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32 | LPA also toured the attached garage located next to the child care room. LPA observed a lock on the door preventing access to children in care. LPA advised Applicant to make sure that the garage is locked during hours of operation to ensure that children in care do not have access. LPA did not observe any bodies of water.
LPA discussed protocol in place regarding COVID-19. Applicant stated protocol in place is not having parents fully enter the facility and sign-in/out will take place at the side entrance located near the front door. Health screenings will be conducted by the side entrance. The child care room is big enough to meet the six feet distance. Applicant will evaluate children for any symptoms such as fever, running nose, cough or child's behavior and will inform authorized representative child cannot stay if any symptoms related to COVID-19; or if symptoms appear during the day, applicant will isolate the child and call authorized representative for immediate pick-up. Children will wash their hands during arrival, entering from outdoor play, meal times, covering their cough, and from using the restroom. LPA observed COVID-19 posters in the child care room and the entrance to the child care room. It was stated that the staff is aware of cleaning, disinfecting, sanitizing and the importance of constant hand-washing.
At this time, the Applicant is in compliance with California Title 22 Regulations. After further review by the department, Licensee will be notified if/when large license is granted. Once licensed, the Licensee is required to adhere to the terms and limitation as stated on the license.
Exit interview was conducted with Deseree Chase, via tele-inspection, during which appeal rights were explained. This report along with a copy of the appeal rights will be sent to the Applicant via email with a read receipt or confirmation of receipt of email, which will act as the Applicants signature
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