Admission, assessment, and eviction
Cited in 2 reports, with 2 deficiencies in total.
155 VILLAGE LANE, Auburn CA 95603
6 bedsLatest official report Feb 5, 2026Licensed
The available records show 1 Type A and 7 Type B deficiencies for this facility.
1 later report, on Feb 5, 2026, recorded no deficiencies, though the records do not say whether they were follow-ups.
Both classifications are published by California CDSS and are shown as published. SeniorLivingFacts does not rename them or add a severity level of its own.
Counts cover the five-year public record. Typical figures are the median for the 205 Placer County facilities licensed for 6 or fewer beds.
In the available public five-year record, CCLD published 11 reports for this facility: 8 inspections, 3 complaint investigations, and 0 licensing or administrative records.
Those records contain 1 Type A and 7 Type B deficiencies.
1 deficiencies have explicit official correction or clearance evidence in the loaded records.
More than the typical 5
1 in the last 12 months
Most this size have none
4 in the last 12 months
Most this size have none
0 in the last 12 months
Most this size have none
4 in the last 12 months
Most this size have none
2 in the last 12 months
Last 36 months
Topics cited in more than one report during the last 36 months. A repeat may show a pattern worth asking about. Each date opens its report below.
Cited in 2 reports, with 2 deficiencies in total.
Cited in 2 reports, with 2 deficiencies in total.
All preserved reports from the most recent to the oldest, sortable by report type.
Allegations2 substantiated · 4 unsubstantiated · 0 unfounded · 1 cited
87217(e) Cash resources and valuables of residents which are handled by the licensee for safekeeping shall not be commingled with or used as the facility funds or petty cash, and shall be separate...facility’s funds and valuables. This requirement is not met as evidence by: Based on record review and interview, the licensee failed to safeguard R1’s cash resources by purchasing a new wheelchair which constitutes misuse of resident cash resources, which poses an immediate health, safety, and personal rights violation to residents in care.
Licensee submit a statement of understanding of regulation 87217(e). Statement will be emailed to LPA by POC due date 10/17/2025.
Deadline recorded: Oct 17, 2025. A deadline is not proof that correction was completed.
Allegations3 substantiated · 0 unsubstantiated · 0 unfounded · 3 cited
87224(a)(4) The licensee may evict a resident for one or more of the reasons listed in Section 87224(a)(1) through (5). Thirty (30) days written notice.... the licensee and the person who performs the reappraisal believe that the facility is not appropriate for the resident. This requirement is not met as evidence by: Based on the investigation, refusal to allow R1 to return back to the facility following a discharge which constitutes an unlawful eviction, which poses a potential health, safety, and personal rights violation to the residents in care.
Licensee will delevop a procedure to address resident eviction procedures. POC will be emailed to LPA by 10/17/2025. Immediate Civil Penalty of $1,000 is assessed for a Repeat Violation within a 12-month period.
Deadline recorded: Oct 17, 2025. A deadline is not proof that correction was completed.
87211(a)(1)(B) Each licensee shall furnish to the licensing agency such reports as the Department may require, including…This report shall include the resident's name, age, sex and date of admission; date and nature of event… Any serious injury as determined by the attending physician and occurring while the resident is under facility supervision. This requirement is not met as evidence by: Based on interviews and records reviewed, the facility did not report unexplained injury and bruising after R1’s fall, which poses a potential health, safety, and personal rights violation to the residents in care.
Licensee will submit a statement of understanding of regulation 87211(a)(1)(B). Licensee will email statement to LPA by POC due date 10/17/2025.
Deadline recorded: Oct 17, 2025. A deadline is not proof that correction was completed.
87465(g) The licensee shall immediately telephone 9-1-1 if an injury or other circumstance has resulted in an imminent threat to a resident’s health including, but not limited to, an apparent life-threatening medical....Sections 87469(c)(2), (c)(3), or (c)(4). This requirement is not met as evidence by: Based on the investigation, staff did not provide timely medical care to R1 following a fall, which poses a potential health, safety, and personal rights violation to residents in care.
Licensee will submit a statement of understanding of regulation 87465(g). Licensee will email statement to LPA by POC due date 10/17/2025.
Deadline recorded: Oct 17, 2025. A deadline is not proof that correction was completed.
Allegations1 substantiated · 0 unsubstantiated · 0 unfounded · 1 cited
(a) The licensee may evict a resident for one or more of the reasons listed in Section 87224(a)(1) through (5). Thirty (30) days written notice to the resident is required except as otherwise specified in paragraph (5).... Through interview and review of records it was learned that the home did not issue a 30-day written notice before refusing to take R1 back into the home.
The home will submit a written plan of how such situations will be handled in the future should a resident be in a similar situation. Plan to be submitted to CCL by POC dated of 8/8/2025.
Deadline recorded: Aug 8, 2025. A deadline is not proof that correction was completed.
California Department of Social Services, Community Care Licensing Division. Public facility history is described by the source as a five-year window. Older records and previous-licensee history may require a regional-office request. Type 741 RCFE-CCRCs, nursing homes, and other care settings are excluded from this page.
Read the data methodology