CLEARWATER CENTER
CLEARWATER CENTER is a 109-bed nursing home in CLEARWATER, Florida. CMS has certified it for Medicare and Medicaid since 1973-08-22. It averages 97.0 residents a day.
What harm was found in the violations cited at CLEARWATER CENTER?
CMS lists 22 health-inspection deficiencies for CLEARWATER CENTER since 2020-03-13, 16 of them in the three years to 2026-08-01: the highest scope-and-severity letter on record is K; the most recent health inspection was 2024-02-21.
| Survey date | Tag | Deficiency | Severity |
|---|---|---|---|
| 2024-02-21 | F0695, F0726, F0835 | Provide safe and appropriate respiratory care for a resident when needed. / Ensure that nurses and nurse aides have the appropriate competencies to care for every resident in a way that maximizes each resident's well being. / Administer the facility in a manner that enables it to use its resources effectively and efficiently. | K |
| 2024-02-21 | F0732, F0880, F0881 | Post nurse staffing information every day. / Provide and implement an infection prevention and control program. / Implement a program that monitors antibiotic use. | F |
| 2024-02-21 | F0645, F0656, F0725, F0759 | PASARR screening for Mental disorders or Intellectual Disabilities / Develop and implement a complete care plan that meets all the resident's needs, with timetables and actions that can be measured. / Provide enough nursing staff every day to meet the needs of every resident; and have a licensed nurse in charge on each shift. / Ensure medication error rates are not 5 percent or greater. | E |
| 2024-02-21 | F0558, F0585, F0641, F0684, F0622, F0625 | Reasonably accommodate the needs and preferences of each resident. / Honor the resident's right to voice grievances without discrimination or reprisal and the facility must establish a grievance policy and make prompt efforts to resolve grievances. / Ensure each resident receives an accurate assessment. / Provide appropriate treatment and care according to orders, resident’s preferences and goals. / Not transfer or discharge a resident without an adequate reason; and must provide documentation and convey specific information when a resident is transferred or discharged. / Notify the resident or the resident’s representative in writing how long the nursing home will hold the resident’s bed in cases of transfer to a hospital or therapeutic leave. | D |
| 2021-12-03 | F0550, F0554, F0691 | Honor the resident's right to a dignified existence, self-determination, communication, and to exercise his or her rights. / Allow residents to self-administer drugs if determined clinically appropriate. / Provide appropriate colostomy, urostomy, or ileostomy care/services for a resident who requires such services. | D |
| 2020-03-13 | F0585, F0656, F0689 | Honor the resident's right to voice grievances without discrimination or reprisal and the facility must establish a grievance policy and make prompt efforts to resolve grievances. / Develop and implement a complete care plan that meets all the resident's needs, with timetables and actions that can be measured. / Ensure that a nursing home area is free from accident hazards and provides adequate supervision to prevent accidents. | D |
Why was CLEARWATER CENTER fined?
| Date | Type | Amount |
|---|---|---|
| 2024-02-21 | Fine | $76,496 |
How is CLEARWATER CENTER staffed relative to the FL average?
| Measure | This facility | FL average |
|---|---|---|
| Total nurse staffing hours per resident per day | 3.10140 | 3.82350 |
| Total nursing staff turnover (%) | 40.2 | 41.4 |
| Average number of residents per day | 97.0 | 108.9 |
Who owns CLEARWATER CENTER, and what chain is it in?
CLEARWATER CENTER is registered with CMS as Non profit - Corporation, operates under the legal business name CLEARWATER REHABILITATION CENTER, LLC and belongs to the HEARTHSTONE SENIOR COMMUNITIES chain.
| Role | Owner | Association date |
|---|---|---|
| 5% OR GREATER DIRECT OWNERSHIP INTEREST | CLEARWATER REHABILITATION CENTER, LLC | since 04/01/2009 |
| 5% OR GREATER INDIRECT OWNERSHIP INTEREST | HEARTHSTONE SENIOR COMMUNITIES, INC. | since 04/01/2009 |
| CORPORATE OFFICER | GARNER, ALVIN, JAFFE, HOWARD, ROMBOLD, LORI, WYATT, BRIAN | since 04/01/2009 |
| OPERATIONAL/MANAGERIAL CONTROL | CONSULTING SUPPORT SERVICES, LLC, FACILITY SUPPORT COMPANY, LLC, KANE FINANCIAL SERVICES, LLC, THEMIS HEALTH MANAGEMENT, LLC, DOLLARD, ANNICE, PRYBYLSKI, PAUL | since 02/21/2023 |
| ADP OF THE SNF | CONSULTING SUPPORT SERVICES, LLC, FACILITY SUPPORT COMPANY, LLC, HEARTHSTONE SENIOR COMMUNITIES, INC., KANE FINANCIAL SERVICES, LLC, OMEGA HEALTHCARE INVESTORS, INC, SELECT REHABILITATION, LLC, THEMIS HEALTH MANAGEMENT, LLC, DOLLARD, ANNICE, PRYBYLSKI, PAUL | since 02/21/2023 |