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Home › FL › Miami Springs › Miami Springs Elementary
51 Park St, Miami Springs FL 33166 · License #E11MD0195 · Center · Child Care Facility
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23-02 · Fire Drills
Licensing Specialist requested fire inspection and provider had and expired on from October 22, 2024.Technical Assistance was given on Fire Safety and Emergency Preparedness To ensure the safety of children in care, facilities are required to receive yearly fire inspections by a certified fire inspector, and they must perform monthly drills/exercises to practice fire, inclement weather and lockdown procedures. Frequent practice of emergency procedures will facilitate a calm and competent reaction in response to an actual emergency, should it occur. Unless statutorily exempted, all school-age childcare programs must conform to state standards adopted by the State Fire Marshal, Chapter 69A-36, F.A.C., Uniform Fire Safety Standards for Nonresidential Child Care Facilities, and must be inspected annually. A copy of the current and approved annual fire inspection report by a certified fire inspector must be on file with the licensing authority. If the program is granted a fire inspection exemption by the local fire inspection office, the exemption must be documented and maintained on file at the program
Open Not marked corrected in the state record
Category: health medication. Open / not marked corrected.
Generated from this facility's specific inspection record
Data synced from Florida DCF, Office of Child Care Regulation on Jul 8, 2026 · Source records · Report an error
22-02 · Technical assistance was given per SR handbook "All School Readiness providers must comply with fire safety and emergency preparedness requirements in DCF Rules 65C-22.001(6) and 65C- 20.008(7), F.A.C., as applicable. A. After a fire or any man-made or natural disaster, in addition to notifying the in authority, the operator must notify the local early learning coalition within 24 hours of operational status. B. Emergency 1. The School Readiness provider must notify the inspection authority and their local early learning coalition, in accordance with the Statewide School Readiness Provider Contract incorporated in Rule 4.610, F.A.C., of any incident or unusual occurrence that is threatening to the health, safety, or welfare of the children or child care personnel. The School Readiness provider must have a written plan for reporting to the early learning coalition and managing any incident or unusual occurrence that is threatening to the health, safety, or welfare of the children or child care personnel. 2. Licensed child care providers must adhere to the DCF requirement for an operable phone in section 7.12 of the Family Day Care Home and Large Family Child Care Home Handbook and in section 3.8.1 of the Child Care Facility Handbook. License-exempt and informal providers must have at least one operable telephone." This will be the third occurrence of said violation within the last 2 years. This violation was previously cited on 5.17.2023 and 1.11.2024
No on-site inspection was conducted. Re-inspection completed via requested documents emailed by LS from provider on February 8, 2024, March 4, 2024, and April 23, 2024. Provider failed to present the requested documents on multiple occasion as a result provider will be recited. During the previous SR inspection conducted on 1.11.2024 it was observed by LS the facility failed to have a current and approved fire inspection
Open Not marked corrected in the state record
Category: physical safety. Open / not marked corrected.
88-35 · Violation
2-2842. These courses include: ? Health, Safety and Nutrition; ? Identifying and Reporting Child Abuse and Neglect; ? Child Growth and Development; and ? Behavioral Observation and Screening. Additionally, providers who completed this DCF training on or before December 31, 2023, must also complete these DEL-approved health and safety modules within 180 days or by June 30, 2024: ? Health and Nutrition in the School Readiness Program and ? Safety Practices in the School Readiness Program. Providers who complete the DCF training after December 31, 2023, must complete the additional DEL-approved health and safety modules within 90 days of hire...." This will the second occurrence of this violation within the last 2- years. An extended
Open Not marked corrected in the state record
Category: background checks. Open / not marked corrected.
27-05 · Technical assistance was given to provider per SR handbook ": Upon successful completion of preservice training requirements, all child care personnel must complete the annual ten (10) clock-hours or one (1) CEU of in-service training concentrating on children ages birth through 12, as required in Rule 65C- 22.001(6), F.A.C., Child Care Facility Handbook (October 2021), Rule 65C-22.008(5), F.A.C., School-Age Child Care Facility Handbook (October 2021), or Rule 65C-20.008(7), F.A.C., Family Day Care Home and Large Family Child Care Home Handbook (October 2021), Rule 6M-4.620, F.A.C., and this handbook, as applicable. A. Child care personnel employed in a licensed or licensed-exempt child care facility or school- age program must record in-service training on CF-FSP Form 5268, Child Care In-Service Training Record (October 2017), which is incorporated by reference in Rule 65C- 22.001(7)(i), F.A.C." This will be the second occurrence of this violation within the last two years
No on-site inspection was conducted. Re-inspection completed via requested documents emailed by LS from provider on February 8, 2024, March 4, 2024, and April 23, 2024. Provider failed to present the requested documents on multiple occasion as a result provider will be recited. During the previous SR inspection conducted on 1.11.2024 it was observed by LS observed all 5 personnel to not have completed the required 10 hrs. In-service training annual
Open Not marked corrected in the state record
Category: recordkeeping. Open / not marked corrected.
27-06 · Training Requirements (Form OEL-SR-6204
No on-site inspection was conducted. Re-inspection completed via requested documents emailed by LS from provider on February 8, 2024, March 4, 2024, and April 23, 2024. Provider failed to present the requested documents on multiple occasion as a result provider will be recited. During the previous SR inspection conducted on 1.11.2024 it was observed by LS observed all 5 personnel did not have proof of 10hrs in-service training was documented on a School Readiness Program In-service Training Record or CF-FSP Form 5268. Technical assistance was given to provider per SR handbook "Child care personnel employed in a licensed or licensed-exempt child care facility or school- age program must record in-service training on CF-FSP Form 5268, Child Care In -Service Training Record (October 2017), which is incorporated by reference in Rule 65C-22.001(7)(i), F.A.C." This will be the second occurrence of this violation withing the last 2-years
Open Not marked corrected in the state record
Category: recordkeeping. Open / not marked corrected.
38-02 · Technical assistance was provided to provider on background screening requirements. This will be the third occurrence of this violation within the last 2-years, this violation was previously cited on 5.17.2023 and 1.11.2024
No on-site inspection was conducted. Re-inspection completed via requested documents emailed by LS from provider on February 8, 2024, March 4, 2024, and April 23, 2024. Provider failed to present the requested documents on multiple occasion as a result provider will be recited. During the previous SR inspection conducted on 1.11.2024 it was observed 1 personnel file to not have a completed level-2 screening clearance letter from DCF
Open Not marked corrected in the state record
Category: background checks. Open / not marked corrected.
38-02 · Technical assistance was provided to provider on background screening requirements
FSC observed 1 personnel file to not have a completed level-2 screening clearance letter from DCF
Open Not marked corrected in the state record
Category: background checks. Open / not marked corrected.
22-02 · Technical assistance was given per SR handbook "All School Readiness providers must comply with fire safety and emergency preparedness requirements in DCF Rules 65C-22.001(6) and 65C- 20.008(7), F.A.C., as applicable. A. After a fire or any man-made or natural disaster, in addition to notifying the in authority, the operator must notify the local early learning coalition within 24 hours of operational status. B. Emergency 1. The School Readiness provider must notify the inspection authority and their local early learning coalition, in accordance with the Statewide School Readiness Provider Contract incorporated in Rule 4.610, F.A.C., of any incident or unusual occurrence that is threatening to the health, safety, or welfare of the children or child care personnel. The School Readiness provider must have a written plan for reporting to the early learning coalition and managing any incident or unusual occurrence that is threatening to the health, safety, or welfare of the children or child care personnel. 2. Licensed child care providers must adhere to the DCF requirement for an operable phone in section 7.12 of the Family Day Care Home and Large Family Child Care Home Handbook and in section 3.8.1 of the Child Care Facility Handbook. License-exempt and informal providers must have at least one operable telephone." Last fire drill was conducted on 12.19.23, One fire drill using an alternate evacuation route was done on11.14.23, One fire drill in the presence and at the request of the licensing authority was done on 1.11.24, One emergency LOCKDOWN drill was done on 10.19.23, and One emergency INCLEMENT WEATHER drill was done on 1.11.24
FSC observed facility to not have a current approved fire inspection
Open Not marked corrected in the state record
Category: physical safety. Open / not marked corrected.
88-35 · Violation
2-2842. These courses include: ? Health, Safety and Nutrition; ? Identifying and Reporting Child Abuse and Neglect; ? Child Growth and Development; and ? Behavioral Observation and Screening. Additionally, providers who completed this DCF training on or before December 31, 2023, must also complete these DEL-approved health and safety modules within 180 days or by June 30, 2024: ? Health and Nutrition in the School Readiness Program and ? Safety Practices in the School Readiness Program. Providers who complete the DCF training after December 31, 2023, must complete the additional DEL-approved health and safety modules within 90 days of hire...." An extended
Open Not marked corrected in the state record
Category: background checks. Open / not marked corrected.
27-05 · Technical assistance was given to provider per SR handbook ": Upon successful completion of preservice training requirements, all child care personnel must complete the annual ten (10) clock-hours or one (1) CEU of in-service training concentrating on children ages birth through 12, as required in Rule 65C- 22.001(6), F.A.C., Child Care Facility Handbook (October 2021), Rule 65C-22.008(5), F.A.C., School-Age Child Care Facility Handbook (October 2021), or Rule 65C-20.008(7), F.A.C., Family Day Care Home and Large Family Child Care Home Handbook (October 2021), Rule 6M-4.620, F.A.C., and this handbook, as applicable. A. Child care personnel employed in a licensed or licensed-exempt child care facility or school- age program must record in-service training on CF-FSP Form 5268, Child Care In-Service Training Record (October 2017), which is incorporated by reference in Rule 65C- 22.001(7)(i), F.A.C."
FSC observed all 5 personnel to not have completed the required 10 hrs. In-service training annual
Open Not marked corrected in the state record
Category: recordkeeping. Open / not marked corrected.
27-06 · Technical assistance was given to provider per SR handbook "Child care personnel employed in a licensed or licensed-exempt child care facility or school- age program must record in-service training on CF-FSP Form 5268, Child Care In -Service Training Record (October 2017), which is incorporated by reference in Rule 65C-22.001(7)(i), F.A.C."
FSC observed all 5 personnel did not have proof of 10hrs in-service training was documented on a School Readiness Program In-service Training Record or CF-FSP Form 5268
Open Not marked corrected in the state record
Category: recordkeeping. Open / not marked corrected.