HospitalInspections.org

Bringing transparency to federal inspections

611 ST JOSEPH AVE

MARSHFIELD, WI 54449

No Description Available

Tag No.: K0012

Based on observation and staff interviews, the facility failed to protect openings between floors to maintain the two-hour floor rating for this building in accordance to Section 19.1.6.2 and Table 19.1.6.2 in NFPA 101-Life Safety Code as evidenced by the following item(s). This deficiency could affect all of the patients, staff and and undetermined number of visitors within two of the six (6) smoke compartments on these two floors of the hospital.

Findings include:
1. On October 30th, 2014 at 10:27 AM, during the walk-through of the Fifth floor of the West Building; observation revealed that a 2' x 2' hole was found within the floor deck above Soiled Utility #5592. This hole did not maintain the two-hour rating of this floor of this building.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

No Description Available

Tag No.: K0012

Based on observation and staff interviews, the facility failed to provide a two-hour rating required to separate two buildings of different types of construction class in accordance to Section 19.1.6.1 and Table 19.1.6.2 in NFPA 101-Life Safety Code as evidenced by the following item(s). This deficiency could affect all of the patients, staff and and undetermined number of visitors within two of the Thirteen (13) smoke compartments on this floor of the hospital.

Findings include:
1. On October 27th at 2:38 PM it was observed that the West wall of Corridor #701A and Walk-in Cooler #719 (Ground floor) were not shown as two-hour fire barriers on the Life Safety plan to maintain the class of construction separation between an addition with a different class of construction than the hospital.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

No Description Available

Tag No.: K0018

Based on observation and staff interviews, the facility failed to provide corridor doors that in accordance to NFPA 101-Life Safety Code Sections 19.3.6.3.1 and 19.3.6.3.2, as evidenced by the following item(s). This deficiency could affect all of the patients, staff and and undetermined number of visitors within one of the twelve (12) smoke compartments on this floor of the hospital.

Findings Include:
1. On October 28th at 3:32 PM [on the third floor], it was observed that the paired doors from Respiratory Care #3A29 into the corridor were not equipped with an astragal to make this opening smoke-tight to the corridor. This does not comply with Section 19.3.6.3.1 which states; "...and shall resist the passage of smoke."

2. On October 29th at 8:31 AM [on the second floor], it was observed that the paired doors from the ED department into the Corridor #2A101 (near Room #10) were not equipped with an astragal to make this opening smoke-tight to the corridor. This does not comply with Section 19.3.6.3.1 which states; "...and shall resist the passage of smoke."

3. On October 29th at 8:31 AM [on the second floor], it was observed that the paired doors at the south end of Corridor #2B27 were not equipped with an astragal to make this opening smoke-tight to the Exit passageway of the Stairwell. This does not comply with Section 19.3.6.3.1 which states; "...and shall resist the passage of smoke."

4. On October 29th at 10:01 AM [on the second floor], it was observed that the following doors into Corridor #2B73 were not equipped with positive latching. Or provided with a suitable means to keep the door closed if 5 lb/ft of force is applied at the strike side to comply with Section 19.3.6.3.2 which states; ""...had sufficient means to keep the door closed when 5 lb/ft is applied to the latch side..." The doors are from CR Equip #2B74, X-ray #1(2B79, X-ray #2(2B75), X-ray #3(2B68), X-ray #4(2B66) and the southeast door from X-ray #4 into Corridor #2B63.

5. On October 29th at 11:30 AM [on the second floor], it was observed that the following doors within the Surgery Department did not have positive latching. Or provided with a suitable means to keep the door closed if 5 lb/ft of force is applied at the strike side to comply with Section 19.3.6.3.2 which states; ""...had sufficient means to keep the door closed when 5 lb/ft is applied to the latch side..." The main door into OR #4, #5, #6, #7, #8, #9, #10, #11, #12, #13, #14 and OR/Interop MRI.

6. On October 29th at 11:40 AM [on the second floor], it was observed that the following doors within the Surgery Department did not have positive latching [or a suitable means to keep the door closed] and were not smoke-tight to comply with Section 19.3.6.3.1 and 19.3.6.3.2. The doors are located in Scrub #2C91, #2C96, #2C102, #2C108, #2C114, #2C121, #2C126.

7. On October 29th at 1:08 PM [on the second floor], it was observed that the two sets of paired doors from Corridor #2304 and Corridor #2352 into Suites #2-F2, #2-F4 were not equipped with an astragal to make the opening smoke-tight to the corridor. This does not comply with Section 19.3.6.3.1 which states; "...and shall resist the passage of smoke."

8. On October 29th at 1:16 PM [on the first floor], it was observed that the paired doors from Procedure #1C84 into the Corridor were not smoke-tight. A visible gap was found at the meeting edges of these doors and no astragal was installed on the doors. This does not comply with Section 19.3.6.3.1 which states; "...and shall resist the passage of smoke."

9. On October 29th at 1:43 PM [on the first floor], it was observed that the door into Office #1I56 could not keep the door closed if 5 lb/ft of force was applied at the strike side to comply with Section 19.3.6.3.2 which states; ""...had sufficient means to keep the door closed when 5 lb/ft is applied to the latch side..."

10. On October 29th at 1:50 PM [on the first floor], it was observed that the southwest door from the Gym #1I65 could not keep the door closed if 5 lb/ft of force was applied at the strike side to comply with Section 19.3.6.3.2 which states; ""...had sufficient means to keep the door closed when 5 lb/ft is applied to the latch side..." The door was also equipped with a manual deadbolt.

11. On October 30th at 1:53 PM [on the first floor], it was observed that the two sets of paired doors from Waiting #114 into the Corridor were not smoke-tight. A visible gap was found at the meeting edges of these doors and no astragal was installed on the doors. This does not comply with Section 19.3.6.3.1 which states; "...and shall resist the passage of smoke."

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

No Description Available

Tag No.: K0018

Based on observation and staff interviews, the facility failed to provide corridor doors that "...shall be constructed to resist the passage of smoke..." in accordance to NFPA 101-Life Safety Code Section 19.3.6.3.1 Corridor Doors, as evidenced by the following item(s). This deficiency could affect all of the patients, staff and and undetermined number of visitors within one of the three (3) smoke compartments on this floor of the hospital.

Findings Include:
1. On October 30th at 9:58 AM, during the walk-through of the Third floor of the West Building; it was observed that the paired doors into PICU-Suite 3W-1 from the Corridor were not smoke-tight. A visible gap was found at the meeting edges of these doors and no astragal was installed on the doors.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

No Description Available

Tag No.: K0029

Based on observation and staff interviews, it was observed that the facility failed to provide and maintain the one-hour rated enclosures with 45-minute rated doors per NFPA 101 [2000 Ed] Section 19.3.2.1 Hazardous areas, as evidenced by the following item(s). This deficient practice could affect all of the patients in the smoke compartment where these rooms were located, as well as an undetermined number of staff and visitors.

Findings include:
1. On October 27th at 2:11 PM [on the ground floor] it was observed during the review of the life safety plans that the south wall of Med Surg Storage #109A was not a one-hour fire barrier to completely enclose this hazardous area.

2. On October 28th at 10:45 AM [on the seventh floor] it was observed the south door (45-minute rated) into Clean Utility #7051 had been field modified. Field modifications negate the rating established by the door manufacturer.

3. On October 28th at 11:09 AM [on the sixth floor] it was observed the south door (45-minute rated) into Soiled Utility #6053 had been field modified. Field modifications negate the rating established by the door manufacturer.

4. On October 28th at 12:29 PM [on the fifth floor] it was observed the door (45-minute rated) into Soiled Utility #5B109 had been field modified. Field modifications negate the rating established by the door manufacturer.

5. On October 28th at 3:48 PM [on the third floor] it was observed the paired doors (45-minute rated) into Workroom Storage #3A33 were not marked with 45-minute tags.

6. On October 28th at 3:59 PM [on the third floor] it was observed the south wall of Workroom Storage #3A33 was not taped and mudded or fire caulked to a one-hour fire barrier standard.

7. On October 29th at 7:56 AM [on the third floor] it was observed that five holes were found in the wall of EKG/EEG.

8. On October 29th at 8:37 AM [on the second floor] it was observed in Soiled Utility #2A147 that the penetrations into the walls of this room were not fire-caulked to a one-hour standard.

9. On October 29th at 9:21 AM [on the second floor] it was observed that the east wall of Clean Utility #2B19 was not drywalled to the deck above. A complete one-hour enclosure for a hazardous area is missing.

10. On October 29th at 9:23 AM [on the second floor] it was observed in Soiled Utility #2B21 was not drywalled to the deck above at the north and east walls. A complete one-hour enclosure for a hazardous area is missing.

11. On October 29th at 9:25 AM [on the second floor] it was observed on the east wall of Storage #2B18 the screwheads were not mudded to a one-hour standard. Two electrical conduit into the south wall were not fire-caulked to a one-hour.

12. On October 29th at 9:25 AM [on the second floor] it was observed that the south wall of Storage #2B143 was not taped and mudded to a one-hour standard. An hvac duct penetrating the east and south walls was not provided with a metal angle at the wall face and fire caulked. Two electrical conduits into the west wall were not fire caulked.

13. On October 29th at 10:18 AM [on the second floor] it was observed within Biomed Workroom #2B61 that holes in the east and north wall holes were not covered with gypsum wallboard and taped and mudded to a one-hour. The west wall had no gypsum wallboard installed along its' face. No penetrations were fire caulked. A complete one-hour enclosure for a hazardous area is missing.

14. On October 29th at 2:25 PM [on the first floor] it was observed in Soiled Utility #1415 that the concrete block surrounding this room did not have any penetrations fire-caulked to a one-hour standard. The two doors into this room were not fire-rated to a 45-minute rating.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

No Description Available

Tag No.: K0029

Based on observation and staff interviews, it was observed that the facility failed to provide and maintain the one-hour rated enclosures with 45-minute rated doors per NFPA 101 [2000 Ed] Section 19.3.2.1 Hazardous areas, as evidenced by the following item(s). This deficient practice could affect all of the patients in the smoke compartment where these rooms were located, as well as an undetermined number of staff and visitors.

Findings include:
1. On October 30th at 10:01 AM it was observed that Clean Utility #2527 [Second floor] walls were not taped and covered with joint compound at all butt joints within the wall face to insure a one-hour fire barrier rating. Also no penetrations were fire-caulked to a one-hour fire barrier standard. This condition does not meet NFPA 101 Section 19.3.2.1.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

No Description Available

Tag No.: K0038

Based on observation and staff interviews, it was observed that the facility did not provide exit access in accordance to NFPA 101-Life Safety Code[2000 Ed] Sections 19.2.1 and 7.1.3.2.1 (e), as evidenced by the following item. This deficiency could affect all of the patients, staff and undetermined number of visitors within this hospital that use this exit.

Findings Include:
1. On October 28th, 2014 at 8:29 AM, during record review of the categorical waivers from Joint Commission; it was observed that the facility has mechanical spaces that open directly into an exit enclosure or an exit passageway serving an exit enclosure. Mechanical #GA4 [on the Ground floor] has two doors in the east wall that open into Corridor #GA7 [this is an exit passageway serving Stair F and Stair B] of the Ground floor. The facility requests the implementation of Item #2 from the Categorical Waiver list within CMS #S&C: 13-58-LSC memo.

2. On October 28th, 2014 at 8:32 AM, during record review of the categorical waivers from Joint Commission; it was observed that the facility has mechanical spaces that open directly into an exit enclosure or an exit passageway serving an exit enclosure. The Laundry department [on the First floor], specifically Storage #1509 opens into Transition Corridor #1512 [this is an exit passageway serving Stair #1511]. The facility requests the implementation of Item #2 from the Categorical Waiver list within CMS #S&C: 13-58-LSC memo.

3. On October 28th, 2014 at 8:36 AM, during record review of the categorical waivers from Joint Commission; it was observed that the facility has mechanical spaces that open directly into an exit enclosure or an exit passageway serving an exit enclosure. Storage Equipment #2C166 [on the Second floor] has a door in the south wall that opens into Corridor #[no number on plan set]. This corridor is an exit passageway that serves the nearby Stair #[no number]. The facility requests the implementation of Item #2 from the Categorical Waiver list within CMS #S&C: 13-58-LSC memo.

4. On October 28th, 2014 at 8:38 AM, during record review of the categorical waivers from Joint Commission; it was observed that the facility has mechanical spaces that open directly into an exit enclosure or an exit passageway serving an exit enclosure. Mechanical #2B1 [on the Second floor] has a door in the east wall that opens into Passage #[no number on plan set]. This is a corridor not a passage that functions as an exit passageway for Stair #5. The facility requests the implementation of Item #2 from the Categorical Waiver list within CMS #S&C: 13-58-LSC memo.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

No Description Available

Tag No.: K0041

Based on observation and staff interviews, the facility failed to provide exit access doors in accordance to NFPA 101-Life Safety Code [2000 Ed], Section 19.2.5.1 which states, "Every habitable room shall have an exit access door leading directly to a corridor", as evidenced by the following item(s). This deficiency could affect all of the patients, staff and and undetermined number of visitors within one of the fourteen (14) smoke compartments on this floor of the hospital.

Findings include:
1. On October 27th at 3:15 PM it was observed within the First Floor Life Safety plan that the following rooms did not have a door that opened directly to a corridor. The rooms are: Office #1C41, Staff #1C39, Office #1C37, #1C42 and Passage #1C43.

2. On October 27th at 3:15 PM it was observed within the First Floor Life Safety plan that the following rooms did not have a door that opened directly to a corridor. The rooms are: Diagnostic #1C87, Control #1C86, Toilet #1C85, Passage #1C84, Proc. Inject #1C84c, Proc. Inject #1C84b, Proc. Inject #1C84c and Workroom #1C83.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

No Description Available

Tag No.: K0056

Based on observation and staff interviews, it was observed that the facility failed to provide an automatic sprinkler system per NFPA 101-Life Safety Code Sections 19.3.5.1 and 9.7, as evidenced by the following item. This deficiency could affect all of the patients, staff and and undetermined number of visitors within the smoke compartment of this hospital floor.

Findings Include:
1. On October 28th, 2014 at 10:33 AM, during the walk-through of the Eighth floor of the 1978 Building; observation revealed that only one sprinkler head was found within Womens' Locker #8I08A. The distance from this head to the west wall was greater than 9 feet and does not comply with Section 5-6.3.2 of NFPA 13 [1999 Ed.].

2. On October 28th, 2014 at 10:40 AM, during the walk-through of the Seventh floor of the 1978 Building; observation revealed that only one sprinkler head was found within Womens' Locker #7I08A. The distance from this head to the west wall was greater than 9 feet and does not comply with Section 5-6.3.2 of NFPA 13 [1999 Ed.].

3. On October 28th, 2014 at 11:07 AM, during the walk-through of the Sixth floor of the 1978 Building; observation revealed that only one sprinkler head was found within Womens' Locker #6I08A. The distance from this head to the west wall was greater than 9 feet and does not comply with Section 5-6.3.2 of NFPA 13 [1999 Ed.].

4. On October 29th, 2014 at 1:35 PM, during the walk-through of the First floor of the 1978 Building; observation revealed that no sprinkler head was found within Electrical room #1C8. This does not comply with Section 5-1.1 of NFPA 13 [1999 Ed.] which requires "...sprinklers installed throughout the premises..."

5. On October 29th, 2014 at 2:19 PM, during the walk-through of the First floor of the 1978 Building; observation revealed that no sprinkler head was found within Computer room #1413. This does not comply with Section 5-1.1 of NFPA 13 [1999 Ed.] which requires "...sprinklers installed throughout the premises..."

6. On October 28th, 2014 at 2:29 PM, during the walk-through of the First floor of the 1978 Building; observation revealed that two sprinkler heads were found within the Pyxis alcove #6I08A were less than 6'-0" apart. The distance does not comply with Section 5-6.3.4 of NFPA 13 [1999 Ed.] which states; "Sprinkler heads shall be spaced not less than 6'-0" on-center."

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

No Description Available

Tag No.: K0056

Based on observation and staff interviews, it was observed that the facility failed to provide an automatic sprinkler system per NFPA 101-Life Safety Code Sections 19.3.5.1 and 9.7, as evidenced by the following item. This deficiency could affect all of the patients, staff and and undetermined number of visitors within the three (3) smoke compartments of this hospital floor.

Findings Include:
1. On October 30th, 2014 at 10:18 AM, during the walk-through of the Fifth floor of the West Building; observation revealed that no sprinkler head was found within Electrical Closet #5536A. This does not comply with Section 5-1.1 of NFPA 13 [1999 Ed.] which requires "...sprinklers installed throughout the premises..."

2. On October 30th, 2014 at 10:30 AM, during the walk-through of the Fifth floor of the West Building; observation revealed that no sprinkler head was found within Electrical Closet #5601A. This does not comply with Section 5-1.1 of NFPA 13 [1999 Ed.] which requires "...sprinklers installed throughout the premises..."

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

No Description Available

Tag No.: K0062

Based on observation and staff interviews, it was observed that the facility testing of the fire pump was not in accordance to NFPA 25-Standard for Testing and Maintenance of Water-based Fire Protection Systems[1998 Ed] as evidenced by the following item. This deficiency could affect all of the patients, staff and and undetermined number of visitors within this hospital.

Findings Include:
1. On October 28th, 2014 at 8:19 AM, during record review of categorical waivers from Joint Commission; that the facility was testing the fire pump less frequently than is required by the NFPA 25[1998 Ed]. The facility requests the implementation of Item #6 from the Categorical Waiver list within CMS #S&C: 13-58-LSC memo.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

No Description Available

Tag No.: K0067

Based on observation and staff interviews, it was observed that the facility in accordance to NFPA 101-Life Safety Code [2000 Ed] Section 9.2.1, NFPA 90A [1999 Ed] Section 6-1.2.1 ASHRAE Handbook [1996] , as evidenced by the following item. This deficiency could affect all of the patients, staff and and undetermined number of visitors within this hospital.

Findings Include:
1. On October 28th, 2014 at 3:22 PM it was observed in the Med ICU suites that the patient rooms were equipped with a toilet in the same space as the patient bed. Air exchanges shall meet more restrictive requirements for a toilet room in accordance to ASHRAE Standards.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

No Description Available

Tag No.: K0130

Based on observation and staff interviews, it was observed that the facility failed to provide the proper signage per NFPA 101-Life Safety Code- Sections 19.2.2.2.4-Exception No.2 and 7.2.1.6.1(d) as evidenced by the following item(s). This deficient practice could affect all of the patients within the three (3) smoke compartments of this floor, as well as an undetermined number of staff and visitors.

Findings include:
1. On October 30th at 10:10 AM it was observed that all of the doors into the exit stairwells from the Fifth floor were equipped with delayed locks for the patients' safety (brain trauma unit). The signage did not list the time duration of these delayed locks; to comply with Section 7.2.1.6.1 (d).

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

No Description Available

Tag No.: K0130

Based on observation and staff interviews, the facility failed to provide components within the building that met NFPA 101-Life Safety Code as evidenced by the following item(s). This deficiency could affect all of the patients, staff and and undetermined number of visitors within one of the fourteen (14) smoke compartments on this floor of the hospital.

Findings include:
1. On October 27th at 2:55 PM it was observed within the First Floor Life Safety plan that Suite #1-E7 was 11,004 square feet in size. This does not meet Section 19.2.5.7 which states, "Suites of rooms, other than patient sleeping rooms, shall not exceed 10,000 square ft."

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

LIFE SAFETY CODE STANDARD

Tag No.: K0012

Based on observation and staff interviews, the facility failed to protect openings between floors to maintain the two-hour floor rating for this building in accordance to Section 19.1.6.2 and Table 19.1.6.2 in NFPA 101-Life Safety Code as evidenced by the following item(s). This deficiency could affect all of the patients, staff and and undetermined number of visitors within two of the six (6) smoke compartments on these two floors of the hospital.

Findings include:
1. On October 30th, 2014 at 10:27 AM, during the walk-through of the Fifth floor of the West Building; observation revealed that a 2' x 2' hole was found within the floor deck above Soiled Utility #5592. This hole did not maintain the two-hour rating of this floor of this building.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

LIFE SAFETY CODE STANDARD

Tag No.: K0012

Based on observation and staff interviews, the facility failed to provide a two-hour rating required to separate two buildings of different types of construction class in accordance to Section 19.1.6.1 and Table 19.1.6.2 in NFPA 101-Life Safety Code as evidenced by the following item(s). This deficiency could affect all of the patients, staff and and undetermined number of visitors within two of the Thirteen (13) smoke compartments on this floor of the hospital.

Findings include:
1. On October 27th at 2:38 PM it was observed that the West wall of Corridor #701A and Walk-in Cooler #719 (Ground floor) were not shown as two-hour fire barriers on the Life Safety plan to maintain the class of construction separation between an addition with a different class of construction than the hospital.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

LIFE SAFETY CODE STANDARD

Tag No.: K0018

Based on observation and staff interviews, the facility failed to provide corridor doors that in accordance to NFPA 101-Life Safety Code Sections 19.3.6.3.1 and 19.3.6.3.2, as evidenced by the following item(s). This deficiency could affect all of the patients, staff and and undetermined number of visitors within one of the twelve (12) smoke compartments on this floor of the hospital.

Findings Include:
1. On October 28th at 3:32 PM [on the third floor], it was observed that the paired doors from Respiratory Care #3A29 into the corridor were not equipped with an astragal to make this opening smoke-tight to the corridor. This does not comply with Section 19.3.6.3.1 which states; "...and shall resist the passage of smoke."

2. On October 29th at 8:31 AM [on the second floor], it was observed that the paired doors from the ED department into the Corridor #2A101 (near Room #10) were not equipped with an astragal to make this opening smoke-tight to the corridor. This does not comply with Section 19.3.6.3.1 which states; "...and shall resist the passage of smoke."

3. On October 29th at 8:31 AM [on the second floor], it was observed that the paired doors at the south end of Corridor #2B27 were not equipped with an astragal to make this opening smoke-tight to the Exit passageway of the Stairwell. This does not comply with Section 19.3.6.3.1 which states; "...and shall resist the passage of smoke."

4. On October 29th at 10:01 AM [on the second floor], it was observed that the following doors into Corridor #2B73 were not equipped with positive latching. Or provided with a suitable means to keep the door closed if 5 lb/ft of force is applied at the strike side to comply with Section 19.3.6.3.2 which states; ""...had sufficient means to keep the door closed when 5 lb/ft is applied to the latch side..." The doors are from CR Equip #2B74, X-ray #1(2B79, X-ray #2(2B75), X-ray #3(2B68), X-ray #4(2B66) and the southeast door from X-ray #4 into Corridor #2B63.

5. On October 29th at 11:30 AM [on the second floor], it was observed that the following doors within the Surgery Department did not have positive latching. Or provided with a suitable means to keep the door closed if 5 lb/ft of force is applied at the strike side to comply with Section 19.3.6.3.2 which states; ""...had sufficient means to keep the door closed when 5 lb/ft is applied to the latch side..." The main door into OR #4, #5, #6, #7, #8, #9, #10, #11, #12, #13, #14 and OR/Interop MRI.

6. On October 29th at 11:40 AM [on the second floor], it was observed that the following doors within the Surgery Department did not have positive latching [or a suitable means to keep the door closed] and were not smoke-tight to comply with Section 19.3.6.3.1 and 19.3.6.3.2. The doors are located in Scrub #2C91, #2C96, #2C102, #2C108, #2C114, #2C121, #2C126.

7. On October 29th at 1:08 PM [on the second floor], it was observed that the two sets of paired doors from Corridor #2304 and Corridor #2352 into Suites #2-F2, #2-F4 were not equipped with an astragal to make the opening smoke-tight to the corridor. This does not comply with Section 19.3.6.3.1 which states; "...and shall resist the passage of smoke."

8. On October 29th at 1:16 PM [on the first floor], it was observed that the paired doors from Procedure #1C84 into the Corridor were not smoke-tight. A visible gap was found at the meeting edges of these doors and no astragal was installed on the doors. This does not comply with Section 19.3.6.3.1 which states; "...and shall resist the passage of smoke."

9. On October 29th at 1:43 PM [on the first floor], it was observed that the door into Office #1I56 could not keep the door closed if 5 lb/ft of force was applied at the strike side to comply with Section 19.3.6.3.2 which states; ""...had sufficient means to keep the door closed when 5 lb/ft is applied to the latch side..."

10. On October 29th at 1:50 PM [on the first floor], it was observed that the southwest door from the Gym #1I65 could not keep the door closed if 5 lb/ft of force was applied at the strike side to comply with Section 19.3.6.3.2 which states; ""...had sufficient means to keep the door closed when 5 lb/ft is applied to the latch side..." The door was also equipped with a manual deadbolt.

11. On October 30th at 1:53 PM [on the first floor], it was observed that the two sets of paired doors from Waiting #114 into the Corridor were not smoke-tight. A visible gap was found at the meeting edges of these doors and no astragal was installed on the doors. This does not comply with Section 19.3.6.3.1 which states; "...and shall resist the passage of smoke."

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

LIFE SAFETY CODE STANDARD

Tag No.: K0018

Based on observation and staff interviews, the facility failed to provide corridor doors that "...shall be constructed to resist the passage of smoke..." in accordance to NFPA 101-Life Safety Code Section 19.3.6.3.1 Corridor Doors, as evidenced by the following item(s). This deficiency could affect all of the patients, staff and and undetermined number of visitors within one of the three (3) smoke compartments on this floor of the hospital.

Findings Include:
1. On October 30th at 9:58 AM, during the walk-through of the Third floor of the West Building; it was observed that the paired doors into PICU-Suite 3W-1 from the Corridor were not smoke-tight. A visible gap was found at the meeting edges of these doors and no astragal was installed on the doors.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

LIFE SAFETY CODE STANDARD

Tag No.: K0029

Based on observation and staff interviews, it was observed that the facility failed to provide and maintain the one-hour rated enclosures with 45-minute rated doors per NFPA 101 [2000 Ed] Section 19.3.2.1 Hazardous areas, as evidenced by the following item(s). This deficient practice could affect all of the patients in the smoke compartment where these rooms were located, as well as an undetermined number of staff and visitors.

Findings include:
1. On October 27th at 2:11 PM [on the ground floor] it was observed during the review of the life safety plans that the south wall of Med Surg Storage #109A was not a one-hour fire barrier to completely enclose this hazardous area.

2. On October 28th at 10:45 AM [on the seventh floor] it was observed the south door (45-minute rated) into Clean Utility #7051 had been field modified. Field modifications negate the rating established by the door manufacturer.

3. On October 28th at 11:09 AM [on the sixth floor] it was observed the south door (45-minute rated) into Soiled Utility #6053 had been field modified. Field modifications negate the rating established by the door manufacturer.

4. On October 28th at 12:29 PM [on the fifth floor] it was observed the door (45-minute rated) into Soiled Utility #5B109 had been field modified. Field modifications negate the rating established by the door manufacturer.

5. On October 28th at 3:48 PM [on the third floor] it was observed the paired doors (45-minute rated) into Workroom Storage #3A33 were not marked with 45-minute tags.

6. On October 28th at 3:59 PM [on the third floor] it was observed the south wall of Workroom Storage #3A33 was not taped and mudded or fire caulked to a one-hour fire barrier standard.

7. On October 29th at 7:56 AM [on the third floor] it was observed that five holes were found in the wall of EKG/EEG.

8. On October 29th at 8:37 AM [on the second floor] it was observed in Soiled Utility #2A147 that the penetrations into the walls of this room were not fire-caulked to a one-hour standard.

9. On October 29th at 9:21 AM [on the second floor] it was observed that the east wall of Clean Utility #2B19 was not drywalled to the deck above. A complete one-hour enclosure for a hazardous area is missing.

10. On October 29th at 9:23 AM [on the second floor] it was observed in Soiled Utility #2B21 was not drywalled to the deck above at the north and east walls. A complete one-hour enclosure for a hazardous area is missing.

11. On October 29th at 9:25 AM [on the second floor] it was observed on the east wall of Storage #2B18 the screwheads were not mudded to a one-hour standard. Two electrical conduit into the south wall were not fire-caulked to a one-hour.

12. On October 29th at 9:25 AM [on the second floor] it was observed that the south wall of Storage #2B143 was not taped and mudded to a one-hour standard. An hvac duct penetrating the east and south walls was not provided with a metal angle at the wall face and fire caulked. Two electrical conduits into the west wall were not fire caulked.

13. On October 29th at 10:18 AM [on the second floor] it was observed within Biomed Workroom #2B61 that holes in the east and north wall holes were not covered with gypsum wallboard and taped and mudded to a one-hour. The west wall had no gypsum wallboard installed along its' face. No penetrations were fire caulked. A complete one-hour enclosure for a hazardous area is missing.

14. On October 29th at 2:25 PM [on the first floor] it was observed in Soiled Utility #1415 that the concrete block surrounding this room did not have any penetrations fire-caulked to a one-hour standard. The two doors into this room were not fire-rated to a 45-minute rating.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

LIFE SAFETY CODE STANDARD

Tag No.: K0029

Based on observation and staff interviews, it was observed that the facility failed to provide and maintain the one-hour rated enclosures with 45-minute rated doors per NFPA 101 [2000 Ed] Section 19.3.2.1 Hazardous areas, as evidenced by the following item(s). This deficient practice could affect all of the patients in the smoke compartment where these rooms were located, as well as an undetermined number of staff and visitors.

Findings include:
1. On October 30th at 10:01 AM it was observed that Clean Utility #2527 [Second floor] walls were not taped and covered with joint compound at all butt joints within the wall face to insure a one-hour fire barrier rating. Also no penetrations were fire-caulked to a one-hour fire barrier standard. This condition does not meet NFPA 101 Section 19.3.2.1.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

LIFE SAFETY CODE STANDARD

Tag No.: K0038

Based on observation and staff interviews, it was observed that the facility did not provide exit access in accordance to NFPA 101-Life Safety Code[2000 Ed] Sections 19.2.1 and 7.1.3.2.1 (e), as evidenced by the following item. This deficiency could affect all of the patients, staff and undetermined number of visitors within this hospital that use this exit.

Findings Include:
1. On October 28th, 2014 at 8:29 AM, during record review of the categorical waivers from Joint Commission; it was observed that the facility has mechanical spaces that open directly into an exit enclosure or an exit passageway serving an exit enclosure. Mechanical #GA4 [on the Ground floor] has two doors in the east wall that open into Corridor #GA7 [this is an exit passageway serving Stair F and Stair B] of the Ground floor. The facility requests the implementation of Item #2 from the Categorical Waiver list within CMS #S&C: 13-58-LSC memo.

2. On October 28th, 2014 at 8:32 AM, during record review of the categorical waivers from Joint Commission; it was observed that the facility has mechanical spaces that open directly into an exit enclosure or an exit passageway serving an exit enclosure. The Laundry department [on the First floor], specifically Storage #1509 opens into Transition Corridor #1512 [this is an exit passageway serving Stair #1511]. The facility requests the implementation of Item #2 from the Categorical Waiver list within CMS #S&C: 13-58-LSC memo.

3. On October 28th, 2014 at 8:36 AM, during record review of the categorical waivers from Joint Commission; it was observed that the facility has mechanical spaces that open directly into an exit enclosure or an exit passageway serving an exit enclosure. Storage Equipment #2C166 [on the Second floor] has a door in the south wall that opens into Corridor #[no number on plan set]. This corridor is an exit passageway that serves the nearby Stair #[no number]. The facility requests the implementation of Item #2 from the Categorical Waiver list within CMS #S&C: 13-58-LSC memo.

4. On October 28th, 2014 at 8:38 AM, during record review of the categorical waivers from Joint Commission; it was observed that the facility has mechanical spaces that open directly into an exit enclosure or an exit passageway serving an exit enclosure. Mechanical #2B1 [on the Second floor] has a door in the east wall that opens into Passage #[no number on plan set]. This is a corridor not a passage that functions as an exit passageway for Stair #5. The facility requests the implementation of Item #2 from the Categorical Waiver list within CMS #S&C: 13-58-LSC memo.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

LIFE SAFETY CODE STANDARD

Tag No.: K0041

Based on observation and staff interviews, the facility failed to provide exit access doors in accordance to NFPA 101-Life Safety Code [2000 Ed], Section 19.2.5.1 which states, "Every habitable room shall have an exit access door leading directly to a corridor", as evidenced by the following item(s). This deficiency could affect all of the patients, staff and and undetermined number of visitors within one of the fourteen (14) smoke compartments on this floor of the hospital.

Findings include:
1. On October 27th at 3:15 PM it was observed within the First Floor Life Safety plan that the following rooms did not have a door that opened directly to a corridor. The rooms are: Office #1C41, Staff #1C39, Office #1C37, #1C42 and Passage #1C43.

2. On October 27th at 3:15 PM it was observed within the First Floor Life Safety plan that the following rooms did not have a door that opened directly to a corridor. The rooms are: Diagnostic #1C87, Control #1C86, Toilet #1C85, Passage #1C84, Proc. Inject #1C84c, Proc. Inject #1C84b, Proc. Inject #1C84c and Workroom #1C83.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

LIFE SAFETY CODE STANDARD

Tag No.: K0056

Based on observation and staff interviews, it was observed that the facility failed to provide an automatic sprinkler system per NFPA 101-Life Safety Code Sections 19.3.5.1 and 9.7, as evidenced by the following item. This deficiency could affect all of the patients, staff and and undetermined number of visitors within the smoke compartment of this hospital floor.

Findings Include:
1. On October 28th, 2014 at 10:33 AM, during the walk-through of the Eighth floor of the 1978 Building; observation revealed that only one sprinkler head was found within Womens' Locker #8I08A. The distance from this head to the west wall was greater than 9 feet and does not comply with Section 5-6.3.2 of NFPA 13 [1999 Ed.].

2. On October 28th, 2014 at 10:40 AM, during the walk-through of the Seventh floor of the 1978 Building; observation revealed that only one sprinkler head was found within Womens' Locker #7I08A. The distance from this head to the west wall was greater than 9 feet and does not comply with Section 5-6.3.2 of NFPA 13 [1999 Ed.].

3. On October 28th, 2014 at 11:07 AM, during the walk-through of the Sixth floor of the 1978 Building; observation revealed that only one sprinkler head was found within Womens' Locker #6I08A. The distance from this head to the west wall was greater than 9 feet and does not comply with Section 5-6.3.2 of NFPA 13 [1999 Ed.].

4. On October 29th, 2014 at 1:35 PM, during the walk-through of the First floor of the 1978 Building; observation revealed that no sprinkler head was found within Electrical room #1C8. This does not comply with Section 5-1.1 of NFPA 13 [1999 Ed.] which requires "...sprinklers installed throughout the premises..."

5. On October 29th, 2014 at 2:19 PM, during the walk-through of the First floor of the 1978 Building; observation revealed that no sprinkler head was found within Computer room #1413. This does not comply with Section 5-1.1 of NFPA 13 [1999 Ed.] which requires "...sprinklers installed throughout the premises..."

6. On October 28th, 2014 at 2:29 PM, during the walk-through of the First floor of the 1978 Building; observation revealed that two sprinkler heads were found within the Pyxis alcove #6I08A were less than 6'-0" apart. The distance does not comply with Section 5-6.3.4 of NFPA 13 [1999 Ed.] which states; "Sprinkler heads shall be spaced not less than 6'-0" on-center."

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

LIFE SAFETY CODE STANDARD

Tag No.: K0056

Based on observation and staff interviews, it was observed that the facility failed to provide an automatic sprinkler system per NFPA 101-Life Safety Code Sections 19.3.5.1 and 9.7, as evidenced by the following item. This deficiency could affect all of the patients, staff and and undetermined number of visitors within the three (3) smoke compartments of this hospital floor.

Findings Include:
1. On October 30th, 2014 at 10:18 AM, during the walk-through of the Fifth floor of the West Building; observation revealed that no sprinkler head was found within Electrical Closet #5536A. This does not comply with Section 5-1.1 of NFPA 13 [1999 Ed.] which requires "...sprinklers installed throughout the premises..."

2. On October 30th, 2014 at 10:30 AM, during the walk-through of the Fifth floor of the West Building; observation revealed that no sprinkler head was found within Electrical Closet #5601A. This does not comply with Section 5-1.1 of NFPA 13 [1999 Ed.] which requires "...sprinklers installed throughout the premises..."

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

LIFE SAFETY CODE STANDARD

Tag No.: K0062

Based on observation and staff interviews, it was observed that the facility testing of the fire pump was not in accordance to NFPA 25-Standard for Testing and Maintenance of Water-based Fire Protection Systems[1998 Ed] as evidenced by the following item. This deficiency could affect all of the patients, staff and and undetermined number of visitors within this hospital.

Findings Include:
1. On October 28th, 2014 at 8:19 AM, during record review of categorical waivers from Joint Commission; that the facility was testing the fire pump less frequently than is required by the NFPA 25[1998 Ed]. The facility requests the implementation of Item #6 from the Categorical Waiver list within CMS #S&C: 13-58-LSC memo.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

LIFE SAFETY CODE STANDARD

Tag No.: K0067

Based on observation and staff interviews, it was observed that the facility in accordance to NFPA 101-Life Safety Code [2000 Ed] Section 9.2.1, NFPA 90A [1999 Ed] Section 6-1.2.1 ASHRAE Handbook [1996] , as evidenced by the following item. This deficiency could affect all of the patients, staff and and undetermined number of visitors within this hospital.

Findings Include:
1. On October 28th, 2014 at 3:22 PM it was observed in the Med ICU suites that the patient rooms were equipped with a toilet in the same space as the patient bed. Air exchanges shall meet more restrictive requirements for a toilet room in accordance to ASHRAE Standards.

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

LIFE SAFETY CODE STANDARD

Tag No.: K0130

Based on observation and staff interviews, it was observed that the facility failed to provide the proper signage per NFPA 101-Life Safety Code- Sections 19.2.2.2.4-Exception No.2 and 7.2.1.6.1(d) as evidenced by the following item(s). This deficient practice could affect all of the patients within the three (3) smoke compartments of this floor, as well as an undetermined number of staff and visitors.

Findings include:
1. On October 30th at 10:10 AM it was observed that all of the doors into the exit stairwells from the Fifth floor were equipped with delayed locks for the patients' safety (brain trauma unit). The signage did not list the time duration of these delayed locks; to comply with Section 7.2.1.6.1 (d).

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).

LIFE SAFETY CODE STANDARD

Tag No.: K0130

Based on observation and staff interviews, the facility failed to provide components within the building that met NFPA 101-Life Safety Code as evidenced by the following item(s). This deficiency could affect all of the patients, staff and and undetermined number of visitors within one of the fourteen (14) smoke compartments on this floor of the hospital.

Findings include:
1. On October 27th at 2:55 PM it was observed within the First Floor Life Safety plan that Suite #1-E7 was 11,004 square feet in size. This does not meet Section 19.2.5.7 which states, "Suites of rooms, other than patient sleeping rooms, shall not exceed 10,000 square ft."

This condition was confirmed at the time of discovery by a concurrent observation and interview with Staff OO (VP Hospital Operations), Staff PP (Project Manager).