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Inspection visit

Non-compliance follow-up

BETSY'S RESIDENTIAL CARE HOMELicense 4968008032 citations on this visit
2 citations recorded

Inspector’s narrative

What the inspector wrote

Licensing Program Analyst (LPA) Christi Coppo arrived unannounced to conduct a Non-compliance and was greeted by caregiver. Administrator Edward Alicdan Jr. and licensee Luningning Alicdan were present at facility. Licensee advised LPA that she has received her Administrator certificate (#7002894740 expires 10/18/2027) and would like to be listed as the Administrator of record. Licensee will submit required paperwork for LPA to make change. Licensee had to leave so designee signed report. On of 7/31/2024 licensee agreed to be on a Non-Compliance plan. The areas of concern were identified as: · Administrator Duties and Plan of Operation · Staff Training · Resident and staff records · Resident Care and Personal Rights · Insufficient Staffing · Failure to clear deficiencies timely · Medication Management · Failure to follow through with TSP Continued on 809C... Continued from 809... Licensee was to ensure the following: · Follow through with responding to and participating with the Technical Support Program · Ensure compliance with areas including, but not limited to, staff training records, maintaining staff and resident records and pre-pouring of medication. · Ensuring personal rights of residents in care and ensuring resident needs are met. On 2/11/26 LPA conducted a non-compliance (NCC) visit simultaneously with the facility’s annual inspection. Deficiencies were cited for identified NCC areas of concern. As of today, 4/23/26, the plans of correction to clear those deficiencies are still outstanding. So, as pertains to the failure to clear deficiencies timely, the licensee has failed to clear deficiencies. LPA discussed failure with licensee. As pertains to resident and staff records, deficiency of regulation 87458(c)(1)(A) was cited on 2/11/26 because resident (R1) did not have TB clearance on file. As of 3/4/26, R1 moved out of facility. Therefore the citation is being cleared today and will not be re-cited. As pertains to medication management, deficiency of regulation 87465(h)(6)(c) was cited on 2/11/26 because LPA and caregiver observed errors present on Centrally Stored Medication log (CSML) and current physician's orders for R1. The plan of correction required staff to complete one hour of medication management training by no later than 2/18/26. As of today, the plan of correction was not submitted to CCL. However, while present at facility staff provided LPA with completed medication training certificate issued 2/23/26. Therefore the citation is being cleared today and will not be re-cited. Also pertaining to medication management, deficiency of regulation 87465(h)(5) was cited on 2/11/26 because LPA and caregiver observed pre-poured medications in kitchen drawer. As of today, CCL has not received the plan of correction which required licensee/administrator to submit a LIC9098 self-certifying that facility will stop pre-pouring medications. Therefore, deficiency of regulation 87465(h)(5) is being re-cited today, see 809D. Facility’s physical plant was not identified as a NCC area of concern. However, a deficiency of regulation 87303(a) was cited at the annual inspection. As of today, the plan of correction to clear that citation has not Continued on 809C(2)... Continued from 809C... been received. During today's visit, LPA, staff (S1), and licensee all observed facility’s water heater closet to still have rodent droppings present and rodent droppings were also observed outside in the garage on the same side as the refrigerator where food is stored. T herefore, deficiency of regulation 87303(a) is being re-cited today, see 809D. As pertains to inadequate staffing: on 2/11/26 Administrator advised LPA that only himself or S1 have been on shift for about 2 or 3 weeks while licensee has been on of the country. However, per the NCC compliance plan all shifts must be covered by at least two [2] staff. LPA spoke to licensee over telephone while out of the country. Licensee indicated to LPA that the requirement for two [2] staff per shift is no longer needed as resident care needs have changed. However, during inspection LPA did not observe any paperwork indicating any change in resident care needs so the deficiency was cited. Today, LPA reviewed R2's most recent hospice care plan dated 4/06/26, per care plan R2 no longer requires a two person assist. So, facility is not required to staff for a two person assist. Therefore, the citation is being cleared today and will not be re-cited. However, LPA discussed with licensee and S1 the need for R2 to be repositioned every 2 hours and discussed documenting the repositioning so as to have an accounting of the times at which they were repositioned. During today’s visit, LPA and S1 did a spot check of medication. No deficiencies were observed. LPA reviewed resident documentation. No deficiencies observed. LPA did not observe or identify deficiencies pertaining to the other areas of concern identified in the NCC plan, such as Administrator Duties and Plan of Operation, Resident Care and Personal Rights, and failure to follow through with TSP. Facility has a certified Administrator, followed through with TSP, and observing personal rights. Deficiencies cited from the California Code of Regulations, Title 22, Division 6 of California Regulation and the Health and Safety Code. Appeal rights given and discussed with Administrator. Failure to correct the deficiency and/or repeat deficiencies within a 12 month period may result in civil penalties. Exit interview conducted with designee and a copy of this report was given.

Citations

2 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.

  • 87303(a)Type A

    Maintenance and Operation 87303(a)(a) The facility shall be clean, safe, sanitary and in good repair at all times... This requirement is not met as evidenced by: Based on LPA, licensee and S1 observation, the licensee did not comply with the section cited above in that water heater closet has rodent droppings present, rodent droppings also observed by LPA, licensee, and caregiver outside in the garage on the same side as the refrigerator; additionally, an insulin syringe was found on the floor in the garage, which poses a potential health, safety or personal rights risk to persons in care.

  • 87465(h)(5)Type A

    Incidental Medical and Dental Care Services 87465 (h) The following requirements shall apply to medications which are centrally stored: (5) Each resident's medication shall be stored in its originally received container. No medications shall be transferred between containers. This requirement is not met as evidenced by: Based on LPA and caregiver observation, the licensee did not comply with the section cited above in that there were pre-poured medications in kitchen drawer, which poses an immediate health, safety or personal rights risk to persons in care.

FAQ · About this visit

Common questions about this visit

What happened during the April 23, 2026 inspection of BETSY'S RESIDENTIAL CARE HOME?

This was a other inspection of BETSY'S RESIDENTIAL CARE HOME on April 23, 2026. 2 citations were issued: 2 Type A (serious).

Were any citations issued to BETSY'S RESIDENTIAL CARE HOME on April 23, 2026?

Yes, 2 citations were issued (2 Type A, 0 Type B). The first citation was for: "Maintenance and Operation 87303(a)(a) The facility shall be clean, safe, sanitary and in good repair at all times... Thi..."

What type of inspection was this?

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

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