2025. The Department received copy of 30- day eviction notice for the bedridden resident, and proof of appointment with the local fire jurisdiction. Therefore, the POC was met and cleared at the time of the visit. Deficiency cited under CCR Title 22 section Maintenance and Operation 87303 for the facility smoke detectors not having batteries. The staff replaced the batteries for the smoke detectors on 07/01/2025, and on today's visit 07/03/2025 the smoke detectors were tested and observed to be operational. Therefore, the POC was met and cleared at the time of the visit. Deficiency cited under CCR Title 22 section 87355 Criminal Record Clearance for uncleared adult observed be sleeping over night at the facility with their clothing and personal belongings in a vacant resident room. On 07/01/2025, the uncleared adult was escorted off the premises, and on today's visit 07/03/2025 the uncleared adult was not observed at the facility. LPA observed (2) cleared staff at the facility at the time of the visit. Therefore, the POC was met and cleared at the time of the visit. The following deficiencies were not corrected by the POC due date nor at the time of the visit. Civil Penalties are being assessed and will continue to accrue until the POC has been submitted: Deficiency cited under CCR Title 22 section 87205 Accountability of Licensee Governing Body for the licensee WHITE'S LOVE AND CARE RESIDENTIAL ELDERLY HOME INC being in a status of suspension with the Franchise Tax Board (FTB). POC was to contact the FTB and obtain proof of agreement to bring the incorporation back into good standing. On 6/19/2025 the licensee met with Department staff in office and agreed to submit the POC by the POC due date 06/20/2025. LPA received phone communication from the licensee’s husband on 06/20/2025 informing they had called the FTB and left a voicemail message. No further proof was submitted for the POC. During today’s visit LPA attempted to speak with Licensee, Jacqueline White who was unavailable at the time of the visit. The Secretary of State website was checked on today's date which still reflect a status of suspension with the FTB. Therefore, the POC was not met and civil penalties are being assessed in the amount of $100 per day for (12) days from 06/21/2025 to 07/02/2025. The licensee was advised that civil penalties will continue to accrue at the rate of $100 a day until the POC is met. An exit interview was conducted with the staff, Aidan Hagan where this report, LIC421FC Faliure to correct Forms, appeal rights, and Clearance Letters were reviewed and provided. *LPA was off site from 12:05pm to 1:49pm in order to prepare today's report.

Citations

5 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.

  • 1569.605Type A

    On and after July 1, 2015, all residential care facilities for the elderly...shall maintain liability insurance covering injury to residents and guests in the amount of at least one million dollars ($1,000,000) per occurrence and three million dollars ($3,000,000) in the total annual aggregate...This requirement is not met as evidenced by: Based on interview and record review, the facility did not have proof of liability insurance to inspect during the visit. This poses an immediate health saftey or personal rights risk to residents in care.

  • 1569.695(a)Type B

    §1569.695 Emergency Plans (a) In addition to any other requirement of this chapter, a residential care facility for the elderly shall have an emergency and disaster plan that shall include, but not be limited to, all of the following: This requirment was not met as evidenced by: Based on interview and record review, the emergency plan does not include the requirements in HSC 1569.695 and needs to be updated. This poses a potential health safety or personal rights risk to residents in care.

  • 1569.695(c)Type B

    §1569.695 Emergency Plans (c) A facility shall conduct a drill at least quarterly for each shift...Documentation of the drills shall include the date, the type of emergency covered by the drill, and the names of staff participating in the drill. This requirment was not met as evidenced by: Based on interview and record review the facility did not conduct a quarterly fire drill. This poses a potential health saftey or personal rights risk to residents in care.

  • First aid training requirements

    87411 Personnel Requirements - General (c) All RCFE staff...(1)...providing care shall receive appropriate training in first aid from persons qualified by such agencies as the American Red Cross. This requirement was not met as evidenced by: Based on interview the licensee (prior administrator) and (1) current staff do not have CPR and first aid training. This poses a potential health saftey or personal rights risk.

  • 87412(f)Type B

    Allow licensing inspection and controlled record removal

    (f)...personnel, including the licensee and administrator, shall be...physically and mentally capable of performing assigned tasks. Good physical health shall be verified by a health screening...performed by a physician... A report shall be...signed by the examining physician...This requirement is not met as evidenced by: Based on interview and record review, the licensee (prior administrator) did not have a health screening on file to review during the visit. This poses a potential health safety or personal rights risk to residents in care.

FAQ · About this visit

Common questions about this visit

What happened during the July 3, 2025 inspection of WHITE'S LOVE & CARE RESIDENTIAL ELDERLY HOME INCII?

This was an other inspection of WHITE'S LOVE & CARE RESIDENTIAL ELDERLY HOME INCII on July 3, 2025. The inspection found no deficiencies and no citations were issued.

Were any citations issued to WHITE'S LOVE & CARE RESIDENTIAL ELDERLY HOME INCII on July 3, 2025?

No citations were issued during this inspection. The facility was found to be in compliance with all applicable regulations.

What type of inspection was this?

This was an other inspection. other inspections are conducted by CCLD as part of their licensing oversight.

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