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Residence at Bay Vue Cited in 2019

January 11, 2020 James Keim

Residence at Bay Vue found in non-compliance during inspection

Residence at Bay Vue is a for-profit 80-bed assisted living facility located at 105 15th Street East, Bradenton, Florida 34208. The Florida Agency for Health Care Administration conducted an unannounced inspection of this ALF as part of the facility’s biennial license renewal. At the conclusion of the investigation, Florida officials cited the assisted living facility with deficiencies for failing to comply with requirements set forth under Florida law that are designed to protect seniors.

Investigators issued deficiencies for failures related to staff training

At the time of the investigation, Florida officials determined that the assisted living facility was in non-compliance with the following requirements:

(11) DO NOT RESUSCITATE ORDERS TRAINING. (a) Currently employed facility administrators, managers, direct care staff and staff involved in resident admissions must receive at least one hour of training in the facility’s policies and procedures regarding Do Not Resuscitate Orders. (b) Newly hired facility administrators, managers, direct care staff and staff involved in resident admissions must receive at least one hour of training in the facility’s policy and procedures regarding DNROs within 30 days after employment. (c) Training shall consist of the information included in rule 58A-5.0186, F.A.C.

and

(2) STAFF PRESERVICE ORIENTATION. (a) Facilities must provide a preservice orientation of at least 2 hours to all new assisted living facility employees who have not previously completed core training as detailed in subsection (1). (b) New staff must complete the preservice orientation prior to interacting with residents. (c) Once complete, the employee and the facility administrator must sign a statement that the employee completed the preservice orientation which must be kept in the employee’s personnel record. (d) In addition to topics that may be chosen by the facility administrator, the preservice orientation must cover: 1. Resident’s rights; and, 2. The facility’s license type and services offered by the facility. (3) STAFF IN-SERVICE TRAINING. Facility administrators or managers shall provide or arrange for the following in-service training to facility staff: (a) Staff who provide direct care to residents, other than nurses, certified nursing assistants, or home health aides trained in accordance with rule 59A-8.0095, F.A.C., must receive a minimum of 1 hour in-service training in infection control, including universal precautions and facility sanitation procedures, before providing personal care to residents. The facility must use its infection control policies and procedures when offering this training. Documentation of compliance with the staff training requirements of 29 CFR 1910.1030, relating to blood borne pathogens, may be used to meet this requirement. (b) Staff who provide direct care to residents must receive a minimum of 1 hour in-service training within 30 days of employment that covers the following subjects: 1. Reporting adverse incidents. 2. Facility emergency procedures including chain-of-command and staff roles relating to emergency evacuation. (c) Staff who provide direct care to residents, who have not taken the core training program, shall receive a minimum of 1 hour in-service training within 30 days of employment that covers the following subjects: 1. Resident rights in an assisted living facility. 2. Recognizing and reporting resident abuse, neglect, and exploitation. The facility must use its abuse prevention policies and procedures when offering this training. (d) Staff who provide direct care to residents, other than nurses, CNAs, or home health aides trained in accordance with rule 59A-8.0095, F.A.C., must receive 3 hours of in-service training within 30 days of employment that covers the following subjects: 1. Resident behavior and needs. 2. Providing assistance with the activities of daily living. (e) Staff who prepare or serve food, who have not taken the assisted living facility core training must receive a minimum of 1-hour-in-service training within 30 days of employment in safe food handling practices. (f) All facility staff shall receive in-service training regarding the facility’s resident elopement response policies and procedures within thirty (30) days of employment. 1. All facility staff shall be provided with a copy of the facility’s resident elopement response policies and procedures. 2. All facility staff shall demonstrate an understanding and competency in the implementation of the elopement response policies and procedures.

The complete results for this inspection may be accessed and read here: https://tinyurl.com/yjzqzov5

Do you have questions concerning the treatment of a loved one in a local assisted living facility?

If you suspect that a loved one has been neglected or abuse in an assisted living facility or nursing home, you may call me for a free, confidential consultation. Our law firm fights to hold corporations and their executives accountable for the neglect, abuse and exploitation of our elderly citizens and to improve the quality of care for all Floridians. My telephone number is (941) 485-7600. James Edwin Keim, Elder Abuse Lawyer.

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