INITIAL COMMENTS |
This report is a result of an on-site licensure renewal inspection conducted on August 14, 2019 by staff from the Department of Drug and Alcohol Programs, Bureau of Quality Assurance for Prevention and Treatment. Based on the findings of the on-site inspection, TrueNorth Wellness Services was found not to be in compliance with the applicable chapters of 28 PA Code which pertain to the facility. The following deficiencies were identified during this inspection: |
Plan of Correction
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709.28 (c) (2) LICENSURE Confidentiality
§ 709.28. Confidentiality.
(c) The project shall obtain an informed and voluntary consent from the client for the disclosure of information contained in the client record. The consent must be in writing and include, but not be limited to:
(2) Specific information disclosed.
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Observations Based on the review of seven client records, the facility failed to document a completed consent to release information in one records as there were forms that were missing required information.
Client #1 was admitted on April 10, 2019 and was still active at the time of the inspection. There was a consent to release form, signed and dated on May 21, 2019 to a DUI program that failed to include what information could be disclosed.
The findings were reviewed with facility staff during the licensing inspection.
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Plan of Correction CRN Evaluator was instructed by the Director of Substance Abuse Services to include what information she is releasing, i.e. the CRN document, in the Release of Information as this release becomes part of the client record and needs specific information. Corrected 8/15/19. |
709.30 (1) LICENSURE Client rights
§ 709.30. Client rights.
The project shall develop written policies and procedures on client rights and document written acknowledgement by clients that they have been notified of those rights.
(1) A client receiving care or treatment under section 7 of the act (71 P. S. § 1690.107) shall retain civil rights and liberties except as provided by statute. No client may be deprived of a civil right solely by reason of treatment.
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Observations Based on a review of client records, the facility failed to ensure that there was appropriate documentation of written acknowledgment by the client that the client had been made aware of their rights in client record # ' s 1, 2, 3, 4, 5, 6, and 7.
These findings were reviewed with facility staff during the licensing process.
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Plan of Correction The Client Bill of Rights form was updated by the Clinical Supervisor to include all required items under the regulation in the Welcome Packet given to all D&A clients. New packets were printed and older versions were destroyed on 8/15/19.
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