See every facility — official ratings, family reviews, no referral fees.
Nursing HomeMedicaid Top Rated

Archstone Care Center

Strong Medicare quality ratings; families often praise helpful and responsive admissions team. Still worth an in-person visit.

1980 West Pecos Road, Chandler, AZ 85224120 bedsLicensed & Active
5/5
Medicare
Inspection
Quality
Staffing
Google rating
3.4/5

based on 34 Google reviews

5
4
3
2
1
Archstone Care Center Nursing Home in Chandler, AZ — Street View
Street View

Watch Archstone Care Center

Get an email when new inspections, ratings, or penalties are published for this facility.

We’ll only email you about this — no spam, unsubscribe anytime.

What this means for your family

Archstone Care Center is highly regarded for its admissions process and physical therapy team, making it a strong candidate for short-term rehab. However, families should conduct a thorough tour to personally inspect for cleanliness and odors, and ask management how they address concerns regarding food quality and staffing consistency.

Google Reviews

Google Reviews

34 reviews analyzed
Archstone Care Center receives polarized feedback, with many families praising the admissions team and nursing staff for their attentiveness and communication. However, significant concerns persist regarding facility hygiene, including reports of pests and odors, as well as inconsistent quality of food and staffing ratios.

Quality Themes

Tap a score for details
Food2.0Staff7.0Clean4.0Activities6.0Meds7.0MemoryN/AComms8.0ValueN/A

Strengths

  • Helpful and responsive admissions team
  • Effective physical therapy programs
  • Compassionate, attentive nursing staff
  • Proactive family communication

Concerns

  • Hygiene and sanitation issues (odors, pests) (mentioned by 4 reviewers)
  • Poor food quality and unappealing meals (mentioned by 2 reviewers)
  • Inconsistent staffing ratios and slow response times (mentioned by 3 reviewers)

Rating Trends

Tap a year to see what changed

234'11(1)'17(1)'19(4)'21(2)'23(1)'25(3)'26(3)

Distribution

5
18
4
3
3
0
2
1
1
9

How They Respond to Reviews

50%response rate

This facility responds to some reviews.

Questions for Your Tour

  • 1I noticed that your team is very active in responding to family feedback online; how do you incorporate that family input into your daily operational improvements?
  • 2With a 3-star staffing rating, could you walk me through how you manage shift transitions to ensure that residents receive timely assistance during peak hours?
  • 3Some families have mentioned concerns regarding facility cleanliness; what is your current protocol for housekeeping and pest control to ensure a comfortable living environment?
  • 4I understand that nutrition is a key part of recovery; could you tell me about the process for gathering resident feedback on meal quality and how you adjust the menu based on those preferences?
  • 5Given the importance of physical therapy here, how do you balance the therapy schedule with daily social activities to ensure residents stay engaged and active?
  • 6In the event of a medical emergency, what is your specific protocol for notifying family members and coordinating with local hospitals?

Personalized based on this facility's data


Key Review Excerpts

The staff, for the most part, are more than amazing, residents are just wonderful. 5 stars for them both, but they just cannot make up for the bad food.

Family member · 2019★★☆☆☆

I love this place they take care of my dad very well,they always feed him and they always give me a heads up about what’s going on with him they always review the care plan with me in person or over the phone

Long-term resident's family · 2024★★★★★

My father was here for 2 weeks on respite care while mom was out of town. They were SO kind and patient with him (he's not the easiest). One nurse would even come in and help him eat since he had vision issues.

Respite care family member · 2022★★★★★
Source: 34 Google reviews

Staffing

Staffing Hours

per resident/day · Medicare 2026
RN Hours
0.43hrs
58%
Registered nurses for medical care
Total Nursing
3.65hrs
89%
All nurses + aides combined
Staff Turnover
27%
Lower is better (< 30% = good)
RN Turnover
38%
Lower is better (< 30% = good)

Both RN and total nursing hours are below national benchmarks. This can mean less clinical attention per resident, so ask about their staffing plan.

Quality Measures

Quality Measures

Resident outcomes compared with national, state, and local averages · 17 measures

Medicare Rating
5/ 5
Better Than Avg

16

measures

Worse Than Avg

1

measures

Long-Stay Residents
🚶

Residents whose walking got worse

↓ Lower is better
This Facility1.8%
Better than Avg
Here
1.8%
US
15.3%
AZ
13.5%
Maricopa
11.5%
💊

Residents on anti-anxiety or sleep medication

↓ Lower is better
This Facility10.5%
Better than Avg
Here
10.5%
US
19.5%
AZ
20.6%
Maricopa
23.9%
🛏️

Residents needing more daily help over time

↓ Lower is better
This Facility1.4%
Better than Avg
Here
1.4%
US
14.4%
AZ
10.6%
Maricopa
8.6%
😔

Residents with depression symptoms

↓ Lower is better
This Facility0.0%
Better than Avg
Here
0.0%
US
12.1%
AZ
4.0%
Maricopa
4.1%
🚿

Residents whose bladder or bowel control got worse

↓ Lower is better
This Facility13.6%
Better than Avg
Here
13.6%
US
19.4%
AZ
20.5%
Maricopa
21.1%
💉

Residents vaccinated for pneumonia

↑ Higher is better
This Facility100.0%
Better than Avg
Here
100.0%
US
93.4%
AZ
97.0%
Maricopa
97.7%
Short-Stay Residents (Rehab / Post-Acute)
💉

Short-stay residents vaccinated for pneumonia

↑ Higher is better
This Facility99.8%
Better than Avg
Here
99.8%
US
81.8%
AZ
91.3%
Maricopa
93.5%
💉

Short-stay residents vaccinated for the flu

↑ Higher is better
This Facility93.4%
Better than Avg
Here
93.4%
US
79.7%
AZ
87.3%
Maricopa
89.3%
💊

Short-stay residents newly given antipsychotics

↓ Lower is better
This Facility0.0%
Better than Avg
Here
0.0%
US
1.6%
AZ
1.1%
Maricopa
1.2%
Source: Medicare quality measures

US average from Medicare published data

Inspection History

Medicare Inspection History

3-year lookback · Medicare 2026

3deficiencies
Well below state avg (7.6)
3 complaint-triggered

Families have filed complaints about treatment quality and accident prevention, with recent 2026 issues still lacking correction plans. This facility shows recurring problems in care planning, fire safety systems, and infection control across multiple surveys from 2021-2026. While most historical deficiencies were corrected, the pattern of repeated violations in core care areas and unresolved complaint-driven findings warrant careful consideration during visits.

Jan 16, 2026Routine
2
0761MinorCorrected

Pharmacy Service Deficiencies

Ensure drugs and biologicals used in the facility are labeled in accordance with currently accepted professional principles; and all drugs and biologicals must be stored in locked compartments, separately locked, compartments for controlled drugs.

0814MinorCorrected

Nutrition and Dietary Deficiencies

Dispose of garbage and refuse properly.

Jan 16, 2026Complaint
2
0684MinorCorrected

Quality of Life and Care Deficiencies

Provide appropriate treatment and care according to orders, resident’s preferences and goals.

0689MinorCorrected

Quality of Life and Care Deficiencies

Ensure that a nursing home area is free from accident hazards and provides adequate supervision to prevent accidents.

Oct 10, 2024Complaint
1
0689MinorCorrected

Quality of Life and Care Deficiencies

Ensure that a nursing home area is free from accident hazards and provides adequate supervision to prevent accidents.

Oct 13, 2023Routine
5
0324ModerateCorrected

Smoke Deficiencies

Provide properly protected cooking facilities.

0521ModerateCorrected

Services Deficiencies

Ensure heating and ventilation systems that have been properly installed according to the manufacturer's instructions.

0947MinorCorrected

Nursing and Physician Services Deficiencies

Ensure nurse aides have the skills they need to care for residents, and give nurse aides education in dementia care and abuse prevention.

0363MinorCorrected

Smoke Deficiencies

Install corridor and hallway doors that block smoke.

0947MinorCorrected

Nursing and Physician Services Deficiencies

Ensure nurse aides have the skills they need to care for residents, and give nurse aides education in dementia care and abuse prevention.

Aug 25, 2022Routine
17
0622MinorCorrected

Resident Rights Deficiencies

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.

0656MinorCorrected

Resident Assessment and Care Planning Deficiencies

Develop and implement a complete care plan that meets all the resident's needs, with timetables and actions that can be measured.

0761MinorCorrected

Pharmacy Service Deficiencies

Ensure drugs and biologicals used in the facility are labeled in accordance with currently accepted professional principles; and all drugs and biologicals must be stored in locked compartments, separately locked, compartments for controlled drugs.

0880MinorCorrected

Infection Control Deficiencies

Provide and implement an infection prevention and control program.

0886MinorCorrected

Infection Control Deficiencies

Perform COVID19 testing on residents and staff.

0925MinorCorrected

Environmental Deficiencies

Make sure there is a pest control program to prevent/deal with mice, insects, or other pests.

0131MinorCorrected

Construction Deficiencies

Meet requirements for sections of health care facilities separated by fire resistive construction.

0343MinorCorrected

Smoke Deficiencies

Have a fire alarm with audible and visual signals that transmits the alarm automatically to notify emergency forces in event of fire.

0353MinorCorrected

Smoke Deficiencies

Inspect, test, and maintain automatic sprinkler systems.

0761MinorCorrected

Miscellaneous Deficiencies

To conduct inspection, testing and maintenance of fire doors by qualified individuals.

0916MinorCorrected

Gas, Vacuum, and Electrical Systems Deficiencies

Have a battery powered remote alarm panel in a location accessible by operating personnel.

0622MinorCorrected

Resident Rights Deficiencies

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.

0656MinorCorrected

Resident Assessment and Care Planning Deficiencies

Develop and implement a complete care plan that meets all the resident's needs, with timetables and actions that can be measured.

0761MinorCorrected

Pharmacy Service Deficiencies

Ensure drugs and biologicals used in the facility are labeled in accordance with currently accepted professional principles; and all drugs and biologicals must be stored in locked compartments, separately locked, compartments for controlled drugs.

0880MinorCorrected

Infection Control Deficiencies

Provide and implement an infection prevention and control program.

0886MinorCorrected

Infection Control Deficiencies

Perform COVID19 testing on residents and staff.

0925MinorCorrected

Environmental Deficiencies

Make sure there is a pest control program to prevent/deal with mice, insects, or other pests.

Mar 4, 2021Routine
12
0342ModerateCorrected

Smoke Deficiencies

Have a complete alarm system manually initiated and initiated by fire sprinkler system connection.

0712ModerateCorrected

Miscellaneous Deficiencies

Have simulated fire drills held at unexpected times.

0552ModerateCorrected

Resident Rights Deficiencies

Ensure that residents are fully informed and understand their health status, care and treatments.

0657ModerateCorrected

Resident Assessment and Care Planning Deficiencies

Develop the complete care plan within 7 days of the comprehensive assessment; and prepared, reviewed, and revised by a team of health professionals.

0880ModerateCorrected

Infection Control Deficiencies

Provide and implement an infection prevention and control program.

0584MinorCorrected

Resident Rights Deficiencies

Honor the resident's right to a safe, clean, comfortable and homelike environment, including but not limited to receiving treatment and supports for daily living safely.

0656MinorCorrected

Resident Assessment and Care Planning Deficiencies

Develop and implement a complete care plan that meets all the resident's needs, with timetables and actions that can be measured.

0676MinorCorrected

Quality of Life and Care Deficiencies

Ensure residents do not lose the ability to perform activities of daily living unless there is a medical reason.

0686MinorCorrected

Quality of Life and Care Deficiencies

Provide appropriate pressure ulcer care and prevent new ulcers from developing.

0695MinorCorrected

Quality of Life and Care Deficiencies

Provide safe and appropriate respiratory care for a resident when needed.

0511MinorCorrected

Services Deficiencies

Have properly installed electrical wiring and gas equipment.

0920MinorCorrected

Gas, Vacuum, and Electrical Systems Deficiencies

Ensure proper usage of power strips and extension cords.

State Inspection History

State Inspections

Source: AZ State Licensing Agency

8total
8deficiencies
Oct 21, 2025Complaint
CleanReport

The Risk-Based complaint survey was conducted on October 21, 2025, for investigation of intakes # AZ00155820 (2277970), AZ00159957 (2277975), AZ00160460 (2277978), AZ00162260 (2277981), AZ00163563 (2277985), AZ00163625 (2277987), AZ00167538 (2277933), AZ00173616 (2277995), AZ00176112 (2277997), AZ00177770 (2278000), AZ00178249 (2278001), AZ00180552 (2278005). There was no deficiencies were cited.

Jun 18, 2025Complaint
CleanReport

The complaint investigation was conducted on June 18, 2025 through June 19, 2025, with investigation of complaints: 00134014. There were no deficiencies cited.

May 14, 2025Complaint
CleanReport

The complaint investigation was conducted on May 14, 2025, with investigation of complaints: AZ00224501 and SF00130547. There were no deficiencies cited.

Feb 4, 2025Complaint
CleanReport

A complaint survey was conducted on February 4, 2025 through February 4, 2025 of intakes # AZ00222013, AZ00221885, There were no deficiencies cited.

Oct 9, 2024Complaint

A complaint survey was conducted on October 10, 2024 for the investigation of intake #AZ00217078. The following deficiencies were cited

An administrator shall ensure that a care plan for a resident:R9-10-414.B.3.b.Corrected Nov 22, 2024

Based on documentation, staff and resident interviews, and policy and procedures the facility failed to ensure that one resident (#1) received adequate supervision and care, during perineal care, to prevent accidents. Findings include: Resident #1 was most recently admitted on December 14, 2023 with diagnosis including: encephalopathy, extended spectrum beta lactamase resistance, unspecified fracture of the right ilium, subsequent encounter for fracture with routine healing, acute kidney failure, anemia in chronic kidney disease, acute embolism and thrombosis of unspecified deep veins of right lower extremity, type 2 diabetes, non-pressure chronic ulcer of other part of right lower leg with unspecified severity, muscle weakness, need for assistance with personal care, polyneuropathy, pressure ulcers of left heel-unstageable, chronic pain syndrome, retention of urine, chronic kidney disease stage 2, poly-osteoarthritis, essential hypertension, diastolic congestive heart failure, and morbid obesity. It was noted that the resident was discharged to the hospital on January 04, 2024. A review of the admission MDS (minimum data set) dated December 20, 2023 revealed a BIMS (brief interview of mental status) score of 10, indicating moderate cognitive impairment. The MDS further revealed that the resident had no noted behaviors, was totally dependent for toileting needs and personal hygiene. It was further noted that the resident had falls in the last 2-6 months prior to admission. A review of the care plan revealed a focus area for falls initiated on September 27, 2023, noting that the resident was at risk for falls. Interventions included to anticipate and meet the resident's needs, placing the call light within reach and educating on use thereof and safety, encouraging good footwear usage, following facility fall protocol and reviewing past falls to determine root cause. The care plan noted to assist with ADL's (activities of daily living) as needed but did not specify a 2-person assist. A review of the facility's fall assessment dated January 4. 2024 revealed that the resident was a moderate fall risk. It further noted that the bed was placed in the lowest position, that call light and water were in place and within reach. A review of the progress notes revealed that the resident had a witnessed fall on January 4, 2024. A, post fall, nursing assessment revealed no outwardly noted injuries and that the appropriate notifications transpired. The incident note in the progress notes further stated that that the CNA (certified nursing assistant) was performing peri care on the resident and proceeded to turn the resident to the left when the resident rolled out of bed and landed on her knees. It was noted that the resident did not hit her head and had been assessed for injuries. Notes stated that the resident was alert and oriented. It was documented that the physician and POA (power of attorney) were notified and that x-rays had been ordered. However, x-ray

Oct 19, 2023Complaint
CleanReport

The investigation of complaint AZ00187919 and AZ00187737 was conducted on October 19, 2023, There were no deficiencies found.

Oct 10, 2023Complaint

The Recertification survey was conducted October 10, 2023 through October 13, 2023, in conjunction with the investigation of Complaints AZ00185362, AZ00185413, AZ00185414 AZ00187549, AZ00187610, AZ00187612, AZ001877702, AZ00187704, AZ00188894, AZ00188895, AZ00190597, AZ00190638, AZ00190639, AZ00191429, AZ00191431, AZ00193866, AZ00193867, AZ00198013, AZ00198015, AZ00198116. The census was 81. The following deficiencies were cited:

An administrator shall ensure that:R9-10-403.C.1.a.Corrected Dec 11, 2023

Based on personnel record reviews, staff interviews, and policy and procedures, the facility failed to ensure that one out of two Certified Nursing Assistants, (CNA/#106), sampled received in-services and training for at least 12 hours per year. The deficient practice failed to ensure the continuing competence of the CNA. Based on personnel record reviews, staff interviews, and policy and procedures, the facility failed to ensure that one out of two Registered Nurses (RN/#33) sampled received in-services and training for at least 12 hours per year. The deficient practice failed to ensure the continuing competence of the RN. Findings include: Review of the personnel file for CNA, (staff #106), revealed a hire date of October 11, 2022. Further review of the training from October 2022 to October 2023, revealed no evidence of in-service training for Communication and Dementia. The review did reveal completed in-service training for Abuse and Neglect and Resident Rights. Review of the personnel file for RN, (staff #33), revealed a hire date of October 7, 2022. Further review of the training from October 2022 to October 2023 revealed no training had been completed. An interview was conducted on October 12, 2023 at 09:35 AM, with Director of Nursing, (DON staff #12). He stated that orientation and training for skills is provided upon hire. He also stated that in-services are provided monthly at staff meetings and that CNA (staff #106), did not have documentation that dementia training was completed since hire date. He did provide an in-service sign in sheet dated February 12, 2023, with CNA (staff #106) signature, but the in-service was for Abuse, Neglect, Misappropriation of Property, Elder Justice and Resident Rights. He stated he did not have documentation for any dementia in-service training for her. An interview was conducted on October 12, 2023 with DON (staff #12). He stated an employee audit revealed RN (staff #33), had not completed training, TB testing or fingerprint clearance. He stated he had a phone conversation with her on October 11, 2023. He stated she refused to obtain her fingerprint clearance card. As a direct result of this refusal, her employment was terminated on October 11, 2023. Review of the facility's Sufficient and Competent Nurse Staffing revealed licensed nurses and nursing assistants are trained and monitored by nursing leadership to ensure programming for staff training results in nursing competency and gaps in education are identified and addressed. Skills in the following areas but not limited to: Resident Rights, Behavioral Health, Psychosocial Care, Dementia Care, Person Centered Care, Communication, Basic Nursing Skills, Basic Restorative Services, Skin and Wound Care, Medication Management, Pain Management, Infection Control, Identification of Changes in Condition, and Cultural Competency.

An administrator shall ensure that a personnel member or an employee or volunteer who has or is expected to have direct interaction with a resident for more than eight hours a week provides evidence oR9-10-406.E.2.Corrected Dec 11, 2023

Based on personnel record review, staff interviews, and policy review, the facility failed to provide evidence that two employees (staff #119 and staff #83) were free from infectious tuberculosis (TB). Findings include: Review of the personnel record for Licensed Practical Nurse (LPN/staff #119), on October 12, 2023, revealed a hire date of September 4, 2023. Review of the file did not include verification that the LPN had been screened and deemed free from infectious TB. Review of the file further showed that that the LPN was scheduled to have her screening done on October 12, 2023. Review of the personnel record for LPN (staff #83), on October 12, 2023, revealed a hire date of November 15,2018. Review of the file did not include verification that the LPN had been screened and deemed free from infectious TB. Review of the file further showed that the LPN was scheduled to have her screening done on October 10, 2023. An interview with Director of Nursing, (DON staff #12), was conducted on October 12, 2023 at 09:35 AM. He stated he is aware of the regulation that new employees need to have a baseline TB/two step test done, and an annual questionnaire. Previous to the change in January 2023, the facility's policy was to have the two step test completed before start date. However, he cannot explain why LPN (staff #119), had not had her testing completed previously. He also stated staff #119 is scheduled to have a blood draw on October 12, 2023. An interview was conducted with DON (staff #12) on October 12, 2023, He stated that LPN (staff #83) had stated she needs a chest x-ray for her TB screening. He knows she had an x-ray in the 1970's, but can't explain why other x-rays have not been completed. He stated they had scheduled her for a blood draw on October 10, 2023.

An administrator shall ensure that a personnel record is maintained for each personnel member, employee, volunteer, or student that includes:R9-10-406.F.3.c.Corrected Dec 11, 2023

Based on employee personnel record review, staff interviews, and policy and procedures, the administrator failed to ensure that documentation of a fingerprint clearance card was maintained in the personnel record for two employees (staff #33 and staff # 106). Findings include: Review of the personnel file for a Registered Nurse, (RN staff # 33), revealed a hire date of October 7, 2022. Further review of the personnel file revealed no evidence of fingerprint clearance card. Review of the personnel file for a Certified Nursing Assistant, (CNA staff #106), revealed a hire date of October 11, 2022. Further review of the personnel file revealed no evidence of fingerprint clearance card. An interview was conducted on October 12, 2023, with Director of Nursing, (DON staff #12). He stated that staff who have direct contact with residents are required to have a fingerprint clearance. He stated that RN (staff #33) required a fingerprint clearance in her current position and she had refused. He stated that RN (staff #33) had been terminated on October 11, 2023 for refusal to complete fingerprint clearance. He stated regarding CNA (staff #106), he did not know why she did not have a fingerprint clearance card. He stated she loses things easily, so that could be the reason why, but he would follow up with her. The facility's policy, Background Screening Investigations, revised March 2019, stated the Director of Personnel, or other designee, will conduct background checks, reference checks and criminal conviction checks (including fingerprinting as may be required by state law) on all potential direct access employees and contractors. Background and criminal checks are initiated within two days of an offer of employment or contract agreement, and completed prior to employment.

95(g) Required in-service training for nurse aides.483.95(g)(1)-(4)Corrected Dec 11, 2023

Based on personnel record reviews, staff interviews, and policy and procedures, the facility failed to ensure that one out of two Certified Nursing Assistants, (CNA/#106), sampled received in-services and training for at least 12 hours per year. The deficient practice failed to ensure the continuing competence of the CNA. Based on personnel record reviews, staff interviews, and policy and procedures, the facility failed to ensure that one out of two Registered Nurses (RN/#33) sampled received in-services and training for at least 12 hours per year. The deficient practice failed to ensure the continuing competence of the RN. Findings include: Review of the personnel file for CNA, (staff #106), revealed a hire date of October 11, 2022. Further review of the training from October 2022 to October 2023, revealed no evidence of in-service training for Communication and Dementia. The review did reveal completed in-service training for Abuse and Neglect and Resident Rights. Review of the personnel file for RN, (staff #33), revealed a hire date of October 7, 2022. Further review of the training from October 2022 to October 2023 revealed no training had been completed. An interview was conducted on October 12, 2023 at 09:35 AM, with Director of Nursing, (DON staff #12). He stated that orientation and training for skills is provided upon hire. He also stated that in-services are provided monthly at staff meetings and that CNA (staff #106), did not have documentation that dementia training was completed since hire date. He did provide an in-service sign in sheet dated February 12, 2023, with CNA (staff #106) signature, but the in-service was for Abuse, Neglect, Misappropriation of Property, Elder Justice and Resident Rights. He stated he did not have documentation for any dementia in-service training for her. An interview was conducted on October 12, 2023 with DON (staff #12). He stated an employee audit revealed RN (staff #33), had not completed training, TB testing or fingerprint clearance. He stated he had a phone conversation with her on October 11, 2023. He stated she refused to obtain her fingerprint clearance card. As a direct result of this refusal, her employment was terminated on October 11, 2023. Review of the facility's Sufficient and Competent Nurse Staffing revealed licensed nurses and nursing assistants are trained and monitored by nursing leadership to ensure programming for staff training results in nursing competency and gaps in education are identified and addressed. Skills in the following areas but not limited to: Resident Rights, Behavioral Health, Psychosocial Care, Dementia Care, Person Centered Care, Communication, Basic Nursing Skills, Basic Restorative Services, Skin and Wound Care, Medication Management, Pain Management, Infection Control, Identification of Changes in Condition, and Cultural Competency.

Oct 9, 2023Other

42 CFR 482.41 Nursing Home The facility must meet the applicable provisions of the 2012 Edition of the Life Safety Code of the National Fire Protection Association This is a recertification survey for Medicare under LSC 2012, Chapter 19, Existing. The entire facility was surveyed on October 18, 2023. The facility meets the standards, based on acceptance of a plan of correction.

NFPA 101Corrected Dec 14, 2023

Based on observation and staff interview the facility failed to have a kitchen hood system and a fire suppression system for a deep fat fryer in the kitchen, in accordance with NFPA 96. Failing to install a kitchen hood system increases the build-up of grease and could provide fuel for a fire. A fire in the kitchen has potential to harm the patients and/or staff. NFPA 101 Life Safety Code, 2012 Edition, Chapter 19, Section 19.3.2.5, "Cooking Facilities." "Cooking facilities shall be protected in accordance with 9.2.3." Section 9.2.3, "Commercial Cooking Equipment" "Commercial cooking equipment shall be in accordance with NFPA 96, Standard for Ventilation Control and Fire Protection of Commercial Cooking Operations.... "Chapter 4, Section 4.1.1 "Cooking equipment used in processes producing smoke or grease-laden vapors shall be equipped with an exhaust system that complies with all the equipment and performance requirements of this standard." Section 4.1.2 "All such equipment and its performance shall be maintained in accordance with the requirements of this standard during all periods of operation of the cooking equipment." Chapter 10, Section 10.1.2 "Cooking equipment that produces grease-laden vapors and that might be a source of ignition of grease in the hood, grease removal device, or duct shall be protected by fire extinguishing equipment." Observations made while on tour on October 18, 2023, revealed a deep fat fryer on a table in the kitchen. The deep fat fryer was not under the commercial kitchen hood and was not protected by a suppression system. During the exit conference on October 18, 2023, the above findings were acknowledged by the management staff.

NFPA 101Corrected Dec 14, 2023

Based on observation the facility failed to maintain rated fire doors in the building. Failing to maintain doors in the facility could allow heat and/or smoke to transfer which will cause harm to the patients and/or staff. NFPA 101, Life Safety Code, 2012 edition, Chapter 8, Section 8.3.3.1 Fire Doors and Windows, "Openings required to have a fire protection rating by Table 8.3.4.2 shall be protected by approved, listed, labeled fire door assemblies and fire window assemblies and their accompanying hardware, including all frames, closing devices, anchorage, and sills in accordance with the requirements of NFPA 80, Standard for Fire Doors and Other Opening Protectives, except as otherwise specified in this Code." NFPA 80, Fire Doors and Other Opening Protectives Section 5.1.5 Repairs and Field Modifications. 5.1.5.1 Repairs shall be made, and defects that could interfere with operation shall be corrected without delay. Section 5.1.5.2.1, "In cases where a field modification to a fire door or a fire door assembly is desired, the laboratory with which the product or component being modified is listed shall be contacted and a description of the modifications shall be presented to that laboratory." Section 5.1.5.2.2 "If the laboratory finds that the modifications will not compromise the integrity and fire resistance capabilities of the assembly, the modifications shall be permitted to be authorized by the laboratory with a field visit from the laboratory." Findings include: Observations made while on tour on October 18, 2023, revealed the following; 1) the rated fire door identified as "House Keeping, Dietary, Maintenance" for the service hall had been damaged and had a field repair bottom hinge. The door had other damaged areas on it 2) the rated fire door in the corridor near the beauty salon was missing the latching hardware on one of the leafs During the exit conference conducted on October 18, 2023, the above findings were again acknowledged by the management team.

NFPA 101Corrected Dec 14, 2023

Based on interview and record review the facility failed to inspect and maintain the facilities smoke dampers or fusible links. Failing to inspect and maintain the facility smoke dampers may cause harm to the residents and/or staff during an emergency. NFPA 101 Life Safety Code, 2012 Edition Chapter 21, section 21.5.2.1 "Heating, ventilating and air conditioning shall comply with the provisions of section 9.2 and shall be installed in accordance with the manufacture's specifications" Section 9.2.1 " Air Conditioning, Heating, Ventilating, Ductwork, and Related Equipment." Air conditioning, heating, ventilating ductwork, and related equipment shall be in accordance with NFPA 90 A." "Standard for Installation of Air Conditioning and Ventilating Systems, NFPA 105 Standard for Smoke Door Assemblies and Other Opening Protective's. NFPA 90 A 2012 Edition Section 5.4.8 Maintenance Section 5.4.8.1 Fire dampers and ceiling dampers shall be maintained in accordance with NFPA 80 Standard for Fire Doors and Other opening Protective's. Section 5.4.8.2 Smoke dampers shall be maintained in accordance with NFPA 105 Standard for Smoke Door Assemblies and Other Opening Protective's. NFPA 80 Standard for Fire Doors and Other opening Protective's Chapter 19 Installation, Testing, and Maintenance of Fire Dampers, Section 19.4* Periodic Inspection and Testing The test and inspection frequency shall be every 4 years, except in hospitals, where the frequency shall be every six years. Section 19.4.4 if the damper is equipped with a fusible link, the link shall be removed for testing to ensure full closure and lock-in place if so equipped. Section 19.4.5 The operational test of the fire damper shall verify that there is no damper interference due to rusted, bent, misaligned, or damaged frame or blades, or defective hinges or other moving parts. Section 19.4.6 The damper frame shall not b penetrated by any foreign objects that would effect fire damper operations. Section 19.4.7 The fusible link shall be reinstalled after testing is complete. Section 19.4.8.1 if the link is damaged or painted, it shall be replaced with a link of the same size, temperature and rating. Section 19.4.9 All inspections and testing shall be documented, indicating the location of the fire damper or combination fire/smoke damper, date of inspection, name of inspector, and deficiencies discovered. Section 19.4.9.1 The documentation shall have a space to indicate when and how the deficiencies were corrected. Section 19.4.11 Periodic inspections and testing of a combination fire/smoke damper shall also meet the inspection and testing requirements contained in Chapter 6 of NFPA 105 Standard for Smoke Door Assemblies and Other Opening Protective's. NFPA 105 Standard for Smoke Door Assemblies and Other Opening Protective's Chapter 6 Installation, Testing and Maintenance smoke dampers. Section 6.5.2 Each damper shall be tested and inspected one year after installation. The test and inspection frequency sh

Ownership & Operations

Who Operates This Facility

Owner / Operator

Archstone Care Center

Organization Type

for profit

Ownership & Management

Owners

Beh Properties INC

Owner · Organization

8%

Hazelbaker, Ralph

Owner

92%

Hazelbaker, Billie

Owner (parent company)

8%

Key personnel

Bok Financial CORP5% or Greater Mortgage InterestBok Financial CORP5% or Greater Security InterestDunlap, AllenW-2 Managing EmployeeDunlap, AllenOfficer / DirectorSouthwestern Care Facilities Services CORPManager
Source: Medicare provider data

Contact

Get in Touch

Contact this facility directly and verify the details that matter most to your family.

References & Resources

EveryPlace is a research directory. Facility information is compiled from public sources — Medicare.gov, state licensing portals, Google Places, and publicly available street-level imagery. Listings do not constitute endorsement, recommendation, or advertisement, and we do not accept payment for placement. Families should verify all details directly with the facility and the original sources linked above before making any care decisions. See our Research Policy for our editorial standards, correction process, and image-removal policy.

Nearby Alternatives

Call