The Montecito Senior Living
Families consistently rate this highly — reviewers highlight beautiful, resort-style grounds and amenities. Schedule a visit to confirm the fit.
based on 89 Google reviews
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What this means for your family
The Montecito offers a beautiful, resort-like environment with excellent dining and activity options that can greatly enhance a senior's quality of life. While the care staff is generally highly regarded, families should be prepared for premium pricing and should proactively communicate any concerns to management to ensure they are addressed promptly.
Google Reviews
Google Reviews
89 reviews analyzed“The Montecito Senior Living is widely praised for its beautiful, resort-like grounds, high-quality amenities, and a professional, caring staff. While many families feel peace of mind regarding care and safety, some reviewers have noted concerns regarding high pricing and occasional instances of dismissive attitudes from specific service staff.”
Quality Themes
Tap a score for detailsStrengths
- Beautiful, resort-style grounds and amenities
- Professional and attentive care staff
- Clean and well-maintained facilities
- Robust activity calendar and social engagement
Concerns
- High cost of living/pricing (mentioned by 2 reviewers)
- Occasional dismissive or unhelpful staff behavior (mentioned by 2 reviewers)
Rating Trends
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Distribution
How They Respond to Reviews
This facility actively engages with reviewer feedback.
Questions for Your Tour
- 1It is wonderful to see how much care you put into responding to feedback from families; how does that culture of communication extend to the daily care of the residents?
- 2The grounds here look like a beautiful resort; how do the residents typically enjoy the outdoor amenities during the week?
- 3With such a robust activity calendar, how do you ensure that even quieter residents find meaningful ways to engage with the community?
- 4We want to make sure we understand the full scope of the monthly costs; could you walk us through what is included in the pricing to ensure we are getting the best value for the care provided?
- 5In the event of a medical emergency or a change in health needs during the night, what is the specific protocol for notifying the family and providing care?
- 6We noticed the facility is exceptionally clean and well-maintained; what kind of daily upkeep schedule is in place to keep the common areas looking this nice?
Personalized based on this facility's data
Key Review Excerpts
“My husband was admitted recently to Memory Care at Montecito Senior Living. The staff and the menagement are very friendly and professional. It's very hard time for my husband and myself but I feel very good about the place knowing he is in good hands.”
“This didn’t feel like a Senior Living Community. It felt more like Resort Living with all the amenities from Private Restaurants, large patios off the Living space and a Robust Activity Calendar.”
“The facility is nice but your loved ones will never get the care they deserve or are being paid to preform. Your concerns will be dismissed.”
State Inspection History
State Inspections
Source: AZ State Licensing Agency
Jan 2, 2026ComplaintCleanReport
No deficiencies were found during the on-site investigation of complaints 00154646 and 00154632 conducted on January 2, 2026.
Nov 14, 2025ComplaintCleanReport
No deficiencies were found during the on-site investigation of complaint 00150486 conducted on November 14, 2025.
Oct 9, 2025Complaint
The following deficiencies were found during the on-site investigation of complaint 00145551 conducted on October 09, 2025:
Based on documentation review, record review, and interview, the governing authority failed to ensure the health, safety, or welfare of a resident was not placed at risk of harm. The deficient practice posed a risk as the facility was unable to meet a resident's needs, which resulted in harm. Findings include: 1. A review of facility documentation revealed a facility investigation report. The report stated, "On the evening of September 10, 2025, between 7:00–8:00 PM, [R2] experienced a fall. Med Tech [E3], on duty at the time, assisted [R2] to the couch. It was reported to [E3] that [R2] was in pain; however, no treatment was provided, and no communication regarding the fall or [R2's] pain was passed on to the night shift. [E2] , the night shift Med Tech, was unaware of the fall but did assess [R2] when [R2] later expressed pain. [E2] administered a PRN dose of lorazepam, which helped [R2] sleep temporarily. Around 4:00 AM, [R2] awoke again complaining of continued pain. [E2] comforted [R2] but did not notify the on-call physician or the Health Services Director. When [E4] arrived for the AM shift, [E4] promptly assessed the situation, called 911, and [R2] was transported to the ER early on September 11. [R2] is currently receiving care outside the community and has been diagnosed with a fracture... A meeting with [R3] was held on September 15 at 4:00 PM to provide clarification about [R2's] condition overnight and to review what had occurred. It was determined that [E3] was aware of [R2's] pain following [R2's] fall but failed to report it to the next shift..." 2. A review of facility policies and procedures revealed a policy titled "C15 Falls," the policy stated, "2. If a resident falls, Resident Care Associates are instructed to summon immediate assistance from the Health & Wellness Director or Med Aide/Tech on duty. a. Resident Care Associates will not move the resident, except to protect against further injury, as in the case of a dangerous environment. b. The Health & Wellness Director or Med Aide/Tech will perform a brief overview and inspection for head injury, bleeding, or obvious deformities. c. The Health & Wellness Director or Med Aide/Tech checks for range of motion ability. 3. The Health & Wellness Director or Resident Care Associates will call Emergency Medical Services (911) when: a. The resident has trauma resulting in deformity, exhibits any change in level of consciousness, or received obvious head or significant trauma. b. If the resident is on anticoagulants and there is a question of head trauma." 3. A review of E3's personnel record revealed a document titled "Progressive coaching" dated September 10, 2025. The document stated, "Reason for notice - Policy violation: Failure to report and record proper pain assessment according to the policy and procedure of falls/Pain." A further review revealed E3 was placed on a three-day suspension and, following the conclusion of the investigation, will also be terminated. 4. A review o
Based on record review and interview, the manager failed to ensure that, before providing assisted living services to a resident, a caregiver provided current documentation of valid cardiopulmonary resuscitation (CPR) training certification specific to adults for one of two personnel sampled. The deficient practice posed a risk if an employee was unable to meet a resident's needs during an emergency. Findings include: 1. A review of E3’s personnel record revealed that E3 was hired as a caregiver in November 2024 and provided physical health services to residents at the facility. The record included a CPR and first aid training certification from "AMERICAN HEALTH CARE ACADEMY, American CPR Care Association" dated November 05, 2024, and valid until November 05, 2026. However, the training certificate stated that "Internet based activity..." the CPR was online only and did not include a demonstration of the employee's ability to perform CPR. Therefore, valid documentation of current CPR certification for E3 could not be verified from the date of hire to the present. 2. A review of the website "cprcare.com" revealed the following: "American CPR Care Association Offers Internationally and nationally recognized online courses for Adult, Child, and Infant CPR certification of high quality, suitable for schools, communities, and workplaces..." 3. In a telephonic interview, a representative from the American CPR Care Association reported that the CPR course was conducted online only. 4. In an interview, E1 acknowledged E3's CPR was completed online and did not include a demonstration of E3's ability to perform CPR.
Sep 15, 2025Complaint
The following deficiencies were found during the on-site investigation of complaint 00143047 conducted on September 15, 2025:
Based on documentation review, record review, and interview, the manager failed to ensure that an assisted living center maintained a copy of the document provided to the emergency responders and documentation of the actions required for a period of two years after the date of the emergency. The deficient practice posed a risk if the emergency responder was not aware of critical health information for the resident. Findings include: 1. A.R.S. § 36-420.04.A.1-9 states, “Emergency responders; patient information; hospitals; discharge planning; patient screenings; discharge document A. An assisted living center or assisted living home that contacts an emergency responder on behalf of a resident shall provide to the emergency responder a written document that includes all of the following: (...).” 2. A review of R1’s medical record revealed no copies of the packet given to Emergency Services (EMS) for the incident on August 29, 2025, at 1:00 pm. 3. In an interview, E3 reported that the staff did complete a packet for EMS but forgot to save a copy. 4. In an exit interview, the findings were reviewed with E3 and E4, and no additional information was provided.
Based on record review, documentation review, and interview, the manager failed to ensure that when a resident had an incident resulting in the resident needing medical services, a caregiver immediately notified the resident's primary care provider, for one of one resident. The deficient practice posed a health and safety risk. Findings include: 1. A review of R1’s medical record revealed the following: A progress note for August 29, 2025, at 1:00 pm stated, “Resident finished lunch in the dining area, when [R1] asked staff if [R1] could go lay down in her room. Caregiver was walking resident to [R1's] room with a chair behind [R1] for safety precautions due to new onset of weakness. Resident sat down in the chair and began to have seizure like activity, became unresponsive with shallow breathing, an shortly after lifesaving measures were started. Paramedics and POA were contacted. Once paramedics arrived on scene they took over lifesaving measures and resident was transported to Arrowhead hospital where [R1] was later pronounced deceased.” There was no documentation that the physician was notified of the August 29, 2025, incident at 1:00 pm. 2. A review of the facility’s policies and procedures revealed a policy titled “Incident Reports.” The policy stated, “Incidents are immediately reported to the resident’s family/responsible party and physician.” 3. In an interview, E3 reported not being aware whether the staff contacted R1’s physician after the incident. 4. In an exit interview, the findings were reviewed with E3 and E4, and no additional information was provided.
Based on record review, documentation review, and interview, the manager failed to ensure when a resident had an incident resulting in the resident needing medical services, a caregiver documented the date and time of the incident; a description of the incident; the names of individuals who observed the incident; the action taken by the caregiver; the individuals notified by the caregiver; and any action taken to prevent the incident from occurring in the future, for one of one resident. The deficient practice posed a health and safety risk. Findings include: 1. A review of R1’s medical record revealed the following: An incident report for August 29, 2025, at 11:15 am stated, “Resident was being escorted by staff to the common area when [R1] collapsed to the floor, hitting the back of [R1's] head. EMS came and assessed resident and POA declined to send resident to hospital for further evaluation. No visible injury no complaint of pain to head. POA, Physician and supervisor.” A progress note for August 29, 2025, at 1:00 pm stated, “Resident finished lunch in the dining area, when [R1] asked staff if [R1] could go lay down in [R1] room. Caregiver was walking resident to [R1] room with a chair behind [R1] for safety precaution due to new onset of weakness. Resident sat down in the chair and began to have seizure like activity, became unresponsive with shallow breathing, an shortly after lifesaving measures were started. Paramedics and POA were contacted. Once paramedics arrived on scene they took over lifesaving measures and resident was transported to Arrowhead hospital where [R1] was later pronounced deceased.” However, the progress note was missing the names of individuals who observed the incident and any action taken to prevent the incident from occurring in the future. 2. A review of the facility’s policies and procedures revealed a policy titled “Incident Reports.” The policy stated, “An Internal Occurrence Report is completed by staff for all unusual occurrences, injuries, injuries of unknown origin, and incidents.” 3. In an interview, E3 acknowledged that the progress note did not include the action taken to prevent the incident in the future. 4. In an exit interview, the findings were reviewed with E3 and E4, and no additional information was provided.
Jun 3, 2025ComplaintCleanReport
No deficiencies were found during the on-site investigation of case ID: 00132379 conducted on June 3, 2025.
Feb 14, 2025Complaint
This Statement of Deficiencies (SOD) supersedes the previous SODs sent for Insp-0097804. The following deficiencies were found during the on-site compliance inspection and investigation of complaints AZ00208849, AZ00205392, AZ00218712, AZ00223252, AZ00222925, AZ00205393, AZ00205314, AZ00217054, 00109214, and 00109150 conducted on February 14, 2025:
Based on documentation review, record review, and interview, the manager failed to ensure an individual authorized to administer opioids documented in the resident's medical record an identification of the resident's need for the opioid before the opioid was administered, and the effect of the opioid administered, for one of two resident sampled who received an opioid. Findings include: 1. A review of facility documentation revealed a policy and procedure titled "MP31 - Pain Management and Opioid Medications" last revised December 2024. The Policy stated "f. Opioid Administration and Assistance with self-administration must include: i. Identification and documentation of the resident's pain level prior to medication using the pain scale. 1. The Pain Rating forms may be used. ii. Monitoring resident's response to medication. iii. Documenting the effectiveness of medication forty-five (45) minutes after administration in resident's record. g. Document on the MAR the resident's need, monitoring, and response to the medication. This documentation shall include: i. The name of the staff member responsible for administering/assisting the resident with the opioid medication, ii. The resident's level of pain prior to administering the medication, iii. How the resident's level of pain was assessed, iv. How the resident's response was monitored, including the time and person(s) responsible for monitoring, and v. The resulting effect of the medication on the resident." 2. A review of R9's medical record revealed a service plan for personal care services and received medication administration. A review of R9's medication orders dated February 2025 revealed "Morphine Sulf 15MG Tablet, Take 1 Tab by Mouth Twice Daily for chronic back pain." A review of R9's medication administration record (MAR) for February 2025 revealed "Morphine Sulf 15MG Tablet," was documented as administered. However, documentation to include an identification of R9's need for the opioid before the opioid was administered and the effectiveness of the opioid administered was not available for review. 3. A review of R9's medical record revealed no documentation stating R9 had an end of life condition or an active malignancy. 4. In an interview, E1 acknowledged R9's medical record did not contain documentation of identification of the need for the opioid before the opioid was administered, and the effectiveness of the opioid administered.
Based on record review, observation, and interview, the manager failed to ensure medication administered to a resident was documented in the resident's medical record, for one of eleven residents sampled receiving medication administration. The deficient practice posed a risk as medication could not be verified as administered against a medication order. Findings include: 1. A review of R11's medical record revealed a signed medication order dated January 13, 2025. The medication order stated the following: "Insulin Lispro (1 Unit Dial) 100 UNIT/ML Solution Pen-injector Subcutaneous sig: inject insulin SQ based on sliding scale three times a day after meals, inject SQ 2 units if BS is 151-199, 3 units if BS is 200-249, 4 units if BS is 250-299, 5 units if BS is 300-349, 6 units 350-399, call PCP if BS is greater than 400." 2. A review of R11's medical record revealed a February 2025 medication administration record (MAR) that showed Insulin Lispro (1 Unit Dial) 100 UNIT/ML was administered from February 01, 2025, to the present and R11's blood sugar reading was taken at 12:00 PM, 4:00 PM and 8:00 AM. However, documentation was not available showing how many units of insulin were administered on the days listed above according to the medication order. 3. During the environmental tour with E1, the Compliance Officer observed Insulin Lispro (1 Unit Dial) 100 UNIT/ML Solution Pen-injector was available with R11's medication. 4. In an interview, E1 reported the medication was administered per the medication order. However, the exact units that were given to the resident were not documented on the MAR.
Based on documentation review, observation, and interview, the manager failed to ensure poisonous or toxic materials stored by the assisted living facility were maintained in a locked area, labeled and inaccessible to residents. The deficient practice posed a risk to the physical health and safety of a resident. Findings include: 1. A review of Department records revealed the facility was licensed to provide directed care services. 2. The Compliance Officer observed multiple ambulatory residents. 3. During the environmental tour with E1, the Compliance Officer observed the following poisonous and toxic materials in an unlocked kitchen pantry cabinet in the secured memory care unit: - one Lysol Clean & Fresh Multi-Surface Cleaner, 144 Oz Bottle - one Pine-Sol Cleaner Lemon Scent, 80 oz Bottle 4. In an interview, E1 acknowledged poisonous and toxic materials stored by the assisted living facility were not maintained in a locked area inaccessible to residents.
Dec 13, 2024ComplaintCleanReport
An on-site investigation of complaint AZ00220128 was conducted on December 13, 2024 and no deficiencies were cited :
May 6, 2024Complaint
An on-site investigation of complaint AZ00209878 was conducted on May 6, 2024, and the following deficiencies were cited :
Based on record review, documentation review, and interview, the manager failed to ensure the facility had sufficient caregivers with the qualifications, skills, and knowledge necessary to provide the assisted living services in the facility's scope of services, to meet the needs of a resident, and to ensure the health and safety of a resident. The deficient practice posed a health and safety risk to a resident, who suffered an arm fracture during a transfer, by a caregiver. Findings include: 1. In documentation review, the Department received notification from O1, which documented, "... has only lived a facility two days. Is Bedbound, has left sided weakness/paralysis. Facility staff did not use lift provided by family for transfers. A single staff member responded to patient when ... called to use the bathroom - did not use the lift - resulted in patient injuring ... dangling arm - as it is paralyzed. Pt complained of pain - was given ice - hours later they called 911 - after pt ' s son requested pt be sent to ER where it was determined left arm was broken during incident. Patient also shared earlier that night same staff member witnessed pt hitting ... head on wall during transfer and also did not address head injury -patient has bruise to right side of her head, left arm fracture confirmed by radiologist. right sided head bruising near eyebrow." 2. In record review, R1's medical record included documentation as follows: - Note, "5/2/2024 7:42 am... Incident... resident left arm has a skin tear on writs when ... was transferring back into ... wheel chair from the toilet... left arm got caught between [R1] and the wheelchair, the forearm is swollen, ice was applied incident happen around 4:30am resident asked to see the doctor today explained there is not a doctor here... it... wishes to see a doctor I would need to send out... stated ... would wait for the nurse, but ... thinks it might be broken. When asked if ... armed hurt... stated no due to it being numb. resident was asked about x 3 if ... wanted to go to the ER.. stated. want to wait for the nurse" 3. During an interview, E1 reported facility had Sara Lift brought to facility with R1; however, [E1] visited R1 at prior facility and assessed [R1] required only a one person assist with transfers. 4. During an interview, R1 reported [R1] was recovering from a recent stroke which left the left arm numb and hanging, and a weakened left let. R1 was unable move the arm or leg independently. R1 had two incidents during transfers for toileting, by a caregiver on May 2, 2024. R1 was unable to recall the caregiver name(s). During the first toileting transfer, (by one caregiver), R1 fell forward and hit forehead "on a bar, said ouch," and told the caregiver. At 4:00am, during the second toileting transfer, (by one caregiver), R1's arm got caught, "I heard a crack," and thought it was broken. "I can only use one arm to hold the bar during toileting transfer, so my other arm was just hanging." R1 told
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