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Ftag of the Week – F919 Resident Call System

This week’s Ftag of the Week on the CMSCG Blog is F919 Resident Call System which is part of the Physical Environment regulatory group. F919 was effective in Phase 1, but there is a Phase 3 requirement that will become effective in November.

F919 requires that nursing homes have adequately equipped communications systems to allow residents to call for staff assistance. The system must relay the call directly to a staff member or to a centralized location where staff are working, such as a nurses’ station. Beginning in Phase 3, this regulation also specifies that the call system must be at each resident’s bedside. Although CMS has proposed to change some of the RoPs and delay certain Phase 3 requirements, the requirement for the call system at the resident’s bedside is not one of the ones that a delay is proposed for, so if your facility does not have this in place, it’s time to start thinking about working on it.

Unlike some of the other deficiencies we have discussed under the Physical Environment regulatory group in the past couple of posts, F919 has been cited pretty frequently under the LTCSP, and has been used to cite multiple issues. Here are some sample citations:

 Surveyors can easily observe whether a functioning call system is in place, if staff are responding or ignoring requests for help, and surveyors can certainly recognize if centralized alert systems are not functioning properly or not loud enough for staff to be notified. Staff need to ensure that residents have the ability to request help, whether it is in bed (Phase 3) or in a common bathroom. If there are issues identified with rooms lacking the appropriate equipment, maintenance needs to be notified to address this in a timely manner. Perhaps most importantly, call bell response times need to be monitored, as they are a frequent topic of resident complaints.

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