F0755 F755: Provide pharmaceutical services to meet the needs of each resident and employ or obtain the services of a licensed pharmacist.
E

Failure to Administer Medications per Orders and Standards Under Flex-Time System

Shuksan Rehabilitation And Health CareBellingham, Washington Survey Completed on 03-18-2026

Summary

The deficiency involves the facility’s failure to consistently provide pharmaceutical services that ensured medications were acquired, scheduled, and administered in accordance with prescriber orders, manufacturer guidelines, and the facility’s own policies. The facility’s “Medication and Flexible Pass Time” policy allowed broad administration windows (AM 6:00–11:00, noon 11:00–2:00, evening 2:00–7:00, HS 7:00–10:00) and defined routine medications as time-specific orders that could be given one hour before or after the scheduled time. Surveyors found that, in practice, medications were not administered within these parameters and were not consistently spaced according to general medication guidelines. Staff interviews showed that nurses relied on the flex-time windows and did not always know or document the exact administration times on the MAR, requiring separate reports to determine when doses were actually given. For one resident receiving acetaminophen (APAP) 1000 mg three times daily for pain and levetiracetam 1000 mg twice daily for seizures, the MAR showed APAP scheduled at AM flex pass, 11:00, and 8:00 p.m., and levetiracetam at AM flex pass and 4:00 p.m. The Medication Administration Audit Report (MAAR) documented multiple late or irregular doses. On several dates, the 11:00 APAP dose was given significantly late (e.g., at 1:41 p.m. and 1:34 p.m.), outside the one-hour window after the scheduled time. Levetiracetam doses were also given late or too close together, including a 4:00 p.m. dose administered at 8:46 p.m. and another day when the two daily doses were only five hours and 24 minutes apart, deviating from consistent interval guidelines. For a second resident receiving APAP three times daily and multiple daily doses of carbidopa-levodopa for Parkinson’s disease, the MAAR showed that carbidopa-levodopa was not administered in accordance with orders specifying dosing one hour before breakfast and one hour before or after meals. Morning doses ordered one hour before breakfast were given around 5:00 a.m., while breakfast was served between 7:50 and 8:00 a.m. Midday doses ordered one hour before or after lunch were administered approximately one hour before the scheduled lunch time, and an afternoon dose scheduled at 3:30 p.m. was set two hours before dinner, contrary to the order to give one hour before or after the meal. Evening doses ordered one hour before or after a meal were given at various times not clearly aligned with meal times. This resident’s APAP doses were also administered with very short intervals between the morning and 11:00 doses, sometimes less than three hours apart. For a third resident receiving APAP 1000 mg three times daily and carvedilol 6.25 mg twice daily ordered after meals, the MAR scheduled APAP at AM flex pass, 11:00, and 8:00 p.m., and carvedilol at AM flex pass and 4:00 p.m., without aligning carvedilol with meals as ordered. The MAAR showed instances where APAP doses were given late or too close together, including one day when the AM dose was given at 11:32 and the 11:00 dose at 11:59, resulting in 2000 mg of APAP administered 27 minutes apart. Carvedilol doses were also given late relative to the scheduled times. Additionally, this resident had an order for fosfomycin tromethamine “every 10 days in the evening…give with breakfast,” but the MAR scheduled it at 4:00 p.m., and there was no documentation in the EMR clarifying whether it should be given in the evening or with breakfast. During interview, the DON acknowledged the order was written in a confusing manner and would need clarification, and also recognized that the MAR did not show exact administration times, which could only be determined by running a separate report. Staff interviews further demonstrated inconsistent understanding and application of flex-time and dosing intervals. LPNs and an RN stated that AM flex time allowed administration between 6:00 and 11:00 a.m. and that for twice-daily or three-times-daily medications they would “spread out” doses as best they could, but they did not reference specific intervals or manufacturer guidelines. When asked how nurses would know the exact time a flex-time dose was given before administering the next scheduled dose, the DON initially stated it was documented on the MAR, then acknowledged that the MAR did not show exact times and that a separate report was needed. The survey report states that these failures to administer drugs and biologicals per physician orders and standards of nursing practice placed residents at risk for medication errors, unmet health care needs, and decreased quality of life.

Penalty

No penalty information released
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The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.

Resources

Below are regulatory guidelines relevant to this citation:

See other F0755 citations
Nebulizer Treatment Not Fully Supervised or Completed
D
F0755 F755: Provide pharmaceutical services to meet the needs of each resident and employ or obtain the services of a licensed pharmacist.
Short Summary

A resident with COPD, respiratory failure with hypoxia, and sleep apnea had nebulizer treatments documented as complete even though the nebulizer cup still contained medication during observations. Staff found the nebulizer left assembled on the resident’s end table, and an RN and LPN confirmed medication remained in the cup. A self-administration assessment stated the resident was not safe to self-administer inhalants without supervision, but the record was not updated to reflect that change, and the facility’s nebulizer policy required staff to remain with the resident and clean the equipment after use.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Controlled Substance Diversion, Tampering, and Use of Discontinued Narcotics
E
F0755 F755: Provide pharmaceutical services to meet the needs of each resident and employ or obtain the services of a licensed pharmacist.
Short Summary

The deficiency centers on multiple failures in controlled substance management, including diversion, tampering, and administration of discontinued narcotics. Discontinued Lorazepam, Oxycodone, and Hydrocodone/Acetaminophen remained in controlled substance boxes on med carts instead of being promptly returned to the pharmacy, leading to inaccurate narcotic counts and missing tablets. Several blister packs of Oxycodone and Hydrocodone/Acetaminophen were found taped or perforated, with tablets replaced by Metoprolol, Seroquel, Hydroxyzine, or lower-dose opioids, while declining count sheets and return logs documented that some pills "did not match." A nurse admitted administering Lorazepam and Oxycodone to residents without checking the eMAR, removing doses after the physician orders had been discontinued and without corresponding MAR entries. Staff interviews described discovering taped blister packs and non-matching pills during shift-change narcotic counts, and the DON and regional clinical leadership identified that discontinued controlled substances were not being removed from the carts and returned as required, allowing misappropriation and use of medications without active orders.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Failure to Properly Reconcile and Destroy Controlled Medications
D
F0755 F755: Provide pharmaceutical services to meet the needs of each resident and employ or obtain the services of a licensed pharmacist.
Short Summary

Failure to Properly Reconcile and Destroy Controlled Medications: The facility failed to ensure accurate and periodic reconciliation and proper disposal of controlled meds. The DON and Administrator found the double locked drawer for discontinued narcotics full, with the last documented destruction occurring months earlier and only one of six pages in the destruction log containing the required witness signature. The DON stated she had not conducted any narcotic destruction since her hire, and facility policy required disposal of controlled substances within 3 days of discontinuation with two witness signatures.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Medications Left Unattended at Bedside Without Observation
D
F0755 F755: Provide pharmaceutical services to meet the needs of each resident and employ or obtain the services of a licensed pharmacist.
Short Summary

The facility failed to follow safe medication administration practices by leaving medications unattended at the bedside and not directly observing residents taking them, even though no residents were authorized to self-administer. In multiple instances, an RN and an LPN placed cups of medications on bedside surfaces and left, or medications were found unattended, including for a cognitively intact hospice patient and a resident with ESRD, as well as a resident with severe recurrent MDD with psychotic features and a history of suicidal ideation. Staff acknowledged leaving medications at the bedside as a routine way to encourage ingestion, despite facility policies requiring medications to remain under direct observation during passes and prohibiting unauthorized bedside storage or self-administration.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Incomplete and Inaccurate Controlled Substance Accountability Records
E
F0755 F755: Provide pharmaceutical services to meet the needs of each resident and employ or obtain the services of a licensed pharmacist.
Short Summary

The facility failed to maintain complete and accurate records for controlled medications, including shipping manifests, Controlled Drug Records, and the Narcotic Take Back Log, for multiple residents. Staff described procedures for receiving, storing, transferring, and destroying narcotics, but record review showed missing nurse signatures, undated entries, and instances where a single nurse signed as both the nurse returning and the RN accepting discontinued controlled drugs. These documentation gaps involved various narcotic pain medications and conflicted with facility policies requiring detailed reconciliation of receipt, dispensing, and disposition of controlled substances, resulting in the potential for undetected loss and diversion.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.
Inaccurate MAR Documentation for Antihypertensive Medications with Parameter Orders
E
F0755 F755: Provide pharmaceutical services to meet the needs of each resident and employ or obtain the services of a licensed pharmacist.
Short Summary

The facility failed to maintain accurate clinical records for several residents receiving antihypertensive medications with specific BP and pulse parameters. For multiple residents with vascular dementia, CHF, hypertensive heart disease, and stroke history, the MARs showed blood pressure medications as administered even when recorded vital signs were below ordered hold parameters, and there were no corresponding nursing notes explaining the discrepancies. Staff interviews indicated that CMAs and LVNs report following parameters and sometimes mis-clicking in the electronic MAR, leading to incorrect documentation, while the DON acknowledged there was no process to verify whether medications were actually given or held when vitals were out of range, despite a policy requiring vital sign checks and holding medications per parameters.

No penalty information released
tooltip icon
The penalty, as released by CMS, applies to the entire inspection this citation is part of, covering all citations and f-tags issued, not just this specific f-tag. For the complete original report, please refer to the 'Details' section.

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