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Wevillage Ventura, Llc

License 197493273Child Care CenterSherman Oaks, CA
18 citations on record

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About this facility

Operating details and county context

Operating details

Capacity
20 children
Phone
(818) 233-8218
Address
13335 Ventura Blvd.
Licensed since

Los Angeles County context

8,727*CCLD

Total facilities

2.5*CCLD

Avg citations

5.1*CCLD

Avg visits

1.3*CCLD

Avg complaint visits

*CCLD: California Community Care Licensing Division. Updated weekly. Last refresh .

Citations

18 citations on record

Every regulation cited on a CCLD inspection of this facility, sourced from the public record. Each row links to the visit’s inspector narrative.

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.

2026

  • ADMISSION PROCEDURES AND PARENTAL AND AUTHORIZED

    Based on record review, the licensee did not comply with the section cited above in 3 out of 3 childrens files reveiwed did not have the LIC 995A, which poses/posed a potential health, safety or personal rights risk to persons in care.

  • INDOOR ACTIVITY SPACE FOR INFANTS

  • ARTICLE 1. General Provisions and Definitions

    Based on record review, the licensee did not comply with the section cited above in 2 out of 4staff record reviews did not have MMR, nor TDAP on file, which poses/posed a potential health, safety or personal rights risk to persons in care.

  • 101430(a)(3)(A)(1)Type B

    Based on interview,record review, the licensee did not comply with the section cited above in 3 out of 3 childrens files reviewed did not have the LIC 9227, which poses/posed a potential health, safety or personal rights risk to persons in care.

2025

  • 101212Type B

    101212 Reporting Requirements (d) Upon the occurrence, during the operation of the child care center of any of the events specified in (d)(1) below, a report shall be made to the Department by telephone or fax within the Department's next working day and during its normal business hours. In addition, a written report containing the information specified in (d)(2) below shall be submitted to the Department within seven days following the occurrence of such event. (1) Events reported shall include the following: (E) Epidemic outbreaks.This requirement is not met as evidence by: Based on interviews, 2 or more cases of Hand, Foot, Mouth occured. This poses a potential risk to children in care.

  • 101416.5Type A

    101416.5 Staff-Infant Ratio(b) There shall be a ratio of one teacher for every four infants in attendance.This requirement is not met as evidence by: LPA observed 2 teachers supervising 10 infants. This poses an immediate risk to children in care.

  • 101429(a)(1)(2)Type A

    101429 -Responsibility for Providing Care and Supervision for Infants(a) In addition to Section 101229, the following shall apply: (1) Each infant shall be constantly supervised and under direct visual observation and supervision by a staff person at all times. (2) Sleeping infant(s) shall be directly observed by sight and sound at all times. This requirement is not met as evidence by: Based on interviews conducted, sleeping infants were left alone in the nap room with the doors closed and without any adult supervision. This poses an immediate risk to infants in care.

  • STAFF-INFANT RATIO

    101416.5 Staff-Infant Ratio (b) There shall be a ratio of one teacher for every four infants in attendance.This requirement is not met a evidence by: Based on observtions and interviews, a ratio of 4 infants to 1 teacher is not being mainatined at the center. This poses an immediate risk to children in care.

2024

  • CRIMINAL RECORD CLEARANCE

    101170 CRIMINAL RECORD CLEARANCEAll individuals are subject to a criminal record review prior to working. Individuals must be fingerprint cleared and associated to the facility. This requirement is notmet as evidenced by: Based on record review, observations and interviews, LPA determined that S1 was not yet eligible/cleared , nor associated as the live scan was still requiring further action.

  • 101429(a)(1)(2)Type A

    101429 -Responsibility for Providing Care and Supervision for Infants(a) In addition to Section 101229, the following shall apply: (1) Each infant shall be constantly supervised and under direct visual observation and supervision by a staff person at all times. (2) Sleeping infant(s) shall be directly observed by sight and sound at all times. This requirement is not met as evidence by: Based on observations and interview made on 10/24/2024 LPA observed 4 sleeping infants were left alone in the nap room with the douors closed and without any adult supervision. This poses an immediate risk to infants in care.

  • ARTICLE 2. Administration of Child Day Care Licensing

    Based on observation interview record review, the licensee did not comply with the section cited above in 3 persons do not have current mandated reporter training certificate which poses/posed a potential health, safety or personal rights risk to persons in care.

  • PERSONNEL REQUIREMENTS

    Based on observation interview record review, the licensee did not comply with the section cited above in 4 persons need the LIC 503 completed which poses/posed a potential health, safety or personal rights risk to persons in care.

  • ARTICLE 1. General Provisions and Definitions

    Based on observation interview record review, the licensee did not comply with the section cited above in 6 persons did not have proof of immunizations for MMR/ Tdap, which poses/posed a potential health, safety or personal rights risk to persons in care.

2023

  • 101429(a)(2)Type A

    101429(a)(2) Responsibility for Providing Care and Supervision for Infants(a) In addition to Section 101229, the following shall apply: (2) Sleeping infant(s) shall be directly observed by sight and sound at all times. This requirement is not met as evidence by: Based on staff interviews, there have been times when napping infants have been left unatended for minute incraments to complete other daily tasks due to not having enough staff, which poses an immediate health, safety or personal rights risk to persons in care.

  • STAFF-INFANT RATIO

    101416.5(b) Staff-Infant Ratio(b) There shall be a ratio of one teacher for every four infants in attendance. This requirement is not met as evidence by: Based on LPA observations of sign in/out sheets and staff interviews, facility was operating out of ratio today which poses an immediate health, safety or personal rights risk to persons in care.

  • CRIMINAL RECORD CLEARANCE

    101170 Criminal Record Clearance (e) All individuals subject to a criminal record review pursuant to Health and Safety Code Section 1596.871 shall prior to working... licensed facility:(1)Obtain a California clearance or a criminal record exemption as required by the Department ... Based on observation, interview, and record review, S1 did not have a criminal background clearance and not associated to the facility, which poses an immediate Health and Safety, or Personal Rights risk to persons in care.

2022

  • ARTICLE 2. Administration of Child Day Care Licensing

    Based on interview with Director and record review, the licensee did not comply with the section cited above in 1 out of 4 employee files reviewed contained expired Mandated Reporter Trainings and 3 Staff and Director do not have proof of mandated reporter which poses/posed a potential health, safety or personal rights risk to persons in care.

  • STAFF-INFANT RATIO

    101416.5 (b) Staff-Infant Ratio, There shall be a ratio of one teacher for every four infants in attendance.This requirement was not met as evidenced by: Based on observationand interviews, LPA observed 1 staff caring for 5 infant children, which poses an immediate Health and Safety, and personal rights risk to persons in care.

Inspection record

19 visits on record since 2022. Most recent on 2026-03-10.

3 routine inspections, 13 complaint visits. 10 complaints on record, 7 of 10 substantiated.

18 citations across the record on file

Nearby

Other licensed daycares in Sherman Oaks

FAQ

Common questions about this facility

Is Wevillage Ventura, Llc licensed in California?

Yes, Wevillage Ventura, Llc is currently licensed in California. It has been licensed since 2017.

How many citations does Wevillage Ventura, Llc have?

Wevillage Ventura, Llc has 18 citations on record: 9 Type A (more serious) and 9 Type B citations. It has received 19 visits (3 inspections, 13 complaint visits, 3 other visits).

When was Wevillage Ventura, Llc last inspected?

Wevillage Ventura, Llc was last inspected on March 10, 2026 (7 weeks ago). California CCLD typically inspects licensed childcare facilities annually or following a complaint.

What type of childcare is Wevillage Ventura, Llc?

Wevillage Ventura, Llc is a Child Care Center (CCC), which is a facility-based program typically serving larger groups of children with multiple staff members with a licensed capacity of 20 children. It is located in Sherman Oaks, Los Angeles County, California.

How does Wevillage Ventura, Llc compare to other daycares in Los Angeles County?

Wevillage Ventura, Llc has 18 citations. The county average is 2.5 citations per facility. There are 8,727 licensed childcare facilities in Los Angeles County.

Does Wevillage Ventura, Llc have any serious violations?

Wevillage Ventura, Llc has 9 Type A citations on record. Type A citations indicate conditions that pose an immediate health or safety risk to children. Review the inspection timeline above for details on each citation.

Has Wevillage Ventura, Llc had any complaint inspections?

Wevillage Ventura, Llc has received 13 complaint-triggered inspections. 7 resulted in substantiated findings. Complaint inspections are triggered when someone reports a concern to CCLD.

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