Home MO St Charles Ymca-St. Charles Branch-Null Elementary

Ymca-St. Charles Branch-Null Elementary

435 YALE BLVD, St Charles MO 63301-5729 · License #000176536 · Child Care Center

ACTIVE
Capacity 32 childrenAges 5 yr – 12 yrLast inspected Apr 15, 2026
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Contact

Director
Smith, Darris Javon * Smith, Darris Javon
Website
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Address
435 YALE BLVD, St Charles MO 63301-5729 · Directions

Hours

Not published by the state. Owners can add hours via profile claim.

Care & schedule

When they operate

Schedule type not published.

Ages served

Ages not published.

  • Licensed for 32 children
30
Violations, past 3 yrs
From inspections (not complaints)
0
High-risk violations
Serious / high-risk non-compliance
0
Substantiated complaints
Published by Missouri DESE
9
Inspections, past 3 yrs
Monitoring & assessments

How this facility compares

Violations per inspection, 3-yr
This facility
3.3
Missouri average
1.9

Inspection history & violations

Source: Missouri Department of Elementary and Secondary Education, Office of Childhood
Apr 15, 2026 — COMPLIANCE MONITORING
7 violations cited · view state record
7 violations
  • Violation

    5 CSR 25-500.052 · 5 CSR 25-500.052 Annual Requirements (2) (C) states: The child care provider shall conduct a Family Care Safety Registry check for all child care staff members within thirty (30) days prior to the anniversary date as printed on the license.

    The Family Care Safety Registry check was not conducted for Darris Smith, Kylie Porter, Maggie Weil, Kirsten Skarstad and Devyn Doti within thirty (30) days prior to the anniversary date.

  • Violation

    5 CSR 25-500.102 · 5 CSR 25-500.102 Personnel (1) (K) . states: The child care provider shall ensure that within seven (7) days of employment or volunteering, and before being left alone with children, that caregivers employed on or after August 30, 2019, receive a facility orientation. The facility orientation shall include--

    A facility orientation was not conducted for a caregiver(s) before being left alone with children. The following staff need a facility orientation: Devyn Doti, Kylie Porter, Maggie Weil and Kirsten Skarstad

  • Violation

    5 CSR 25-500.102 · 5 CSR 25-500.102 Personnel (3) (A) states: The center director, group child care home provider, all other caregivers, and those volunteers who are counted in staff/child ratios shall obtain at least twelve (12) clock hours of child-care related training during each calendar year. Clock hour training shall be approved by the department.

    The requirements for obtaining 12 clock hours each calendar year were not met. For the calendar year of 2025, the staff listed need the following information: Maggie Weil needs 12 hours.

  • Violation

    5 CSR 25-500.122 · 5 CSR 25-500.122 Medical Examination Reports (1) (A) states: All persons working in a child care facility in any capacity during child care hours, including volunteers counted in staff/child ratios, shall be in good physical and emotional health with no physical or mental conditions which would interfere with child care responsibilities. These persons shall have a medical examination report, signed by a licensed physician or registered nurse who is under the supervision of a licensed physician, on file at the facility at the time of initial licensure or within thirty (30) days following employment.

    Medical examination report was not on file for Kylie Porter, Maggie Weil, Devyn Doti and Kirsten Skarstad as evidenced by a medical examination was not on file within 30 days of an individual beginning to work with children.

  • Violation

    5 CSR 25-500.122 · 5 CSR 25-500.122 Medical Examination Reports (1) (B) . states: Medical examination reports shall include either a Tuberculosis (TB) Risk Assessment form, completed and signed by a health care professional, or a negative tuberculin skin test (TST) completed not more than twelve (12) months before beginning work in the facility. The Tuberculosis (TB) Risk Assessment form, revised March 2014, is incorporated by reference in this rule, as published by the Missouri Department of Health and Senior Services, PO Box 570, Jefferson City, MO 65102 and available by the Missouri Department of Health and Senior Services at https://health.mo.gov/living/healthcondiseases/communicable/tuberculosis/tbmanual/pdf/RiskAssessmentform.pdf. If the person has signs or symptoms of tuberculosis, or risk factors for tuberculosis, then testing for tuberculosis shall occur.

    A medical examination report did not include either a completed Risk Assessment for Tuberculosis form or a negative tuberculin skin test (TST) within 12 months of the individual's begin date at the facility for the following staff: Maggie Weil, Kirsten Skarstad and Devyn Doti.

  • Violation

    5 CSR 25-500.192 · 5 CSR 25-500.192 Health Care (4) (A) states: No child shall be permitted to enroll in or attend any day care facility caring for ten (10) or more children unless the child has been immunized adequately against vaccine preventable childhood illnesses specified by the department in accordance with recommendations of the Immunization Practices Advisory Committee (ACIP). The parent or guardian of the child shall provide satisfactory evidence of the required immunizations. Satisfactory evidence means a statement, certificate or record from a physician or other recognized health facility or personnel, stating that the required immunizations have been given to the child and verifying the type of vaccine and the month, day and year of administration.

    Requirements for immunization reports on file were not met as evidenced by 4 immunization record(s) was/were not on file .

  • Violation

    5 CSR 25-600.020 · 5 CSR 25-600.020 General Requirements (1) states: Prior to the employment or presence of a child care staff member in a licensed, regulated, or registered child care facility not exempted by section 210.1080.13, RSMo, the child care provider shall request the results of a criminal background check for such child care staff member from the department.

    Criminal background check results were not on file for Kylie Porter, Maggie Weil, Kirsten Skarstad and Devyn Doti.

Oct 10, 2025 — COMPLIANCE VERIFICATION
No violations cited · view state record
Clean
Apr 9, 2025 — COMPLIANCE MONITORING
15 violations cited · view state record
15 violations
  • Violation

    5 CSR 25-500.090 · 5 CSR 25-500.090 Disaster and Emergency Preparedness (2) (B) 3. states: Any special instructions for infants and non-ambulatory children;

    The facility’s special instructions for infants and non-ambulatory children were not posted in each room.

  • Violation

    5 CSR 25-500.042 · 5 CSR 25-500.042 Licensing Process (12) states: Once granted, the license shall be posted near the entrance of the facility where it may be seen easily by parents or others who visit.

    Posting requirements were not met as evidenced by the license was not posted near the entrance.

  • Violation

    5 CSR 25-500.052 · 5 CSR 25-500.052 Annual Requirements (1) (C) states: A current list of available equipment.

    The equipment list was not submitted.

  • Violation

    5 CSR 25-500.052 · 5 CSR 25-500.052 Annual Requirements (1) (D) states: A current staff sheet.

    The staff sheet was not submitted.

  • Violation

    5 CSR 25-500.052 · 5 CSR 25-500.052 Annual Requirements (1) (A) states: An Annual Declaration for Licensed Facility form, revised 2021 and incorporated by reference in this rule. As published by the Missouri Department of Elementary and Secondary Education, PO Box 480, Jefferson City, MO 65102-0480 and available by the department at https://dese.mo.gov/childhood/forms, indicating the licensee’s intent to continue operating a licensed group child care home or child care center and agreement to comply with all statutes and department licensing rules.

    The Annual Declaration was not submitted.

  • Violation

    5 CSR 25-500.052 · 5 CSR 25-500.052 Annual Requirements (2) (C) states: The child care provider shall conduct a Family Care Safety Registry check for all child care staff members within thirty (30) days prior to the anniversary date as printed on the license.

    The Family Care Safety Registry check was not conducted for Aireeyce Bonner, Waverly Boock, Selah Harris, Maggie Well within thirty (30) days prior to the anniversary date.

  • Violation

    5 CSR 25-500.090 · 5 CSR 25-500.090 Disaster and Emergency Preparedness (2) (B) 2. states: A diagram of evacuation routes from the room;

    The facility's evacuation route diagram was not posted in each room.

  • Violation

    5 CSR 25-500.090 · 5 CSR 25-500.090 Disaster and Emergency Preparedness (3) (A) states: The licensee shall ensure that the facility has on file documentation that, at least every three (3) months, all staff and children at the facility have participated in a disaster or emergency drill based on the facility's disaster and emergency plan.

    Requirements of the facility's participation in disaster and emergency drills were not met as evidenced by the disaster or emergency drill was not held at least one time every three months.

  • Violation

    5 CSR 25-500.102 · 5 CSR 25-500.102 Personnel (1) (K) . states: The child care provider shall ensure that within seven (7) days of employment or volunteering, and before being left alone with children, that caregivers employed on or after August 30, 2019, receive a facility orientation. The facility orientation shall include--

    A facility orientation was not conducted for a caregiver(s) before being left alone with children. The following staff need a facility orientation: Aireeyce Bonner and Selah Harris

  • Violation

    5 CSR 25-500.102 · 5 CSR 25-500.102 Personnel (3) (A) states: The center director, group child care home provider, all other caregivers, and those volunteers who are counted in staff/child ratios shall obtain at least twelve (12) clock hours of child-care related training during each calendar year. Clock hour training shall be approved by the department.

    The requirements for obtaining 12 clock hours each calendar year were not met. For the calendar year of 2024, the staff listed need the following information: Aireetyce Bonner needs 2 hours, Waverly Boock needs 10 hours, Selah Harris needs 1.5 hours, Maggie Well needs 7 hours.

  • Violation

    5 CSR 25-500.102 · 5 CSR 25-500.102 Personnel (2) (A) 3. states: The licensee is required to maintain an approved certificated group child care home provider or center director on staff.

    The facility does not have an approved director on staff.

  • Violation

    5 CSR 25-500.122 · 5 CSR 25-500.122 Medical Examination Reports (1) (A) states: All persons working in a child care facility in any capacity during child care hours, including volunteers counted in staff/child ratios, shall be in good physical and emotional health with no physical or mental conditions which would interfere with child care responsibilities. These persons shall have a medical examination report, signed by a licensed physician or registered nurse who is under the supervision of a licensed physician, on file at the facility at the time of initial licensure or within thirty (30) days following employment.

    Medical examination report was not on file for Aireeyce Bonner as evidenced by a medical examination was not on file within 30 days of an individual beginning to work with children.

  • Violation

    5 CSR 25-500.122 · 5 CSR 25-500.122 Medical Examination Reports (1) (B) . states: Medical examination reports shall include either a Tuberculosis (TB) Risk Assessment form, completed and signed by a health care professional, or a negative tuberculin skin test (TST) completed not more than twelve (12) months before beginning work in the facility. The Tuberculosis (TB) Risk Assessment form, revised March 2014, is incorporated by reference in this rule, as published by the Missouri Department of Health and Senior Services, PO Box 570, Jefferson City, MO 65102 and available by the Missouri Department of Health and Senior Services at https://health.mo.gov/living/healthcondiseases/communicable/tuberculosis/tbmanual/pdf/RiskAssessmentform.pdf. If the person has signs or symptoms of tuberculosis, or risk factors for tuberculosis, then testing for tuberculosis shall occur.

    A medical examination report did not include either a completed Risk Assessment for Tuberculosis form or a negative tuberculin skin test (TST) within 12 months of the individual's begin date at the facility for the following staff: Aireeyce Bonner.

  • Violation

    5 CSR 25-500.192 · 5 CSR 25-500.192 Health Care (4) (A) states: No child shall be permitted to enroll in or attend any day care facility caring for ten (10) or more children unless the child has been immunized adequately against vaccine preventable childhood illnesses specified by the department in accordance with recommendations of the Immunization Practices Advisory Committee (ACIP). The parent or guardian of the child shall provide satisfactory evidence of the required immunizations. Satisfactory evidence means a statement, certificate or record from a physician or other recognized health facility or personnel, stating that the required immunizations have been given to the child and verifying the type of vaccine and the month, day and year of administration.

    Requirements for immunization reports on file were not met as evidenced by 1 immunization record(s) was/were not on file .

  • Violation

    5 CSR 25-600.020 · 5 CSR 25-600.020 General Requirements (1) states: Prior to the employment or presence of a child care staff member in a licensed, regulated, or registered child care facility not exempted by section 210.1080.13, RSMo, the child care provider shall request the results of a criminal background check for such child care staff member from the department.

    Criminal background check results were not on file for Aireeyce Bonner.

Dec 23, 2024 — COMPLIANCE VERIFICATION
No violations cited · view state record
Clean
Oct 23, 2024 — COMPLIANCE MONITORING
2 violations cited · view state record
2 violations
  • Violation

    5 CSR 25-500.042 · 5 CSR 25-500.042 Licensing Process (12) states: Once granted, the license shall be posted near the entrance of the facility where it may be seen easily by parents or others who visit.

    Posting requirements were not met as evidenced by the license was not posted near the entrance.

  • Violation

    5 CSR 25-500.102 · 5 CSR 25-500.102 Personnel (3) (A) states: The center director, group child care home provider, all other caregivers, and those volunteers who are counted in staff/child ratios shall obtain at least twelve (12) clock hours of child-care related training during each calendar year. Clock hour training shall be approved by the department.

    The requirements for obtaining 12 clock hours each calendar year were not met. For the calendar year of 2023, the staff listed need the following information: Kylie Porter needs 12 clock hours.

Jul 17, 2024 — SUPPLEMENTAL
No violations cited · view state record
Clean
Apr 11, 2024 — COMPLIANCE MONITORING
5 violations cited · view state record
5 violations
  • Violation

    5 CSR 25-500.102 · 5 CSR 25-500.102 Personnel (2) (A) 3. states: The licensee is required to maintain an approved certificated group child care home provider or center director on staff.

    The facility does not have an approved director on staff.

  • Violation

    5 CSR 25-500.052 · 5 CSR 25-500.052 Annual Requirements (2) (C) states: The child care provider shall conduct a Family Care Safety Registry check for all child care staff members within thirty (30) days prior to the anniversary date as printed on the license.

    The Family Care Safety Registry check was not conducted for Ann Divendal, Ashley Thornhill, Kylie Porter, Maggie Weil, and Waverly Boock within thirty (30) days prior to the anniversary date.

  • Violation

    5 CSR 25-500.102 · 5 CSR 25-500.102 Personnel (1) (K) . states: The child care provider shall ensure that within seven (7) days of employment or volunteering, and before being left alone with children, that caregivers employed on or after August 30, 2019, receive a facility orientation. The facility orientation shall include--

    A facility orientation was not conducted for a caregiver(s) before being left alone with children. The following staff need a facility orientation: Waverly Boock

  • Violation

    5 CSR 25-500.102 · 5 CSR 25-500.102 Personnel (3) (A) states: The center director, group child care home provider, all other caregivers, and those volunteers who are counted in staff/child ratios shall obtain at least twelve (12) clock hours of child-care related training during each calendar year. Clock hour training shall be approved by the department.

    The requirements for obtaining 12 clock hours each calendar year were not met. For the calendar year of 2023, the staff listed need the following information: Ann Divendal needs 12 clock hours, Kylie Porter needs 12 clock hours and Maggie Weil needs 12 clock hours.

  • Violation

    5 CSR 25-500.192 · 5 CSR 25-500.192 Health Care (4) (A) states: No child shall be permitted to enroll in or attend any day care facility caring for ten (10) or more children unless the child has been immunized adequately against vaccine preventable childhood illnesses specified by the department in accordance with recommendations of the Immunization Practices Advisory Committee (ACIP). The parent or guardian of the child shall provide satisfactory evidence of the required immunizations. Satisfactory evidence means a statement, certificate or record from a physician or other recognized health facility or personnel, stating that the required immunizations have been given to the child and verifying the type of vaccine and the month, day and year of administration.

    Requirements for immunization reports on file were not met as evidenced by 2 immunization record(s) was/were not on file .

Sep 26, 2023 — COMPLIANCE VERIFICATION
No violations cited · view state record
Clean
Sep 20, 2023 — COMPLIANCE MONITORING
1 violation cited · view state record
1 violation
  • Violation

    5 CSR 25-500.090 · 5 CSR 25-500.090 Disaster and Emergency Preparedness (2) (A) states: At all times, a copy of the facility's disaster and emergency plan is readily available in the office area and in each room used for care of children;

    The facility's disaster and emergency plan was not available in each room used for childcare as evidenced by there was no emergency plan on site.

Questions to ask on your tour

Generated from this facility's specific inspection record

  1. 1The Apr 15, 2026 inspection noted: “The Family Care Safety Registry check was not conducted for Darris Smith, Kylie Porter, Maggie Weil, Kirsten Skarstad and Devyn Doti within thirty (30) days pri…” — what has changed since then?
  2. 2The Apr 9, 2025 inspection noted: “The facility’s special instructions for infants and non-ambulatory children were not posted in each room.” — what has changed since then?
  3. 3The Oct 23, 2024 inspection noted: “Posting requirements were not met as evidenced by the license was not posted near the entrance.” — what has changed since then?

Data synced from Missouri Department of Elementary and Secondary Education, Office of Childhood · Source records · Report an error