PRR ADC02017-02060 - Monthly Compliance Rpts - 2013-09 - ASPC-Lewis (redacted), AZ DOC, 2013
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September 2013 LEWIS COMPLEX audit tool per audit results. 10/11/13 Update –NETs to be used for all Nursing sick call. 5 Are referrals to providers from sick call being seen within seven (7) days? [P-E-07] Level 1 Amber User: Terry Allred Date: 9/30/2013 3:45:43 PM Corrective Plan: In-service all staff including providers on Sick call 2.20.2.2. There will be an sign off sheet to verify. The target date is 10/31/13. Corrective Actions: See above. PRR ADC02020 September 2013 LEWIS COMPLEX Plan weekly x 3 weeks, monthly until within compliance, then quarterly; monitoring frequency using audit tool per audit results.10/11/13 Update – Documentation on education sheet located in front of chart, medical records responsible for making sure in chart. PRR ADC02027 September 2013 LEWIS COMPLEX a.Audit tools developed b.Weekly site results discussed with RVP c.Audit results discussed a monthly CQI meeting d.Minutes and audit reported monthly to Regional office for tracking and trending Responsible Parties = FHA/DON/IC/RDCQI/RVP Target Date-11/30/13 Continue to monitor weekly x 3 weeks, monthly until within compliance, then quarterly; monitoring frequency using audit tool per audit results. 10/11/13 Update – Statewide in Sept Redbook and MAR audit, results reviewed; to audit pharmacy in October related to Controlled Substances and Expired meds. PRR ADC02032 September 2013 LEWIS COMPLEX in the chart; all patients receiving psychotropic medications will be seen by Psychiatrist/Psychiatry CNP b.Agenda/sign off sheet to verify, inclusive of all pertinent staff 2.Monitoring (Mental Health Monitoring Tool) a.Audit tools developed b.Monthly site results discussed with RVP/MH Director c.Audit results discussed at monthly CQI meeting d.Minutes and audit reported monthly to Regional office for tracking and trending Regional office for tracking and trending Responsible Parties = FHA/DON/Mental Health Director/RVP/RDON/RDCQI/MH Lead Target Date- 11/30/13 Continue to monitor monthly until within compliance, then quarterly; monitoring frequency using audit tool per audit results. PRR ADC02038 September 2013 LEWIS COMPLEX Corrective Action Plans for PerformanceMeasure: Medication Administration 2 Is the documentation of completed training and testing kept on file for staff who administer or deliver medications? [NCCHC Standard P-C-05; HSTM Chapter 3, Section 4.1] Level 1 Amber User: Erin Barlund Date: 9/25/2013 7:28:04 AM Corrective Plan: See October action plan as submitted by Corizon. Corrective Actions: October Action plan submitted by Corizon1.Standardized process statewide to include, but not limited to : a.Refusals/No Show - Policy titled “Appointment or Treatment Refusals” Chapter 5, Section 7.2 (Appendix VI.1.a.). b.MAR documentation. c.Administration of DOT/KOP. d.Printing MARs (Pharmacy Appendix). e.Medication error documentation/reporting (Pharmacy Appendix). 2.In-service staff on process and PharmaCorr policy. a.Agenda/sign off sheet to verify, inclusive of all pertinent staff. 3.Monitoring (Appendix I. - IV Monitoring Tools) a.Audit tools developed. b.Weekly site results discussed with RVP. c.Audit results discussed a monthly CQI meeting. d.Minutes and audit reported monthly to Regional office for tracking and trending. Responsible Parties =FHA/DON/RDCQI/RVP/FHA Target Date- 11/30/13 Continue to monitor weekly x 3 weeks, monthly until within compliance, then quarterly; monitoring frequency using audit tool per audit results. 4 Are the Medication Administration Records (MAR) being completed in accordance with standard nursing practices? [HSTM Chapter 4, Section 1.1, Chapter 5, Section 6.4] Level 1 Amber User: Erin Barlund Date: 9/25/2013 9:30:06 AM Corrective Plan: See October action plan as submitted by Corizon. Corrective Actions: October Action plan submitted by Corizon1.Standardized process statewide to include, but not limited to : a.Refusals/No Show - Policy titled “Appointment or Treatment Refusals” Chapter 5, Section 7.2 (Appendix VI.1.a.). b.MAR documentation. c.Administration of DOT/KOP. d.Printing MARs (Pharmacy Appendix). e.Medication error documentation/reporting (Pharmacy Appendix). 2.In-service staff on process and PharmaCorr policy. a.Agenda/sign off sheet to verify, inclusive of all pertinent staff. 3.Monitoring (Appendix I. - IV Monitoring Tools) a.Audit tools developed. b.Weekly site results discussed with RVP. c.Audit results discussed a monthly CQI meeting. d.Minutes and audit reported monthly to Regional office for tracking and trending. Responsible Parties =FHA/DON/RDCQI/RVP/FHA Target Date- 11/30/13 Continue to monitor weekly x 3 weeks, monthly until within compliance, then quarterly; monitoring frequency using audit tool per audit results. 4 Are the Medication Administration Records (MAR) being completed in accordance with standard nursing practices? [HSTM Chapter 4, Section 1.1, Chapter 5, Section 6.4] Level 1 Amber User: Erin Barlund Date: 9/25/2013 9:30:06 AM Corrective Plan: See October action plan as submitted by Corizon. Corrective Actions: October Action plan submitted by Corizon1.Standardized process statewide to include, but not limited to : a.Refusals/No Show - Policy titled “Appointment or Treatment Refusals” Chapter 5, Section 7.2 (Appendix VI.1.a.). b.MAR documentation. PRR ADC02049 September 2013 LEWIS COMPLEX c.Administration of DOT/KOP. d.Printing MARs (Pharmacy Appendix). e.Medication error documentation/reporting (Pharmacy Appendix). 2.In-service staff on process and PharmaCorr policy. a.Agenda/sign off sheet to verify, inclusive of all pertinent staff. 3.Monitoring (Appendix I. - IV Monitoring Tools) a.Audit tools developed. b.Weekly site results discussed with RVP. c.Audit results discussed a monthly CQI meeting. d.Minutes and audit reported monthly to Regional office for tracking and trending. Responsible Parties =FHA/DON/RDCQI/RVP/FHA Target Date- 11/30/13 Continue to monitor weekly x 3 weeks, monthly until within compliance, then quarterly; monitoring frequency using audit tool per audit results. 5 Are medication errors forwarded to the FHA to review corrective action plan? Level 2 Amber User: Erin Barlund Date: 9/25/2013 1:10:15 PM Corrective Plan: All staff will be inserviced on Prescribing practice and pharmacy contract performance measure 2.20.2.6. Sign off sheet to verify. Target date 11/15/13. The reports will be submited to the FHA within 24 hours of the occurence. Corrective Actions: October Action plan submitted by Corizon1.Standardized process statewide to include, but not limited to : a.Medication error documentation/reporting (Pharmacy Appendix). 2.In-service staff on process and PharmaCorr policy. a.Agenda/sign off sheet to verify, inclusive of all pertinent staff. 3.Monitoring (Appendix I. - IV Monitoring Tools) a.Audit tools developed. b.Weekly site results discussed with RVP. c.Audit results discussed a monthly CQI meeting. d.Minutes and audit reported monthly to Regional office for tracking and trending. Responsible Parties =FHA/DON/RDCQI/RVP/FHA Target Date- 11/30/13 Continue to monitor weekly x 3 weeks, monthly until within compliance, then quarterly; monitoring frequency using audit tool per audit results. 6 Are there any unreasonable delays in inmate receiving prescribed medications? Level 2 Amber User: Erin Barlund Date: 9/25/2013 10:18:39 AM Corrective Plan: See October action plan as submitted by Corizon. Corrective Actions: October Action plan submitted by CorizonIntakes1.Standardized process for meds to be available to inmate upon transfer (Pharmacy Appendix 1 & 2) a.Intake Orders b.Private Prisons 2.In-service staff on process per PharmaCorr policy, a.Agenda/sign off sheet to verify, inclusive of all pertinent staff 3.Custody educated regarding contract requirements regarding inmate transfer with meds. 4.Monitoring (Appendix I. - IV Monitoring Tools) a.Audit tools developed b.Weekly site results discussed with RVP c.Audit results discussed a monthly CQI meeting d.Minutes and audit reported monthly to Regional office for tracking and trending Responsibile Parties = FHA/DON/Custody/RDCQI/RVP Continue to monitor weekly x 3 weeks, monthly until within compliance, then quarterly; monitoring frequency using audit tool per audit results 1.Monitoring (Appendix I. - IV Monitoring Tools) a.Audit tools developed b.Weekly site results discussed with RVP c.Audit results discussed a monthly CQI meeting d.Minutes and audit reported monthly to Regional office for tracking and trending 2.Standardized process statewide to include, but not limited to (Appendix III.1.): PRR ADC02050 September 2013 LEWIS COMPLEX a.Internal b.External 2.In-service staff on process and ADC policy titled “Continuity of Care Upon Transfer” Chapter 5, Section 5.0 (Appendices III.2.); a.Agenda/sign off sheet to verify, inclusive of all pertinent staff 3.Custody educated regarding contract requirements regarding inmate transfer with meds 4.Monitoring (Appendix I. - IV Monitoring Tools) a.Audit tools developed b.Weekly site results discussed with RVP c.Audit results discussed a monthly CQI meeting d.Minutes and audit reported monthly to Regional office for tracking and trending Responsible Parties = FHA/DON/Custody/RDCQI/RVP Target Date - 11/30/13 Continue to monitor weekly x 3 weeks, monthly until within compliance, then quarterly; monitoring frequency using audit tool per audit results. 8 Are chronic condition medication expiration dates being reviewed prior to expiration to ensure continuity of care? [NCCHC Standard P-D-01] Level 2 Amber User: Erin Barlund Date: 9/25/2013 9:21:24 AM Corrective Plan: See October action plan as submitted by Corizon. Corrective Actions: October Action plan submitted by Corizon1.Standardized process for meds to be available to inmate upon transfer (Pharmacy Appendix 1 & 2) 2.In-service staff on process per PharmaCorr policy, a.Agenda/sign off sheet to verify, inclusive of all pertinent staff 3.Custody educated regarding contract requirements regarding inmate transfer with meds. 4.Monitoring (Appendix I. - IV Monitoring Tools) a.Audit tools developed b.Weekly site results discussed with RVP c.Audit results discussed a monthly CQI meeting d.Minutes and audit reported monthly to Regional office for tracking and trending Responsibile Parties = FHA/DON/Custody/RDCQI/RVP Continue to monitor weekly x 3 weeks, monthly until within compliance, then quarterly; monitoring frequency using audit tool per audit results 1.Monitoring (Appendix I. - IV Monitoring Tools) a.Audit tools developed b.Weekly site results discussed with RVP c.Audit results discussed a monthly CQI meeting d.Minutes and audit reported monthly to Regional office for tracking and trending 2.Standardized process statewide to include, but not limited to (Appendix III.1.): a.Internal b.External 2.In-service staff on process and ADC policy titled “Continuity of Care Upon Transfer” Chapter 5, Section 5.0 (Appendices III.2.); a.Agenda/sign off sheet to verify, inclusive of all pertinent staff 3.Custody educated regarding contract requirements regarding inmate transfer with meds 4.Monitoring (Appendix I. - IV Monitoring Tools) a.Audit tools developed b.Weekly site results discussed with RVP c.Audit results discussed a monthly CQI meeting d.Minutes and audit reported monthly to Regional office for tracking and trending Responsible Parties = FHA/DON/Custody/RDCQI/RVP Target Date - 11/30/13 Continue to monitor weekly x 3 weeks, monthly until within compliance, then quarterly; monitoring frequency using audit tool per audit results. 9 Are non-formulary requests being reviewed for approval or disapproval within 24 to 48 hours? Level 2 Amber User: Erin Barlund Date: 9/25/2013 9:21:41 AM Corrective Plan: See October action plan as submitted by Corizon. PRR ADC02051 September 2013 LEWIS COMPLEX Corrective Actions: October Action plan submitted by Corizon1.Standardized process statewide, to include but not limited to (Pharmacy Appendix 1 & 2): a.Non-formulary process (Appendix I.1.d.) i.Reviewed for approval within 24-48 hrs ii.Providers notified decision within 24-48 hrs e.Manifest Reconciliation f.Inventory control g.Stock Medications h.Practitioner Cards (Appendis I.1.h.) i.Controlled Medications (Appendix I.1.i.) 2.In-service staff a.Using information from 8/19 - 11/13 Regional office mandatory in-service and PharmaCorr policy b.Agenda/sign off sheet to verify, inclusive of all pertinent staff (Appendix I.2.b.) 3.Monitoring (Appendix I. - IV Monitoring Tools) a.Audit tools developed b.Weekly site results discussed with RVP c.Audit results discussed a monthly CQI meeting d.Minutes and audit reported monthly to Regional office for tracking and trending Responsible Parties = FHA/DON/IC/RDCQI/RVP Target Date-11/30/13 Continue to monitor weekly x 3 weeks, monthly until within compliance, then quarterly; monitoring frequency using audit tool per audit results. 10/11/13 Update – Statewide in Sept Redbook and MAR audit, results reviewed; to audit pharmacy in October related to Controlled Substances and Expired meds. 10 Are providers being notified of non-formulary decisions within 24 to 48 hours? Level 2 Amber User: Erin Barlund Date: 9/25/2013 7:33:27 AM Corrective Plan: See October action plan as submitted by Corizon. Corrective Actions: October Action plan submitted by Corizon1.Standardized process statewide, to include but not limited to (Pharmacy Appendix 1 & 2): a.Non-formulary process (Appendix I.1.d.) i.Reviewed for approval within 24-48 hrs ii.Providers notified decision within 24-48 hrs e.Manifest Reconciliation f.Inventory control g.Stock Medications h.Practitioner Cards (Appendis I.1.h.) i.Controlled Medications (Appendix I.1.i.) 2.In-service staff a.Using information from 8/19 - 11/13 Regional office mandatory in-service and PharmaCorr policy b.Agenda/sign off sheet to verify, inclusive of all pertinent staff (Appendix I.2.b.) 3.Monitoring (Appendix I. - IV Monitoring Tools) a.Audit tools developed b.Weekly site results discussed with RVP c.Audit results discussed a monthly CQI meeting d.Minutes and audit reported monthly to Regional office for tracking and trending Responsible Parties = FHA/DON/IC/RDCQI/RVP Target Date-11/30/13 Continue to monitor weekly x 3 weeks, monthly until within compliance, then quarterly; monitoring frequency using audit tool per audit results. 10/11/13 Update – Statewide in Sept Redbook and MAR audit, results reviewed; to audit pharmacy in October related to Controlled Substances and Expired meds. 11 Are medication error reports being completed and medication errors documented? Level 2 Amber User: Erin Barlund Date: 9/25/2013 1:09:26 PM Corrective Plan: All staff will be inserviced on Prescribing practice and pharmacy contract performance measure 2.20.2.6. Sign off sheet to verify. Target date 11/15/13. The reports will be submited to the FHA within 24 hours of the occurence. PRR ADC02052 September 2013 LEWIS COMPLEX Corrective Actions: October Action plan submitted by Corizon1.Standardized process statewide to include, but not limited to : a.Medication error documentation/reporting (Pharmacy Appendix). 2.In-service staff on process and PharmaCorr policy. a.Agenda/sign off sheet to verify, inclusive of all pertinent staff. 3.Monitoring (Appendix I. - IV Monitoring Tools) a.Audit tools developed. b.Weekly site results discussed with RVP. c.Audit results discussed a monthly CQI meeting. d.Minutes and audit reported monthly to Regional office for tracking and trending. Responsible Parties =FHA/DON/RDCQI/RVP/FHA Target Date- 11/30/13 Continue to monitor weekly x 3 weeks, monthly until within compliance, then quarterly; monitoring frequency using audit tool per audit results. PRR ADC02053