Failure to Provide Required Bed-Hold Notice During Hospital Transfer
Summary
The deficiency involves the facility’s failure to provide a required written bed-hold notice to a resident who was transferred to the hospital. Federal regulations at 42 CFR 483.15(d)(1)-(2) require that, before a resident is transferred to a hospital or goes on therapeutic leave, the facility must provide written information specifying the duration of the state bed-hold policy, any reserve bed payment policy, the facility’s bed-hold policies, and related return information, and must again provide written notice at the time of transfer specifying the duration of the bed-hold policy. Surveyors reviewed the record of one resident who was sent to the hospital and found no documentation of a 3‑day bed-hold policy or bed reserve payment notice in the resident’s chart. Record review showed that on 01/28/2026 the resident’s physician office requested that the resident be sent to a named hospital for evaluation of the right hip. The facility contacted the hospital’s orthopedic floor, which stated they could not accept the resident without a direct admission. The facility then contacted the physician, who instructed staff to send the resident to the closest hospital for assessment of the right hip. A non-emergent transport company picked up the resident at 5:45 PM and transported the resident to the hospital emergency room for evaluation and treatment. The resident’s son was at the bedside and was documented as agreeable with the plan of care. A Nursing Home Transfer and Discharge Notice and a Hospital Transfer Form were completed, indicating the resident was sent to the hospital emergency room for evaluation and treatment. Despite the transfer documentation, the surveyors determined that the required bed-hold notice was not provided. During interview, the LPN/Medical Records staff member stated there was no 3‑day bed-hold policy or bed reserve payment notice for this resident in the paper chart and concluded it “must not have been done.” In a separate interview, the Director of Nursing explained that the floor nurse or unit manager is responsible for completing bed-hold forms when a resident leaves the facility and that, if family is present at the bedside, staff should have the family sign the bed-hold form. The absence of any such form or written bed-hold notice for this resident’s hospitalization led surveyors to cite noncompliance with the federal bed-hold notice requirements.
Penalty
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