Facility condition and maintenance
Cited in 2 reports, with 2 deficiencies in total.
441 NORTH CAMINO ALTO, Vallejo CA 94590
6 bedsLatest official report Jun 17, 2026Licensed
The available records show 6 Type A and 9 Type B deficiencies for this facility.
No later report is available, so the records do not show what happened afterward.
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 147 Solano County facilities licensed for 6 or fewer beds.
In the available public five-year record, CCLD published 13 reports for this facility: 7 inspections, 5 complaint investigations, and 1 licensing or administrative record.
Those records contain 6 Type A and 9 Type B deficiencies.
0 deficiencies have explicit official correction or clearance evidence in the loaded records.
More than the typical 5
1 in the last 12 months
Well above the typical 1
1 in the last 12 months
Most this size have none
0 in the last 12 months
Well above the typical 1
1 in the last 12 months
Most this size have none
1 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 · 0 unsubstantiated · 0 unfounded · 1 cited
§1569.269 Enumerated rights; severability (a) Residents of residential care facilities for the elderly shall have all of the following rights: (6) To care, supervision, and services that meet their individual needs... This requirement is not met by licensee as evidence by video review and interviews...... conducted, the licensee did not ensure R1 received assistance from S1 and/or staff on duty. This poses an immediate Health, Safety or Personal Rights risk to persons in care.
Facility will submit plan to CCL to conduct personal rights training and training for all direct care staff on care and supervision by plan of correction due date 08/29/2025. Facility to submit proof of completed training to CCL by 09/10/25.
Deadline recorded: Aug 29, 2025. A deadline is not proof that correction was completed.
Allegations0 substantiated · 1 unsubstantiated · 0 unfounded
No deficiencies recorded in this reportAllegations0 substantiated · 1 unsubstantiated · 0 unfounded
No deficiencies recorded in this reportAllegations1 substantiated · 1 unsubstantiated · 0 unfounded · 1 cited
87465(a)(4) Incidental Medical and Dental Care-A plan for incidental medical & dental care shall be developed by each facility. The plan shall encourage routine medical and dental care and provide for assistance in obtaining such care, by compliance with the following: The licensee shall assist residents with self-administered medications as needed. This requirement was not met- As evidenced by: During medication audit of 6/10/2024 and today, the facility failed to properly provide some medication to R1. (Prednisone, Albuterol, Doxyclyne/antibiotic, verapamil) This is an immediate risk to the Health & Safety of residents in care
Facility to send in written plan on how they will ensure compliance for meeting residents needs and medication training. First POC due date for written plan due 7/9/2024, with follow up by 7/16/2024 for proof of medication training. POC due to LPA Araceli Canela
Deadline recorded: Jul 9, 2024. A deadline is not proof that correction was completed.
Allegations2 substantiated · 0 unsubstantiated · 1 unfounded · 2 cited
87465(a)(5) Incidental Medical and Dental Care-A plan for incidental medical & dental care shall be developed by each facility. The plan shall encourage routine medical and dental care and provide for assistance in obtaining such care, by compliance with the following: The licensee shall assist residents with self-administered medications as needed. This requirement was not met- As evidenced by: During medication audit of 9/14/21 an d today 9/22 the facility failed to provide some medication to R1. (Metaformin, Docusate & Clozapinerx) was not provided, or correct doze was not provided. This is an immediate risk to the Health & Safety of residents in care
Facility to send in written plan on how they will ensure compliance and written plan for medication training. First POC due date 9/23/2021 with follow up by 9/30/2021 for proof of medication training.
Deadline recorded: Sep 23, 2021. A deadline is not proof that correction was completed.
87458(a) Medical Assessment- Prior to a person's acceptance as a resident, the licensee shall obtain and keep on file, documentation of a medical assessment, signed by a physician, made within the last year. The licensee shall be permitted to use the form LIC 602 (Rev. 9/89), Physician's Report, to obtain the medical assessment. This requirement was not met as evidenced by: During facility resident record review, 2 of 5 residents did not have the required Physician report for R2 and R3. This is a potential risk to the Health & Safety of residents in care
Facility to send in written statement they understand regulation and how they will ensure compliance and have all required records for all residents. POC due date 10/12/2021 to LPA A. Canela FAx (707) 588-5080 or by email: araceli.canela@dss.ca.gov
Deadline recorded: Sep 30, 2021. 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