Inadequate Supervision Leads to Resident Elopement
Summary
The facility failed to provide adequate supervision and response to exit door alarms, resulting in an elopement incident involving three residents from a locked, secured unit. These residents, who required staff supervision both on and off the unit, managed to exit through a locked and alarmed door undetected by staff. They proceeded to the main entrance, exited the facility, and walked away without being questioned or stopped by staff. The incident was only discovered when an off-duty staff member noticed two of the residents down the street with police. Resident #1, who had a history of traumatic brain injury, schizoaffective disorder, and substance abuse, was at moderate risk for elopement and required continual supervision. Despite being on 5-minute safety checks, Resident #1 was able to leave the facility with the other residents. Resident #2, who was not initially assessed as at risk for elopement but had a care plan for such a risk, suffered injuries after falling from his wheelchair during the elopement. Resident #3, identified as high risk for elopement, was involved in the escape plan and assisted Resident #1 in leaving the unit. The facility's policies on safety awareness and elopement were not effectively implemented, as staff failed to respond to the alarm and did not ensure the residents were supervised. Surveillance footage showed that the alarm on the unit was functioning, but staff did not respond to it. Interviews with staff revealed a lack of awareness and communication regarding the residents' whereabouts and the functioning of the secured unit's alarm system.
Removal Plan
- The Neurological Program Director and Director of Nurses (DON) placed Resident #1, #2, and #3 on five-minute safety checks. Resident #1, #2, and #3 remain on 15-minute safety checks and physician's orders were obtained for Resident #1 and #2's wheelchairs to be equipped with a wander guard device (Resident #3 continues to refuse the use of a device).
- The Administrator and Director of Maintenance changed the facility entrance and secured unit codes, inspected all doors and all were in functioning order. The Facility also contracted for an inspection by an outside vendor who also confirmed there were no issues with door alarm function. The Administrator and Director of Maintenance continue to search for a potential additional alarm device that may enhance the system already in place.
- The Administrator and DON added an additional staff member stationed at the main entrance during the off-shift hours to ensure that no one is allowed to exit the Facility without staff knowledge. The staff member was placed on the daily schedule.
- The Director of Nurse and/or designee completed new Elopement Risk Assessments for Resident #1, #2, and #3, assured their photographs were placed in the Elopement Book at the main entrance, the B1 unit and each of the Resident's care plans were updated to reflect the recent elopement.
- The Facility held an ad hoc Quality Assurance and Performance Improvement (QAPI) meeting to review the event, develop interventions and audit tools to minimize the risk of an event of this nature from happening again.
- The DON and Staff Development Coordinator (SDC) educated all staff, including the Life Enhancement Specialist (LES) regarding the revised policy for Levels of Observations, Safety Check Procedures, and the Facility's Alarm Procedures. Education included steps to take if an alarm is sounding, ensuring residents are supervised when seen off the unit, and notifying a supervisor when a resident is observed unsupervised at any time. Administrative staff will conduct random audits for five weeks or until found to be in compliance, with all staff on all units to ensure their understanding of each of the identified issues.
- The DON and SDC completed new Elopement Assessment for all residents in the facility and care plans were updated by nursing staff according to the results.
- Results of all audits and observations will be brought to and reviewed at QAPI meetings for the next three months or until compliance is achieved.
- The Administrator and/or Designee are responsible for overall compliance.
Penalty
Resources
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