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Assisted Living

Cottages at Peoria

Families consistently rate this highly — reviewers highlight beautiful, home-like campus setting. Schedule a visit to confirm the fit.

9045 West Athens Street, Peoria, AZ 85382Licensed & Active
Google rating
4.1/5

based on 51 Google reviews

5
4
3
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1

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What this means for your family

The facility offers a beautiful environment and excellent activity programming that residents seem to enjoy. However, because there are recurring, serious allegations regarding management's professionalism and resident safety, you should prioritize observing staff-resident interactions and asking specifically about their protocols for injury prevention and staff training.

Google Reviews

Google Reviews

51 reviews analyzed
Families often praise the beautiful, home-like campus and the compassionate care provided by the frontline nursing and activities staff. However, there are significant, serious allegations regarding management's attitude and instances of physical mishandling of residents that should be investigated thoroughly during your visit.

Quality Themes

Tap a score for details
FoodN/AStaff6.0Clean9.0Activities9.0MedsN/AMemory7.0Comms7.0Value3.0

Strengths

  • Beautiful, home-like campus setting
  • Engaging activities and resident entertainment
  • Compassionate frontline care staff
  • Clean and well-maintained facilities

Concerns

  • Unprofessional or rude management behavior (mentioned by 4 reviewers)
  • Allegations of physical mishandling of residents (mentioned by 2 reviewers)
  • Inconsistent staffing or night staff quality (mentioned by 2 reviewers)

Rating Trends

Tap a year to see what changed

2343.22021(13)3.72022(6)5.02023(3)5.02024(2)3.82025(6)

Distribution

5
20
4
0
3
0
2
2
1
8

How They Respond to Reviews

100%response rate

This facility actively engages with reviewer feedback.

Questions for Your Tour

  • 1We love how much care you put into responding to everyone's feedback online; how does that culture of communication translate to how the management team interacts with families?
  • 2The campus looks so beautiful and home-like; what kind of resident entertainment and daily activities are planned to keep everyone engaged in this setting?
  • 3With the focus on compassionate frontline care, how do you ensure consistent quality of care and supervision during the overnight hours?
  • 4In the event of a medical emergency or a sudden change in health, what are the specific protocols for getting my loved one the help they need immediately?
  • 5Since the facility is so well-maintained and clean, what is your routine for ensuring the resident living areas stay comfortable and safe every day?
  • 6How do you approach training new staff members to ensure they uphold the high standards of physical care and resident dignity that this community is known for?

Personalized based on this facility's data


Key Review Excerpts

They take people of all stages-from being a little forgetful and Sun downing to hospice patients who can’t get out of bed. They have tortoises and Guinea pigs and lots of daily entertainment for the residents.

Memory care family member · 2022★★★★★

The staff and administration at Pacifica are phenomenal. Everyone at Pacifica that I knew all seemed to genuinely care about my dad. His special needs were provided for and the extra attention he required was tended to with compassion.

Long-term resident's family · 2021★★★★★

My mom had so many unexplained injuries at this facility. Lack of training and staff not experienced in Alzheimer's and memory care is a problem.

Former resident's family · 2021★★☆☆☆
Source: 51 Google reviews

State Inspection History

State Inspections

Source: AZ State Licensing Agency

10total
11deficiencies
Oct 24, 2025Routine

The following deficiencies were found during the on-site compliance inspection conducted on October 24, 2025:

Prohibited acts; required actsA.R.S. § 36-407.ACorrected Jan 1, 2026

Based on documentation review and interview, the facility exceeded the licensed capacity of residents as specified by the license issued by the Department. The deficient practice posed a risk to the health and safety of residents as the occupancy of the health care institution was outside the scope of the licensed assisted living facility subclass. Findings include: 1 . A review of facility documentation revealed a resident roster for October 24, 2025. The resident roster listed 99 current residents. 2 . A review of facility and Department documentation revealed the facility was licensed for a maximum occupancy of 98 residents. 3 . In an interview, E1 reported calling the Compliance Officer of the Day to clarify if the residents could reside together and the square footage required for two residents; however, E1 was unsure if any questions were raised about exceeding occupancy for a couple sharing a room. 4 . In an exit interview, the findings were discussed with E1 and no additional information was provided.

Environmental StandardsR9-10-820.A.11Corrected Jan 24, 2026

Based on observation and interview, the manager failed to ensure that toxic materials stored by the assisted living facility were inaccessible to residents. The deficient practice posed a risk to the physical health and safety of residents with access to the materials. Findings include: 1 . During an environmental inspection of the facility, the Compliance Officer observed an unattended cleaning cart located in the hallway of cottage 5. The following items were sitting on top of the cart: -A bottle of "Lysol" toilet bowl cleaner; -A can of "Ajax" bleach cleaner; and -A bottle of "Ecolab" glass cleaner. 2 . In an exit interview, the findings were discussed with E1 and no additional information was provided. 3. This is a repeat deficiency from the compliance/complaint inspection conducted October 7, 2024.

Jun 24, 2025Complaint
CleanReport

No deficiencies were found during the on-site investigation of complaints 00124129 and 00134227 conducted on June 24, 2025.

May 23, 2025Complaint

The following deficiencies were found during the on-site investigation of complaint 0132391 conducted on May 23, 2025.

AdministrationR9-10-803.A.9Corrected May 27, 2025

Based on record review, documentation review and interview, the manager failed to ensure that a personnel record for each employee or volunteer included documentation of compliance with the requirements in A.R.S. § 36-411(A). The deficient practice posed a risk as required information could not be verified for E3. Findings include: 1. A.R.S. § 36-411.C states: "C. Owners shall make documented, good faith efforts to: 2. Verify the current status of a person's fingerprint clearance card." 2. A review of E3’s personnel record, revealed that the employee was hired on October 10, 2022. 3. A review of the personnel document printed by the facility revealed that E3’s fingerprint clearance card was showing "In Process" status as pf October 6, 2022. 4. An online check by the Compliance Officer of the Arizona Department of Public Safety (DPS) web portal at https://psp.azdps.gov/services/cardStatusRequest revealed that E3’s fingerprint card was "Not Valid", verified on May 23, 2025. 5. A documentation review of the facility's employee schedule for April and May 2025, revealed that E3 was documented as working on May 18,13, 12, 11, 7, 6, 5, 4 and April 30, 29, 28, 27, and 23, 2025, without a valid fingerprint card. 6. In an interview, E1 acknowledged that the manager failed to ensure that the personnel record for E3 included documentation of compliance with the requirements in A.R.S. § 36-411(A)

Jan 7, 2025Complaint

An on-site investigation of complaint AZ00221049 was conducted on January 7, 2025, and the following deficiency was cited :

A manager shall ensure that a personnel record for each employee or volunteer:R9-10-806.C.1.c.vii

Based on record review, documentation review, and interview, the manager failed to ensure a personnel record for each employee included documentation of cardiopulmonary resuscitation (CPR) training, for two of three personnel records sampled. The deficient practice posed a risk if an employee was unable to meet a resident's needs during an emergency or an accident. Findings include: 1. A review of E2's and E3's personnel records revealed documentation of CPR training from NationalCPRFoundation. 2. A review of NationalCPRFoundation.com revealed a section under "FAQ" titled "Do you offer hands-on training?" The section stated, "No, we do not offer hands-on training." 3. In an interview, E1 reported E1 thought the CPR documents were acceptable based on guidance provided during Covid. 4. In an interview, E1 acknowledged E2's and E3's personnel record did not include documentation of CPR training which included a demonstration portion.

Dec 16, 2024Other
CleanReport

No deficiencies were found during the off-site modification for a name change from Pacifica Senior Living Peoria to Cottages at Peoria completed on December 16, 2024.

Oct 7, 2024Complaint

The following deficiencies were found during the on-site compliance inspection and investigation of complaint AZ00216866 conducted on October 7, 2024:

A manager shall ensure that a personnel record for each employee or volunteer:R9-10-806.C.1.c.ixCorrected Oct 16, 2024

Based on documentation review, record review, and interview, the manager failed to ensure a personnel record for each employee included documentation of compliance with the requirements in Arizona Revised Statutes (A.R.S.) \'a7 36-411(A), for one of four employees sampled. The deficient practice posed a risk if E4 was a danger to a vulnerable population. Findings include: 1. A.R.S. \'a7 36-411(A) states: "A. Except as provided in subsection F of this section, as a condition of licensure or continued licensure of a residential care institution, a nursing care institution or a home health agency and as a condition of employment in a residential care institution, a nursing care institution or a home health agency, employees and owners of residential care institutions, nursing care institutions or home health agencies, contracted persons of residential care institutions, nursing care institutions or home health agencies or volunteers of residential care institutions, nursing care institutions or home health agencies who provide medical services, nursing services, behavioral health services, health-related services, home health services or direct supportive services and who have not been subject to the fingerprinting requirements of a health professional's regulatory board pursuant to title 32 shall have valid fingerprint clearance cards that are issued pursuant to title 41, chapter 12, article 3.1 or shall apply for a fingerprint clearance card within twenty working days of employment or beginning volunteer work or contracted work." 2. A review of E4's personnel record revealed a fingerprint card which expired on February 6, 2024. An application for renewal of the fingerprint clearance card was located in the employee file. However, the application did not show up in process when looked up online, and documentation of a current valid fingerprint clearance card was not available for review at the time of inspection. 3. In an interview, E1 acknowledged E4's personnel record did not include documentation of compliance with the requirements in A.R.S. \'a7 36-411(A).

A manager shall not accept or retain an individual if:R9-10-807.C.1.aCorrected Oct 7, 2024

Based on record review and interview, the manager accepted an individual requiring continuous medical services, for three of eight residents sampled. The deficient practice posed a risk as an assisted living facility cannot provide continuous medical services. Findings include: 1. A review of R2's medical record revealed a document titled "Physician's Report (Arizona)." The document stated R2 required "continuous medical services" and "continuous nursing services". 2. A review of R3's medical record revealed a document titled "Physician's Report (Arizona)." The document stated R3 required "continuous medical services", "continuous nursing services" and "restraints". 3. A review of R4's medical record revealed a document titled "Physician's Report (Arizona)." The document stated R4 required "continuous medical services" and "continuous nursing services". 4. In an interview, E1 acknowledged R2, R3, and R4 had documentation reporting R2, R3, and R4 required continuous medical services.

A manager shall not accept or retain an individual if:R9-10-807.C.1.bCorrected Oct 7, 2024

Based on record review and interview, the manager accepted an individual requiring continuous nursing services, for three of eight residents sampled. The deficient practice posed a risk as an assisted living facility cannot provide continuous nursing services. Findings include: 1. A review of R2's medical record revealed a document titled "Physician's Report (Arizona)." The document stated R2 required "continuous medical services" and "continuous nursing services". 2. A review of R3's medical record revealed a document titled "Physician's Report (Arizona)." The document stated R3 required "continuous medical services", "continuous nursing services" and "restraints". 3. A review of R4's medical record revealed a document titled "Physician's Report (Arizona)." The document stated R4 required "continuous medical services" and "continuous nursing services". 4. In an interview, E1 acknowledged R2, R3, and R4 had documentation reporting R2, R3, and R4 required continuous medical services.

A manager shall ensure that:R9-10-819.A.11Corrected Oct 7, 2024

Based on observation and interview, the manager failed to ensure a toxic material stored by the facility was stored in a locked area and inaccessible to residents. The deficient practice posed a risk to the physical health and safety of residents with access to the materials. Findings include: 1. During the environmental inspection of the facility, the Compliance Officer observed bottles of "Ecolab" odor counteractant, multi-quat sanitizer, rapid multi surface disinfectant cleaner, "Renown" enzyme odor neutralizer and "Sysco" liquid pot and pan detergent in a cabinet underneath the kitchen sink in cottage 2. The cabinet was unlocked and was accessible to residents. 2. During the environmental inspection of the facility, the Compliance Officer observed bottles of "Ecolab" odor counteractant, multi-quat sanitizer, rapid multi surface disinfectant cleaner, and "Renown" enzyme odor neutralizer in a cabinet underneath the kitchen sink in cottage 3. The cabinet was unlocked and was accessible to residents. 3. In an interview, E1 acknowledged toxic materials stored by the facility were not stored in a locked area and inaccessible to residents.

Sep 23, 2024Complaint

An on-site investigation of complaint AZ00216416 and AZ00216293 was conducted on September 23, 2024, and the following deficiency was cited :

A governing authority shall:R9-10-803.A.9Corrected Oct 16, 2024

Based on documentation review, record review, and interview, the governing authority failed to ensure compliance with A.R.S. \'a7 36-411 for one of two sampled employees. The deficient practice posed a risk to a vulnerable population. Findings include: A.R.S. \'a7 36-411 states, "... as a condition of licensure or continued licensure of a residential care institution, a nursing care institution or a home health agency and as a condition of employment in a residential care institution, a nursing care institution or a home health agency, employees and owners of residential care institutions, nursing care institutions or home health agencies or contracted persons or volunteers who provide medical services, nursing services, behavioral health services, health-related services, home health services or supportive services and who have not been subject to the fingerprinting requirements of a health professional's regulatory board pursuant to title 32 shall have valid fingerprint clearance cards that are issued pursuant to title 41, chapter 12, article 3.1 or shall apply for a fingerprint clearance card within twenty working days of employment or beginning volunteer work... 3. "Supportive services" has the same meaning prescribed in section 36-151." 1. A review of E1's (hired in 2021) personnel record revealed a fingerprint clearance card with an expiration date of May 29, 2024. 2. A review of the Arizona Department of Public Safety fingerprint clearance card website, conducted on September 23, 2024 revealed E1's fingerprint clearance card was "Waiting on applicant fingerprints". 3. In an interview, E1 acknowledged E1's fingerprint card had expired and did not meet the requirements of A.R.S. \'a7 36-411.

May 28, 2024Complaint
CleanReport

An on-site investigation of complaint AZ00210808 was conducted on May 28, 2024, and no deficiencies were cited.

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References & Resources

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