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Ana Morales
410 E Mosser St, Allentown PA 18109 · License #CER-00248442 · Family Child Care Home
Contact
- Phone
- (610) 844-1909
- Website
- Add via profile claim
- Address
- 410 E Mosser St, Allentown PA 18109 · Directions
Hours
Not published by the state. Owners can add hours via profile claim.
Care & schedule
When they operate
Ages served
- 2-Star quality rating
- Accepts Child Care Works subsidy
- Licensed for 6 children
How this facility compares
Violations per inspection, 3-yrInspection history & violations
Source: Pennsylvania DHS, Office of Child Development and Early Learning- Violation
3290.123(a) · An agreement shall be signed by the operator and the parent.
There is no agreement on file for Child #1
Corrected by Dec 11, 2025
- Violation
3290.124(d) · A written plan shall be conspicuously posted which identifies the means of transporting a child to emergency care and the facility staffing provisions in the event of an emergency. The plan must accompany a staff person who leaves the facility on an excursion with children.
There is no written plan which identifies the means of transporting a child to emergency care and the facility staffing provisions in the event of an emergency posted.
Corrected by Dec 10, 2025
- Violation
3290.133(3) · The label of a medication container shall identify the name of the medication and the name of the child for whom the medication is intended. Medication shall be administered to only the child whose name appears on the container.
There is Benadryl, Arnica and Neosporin in the first aid kit in the childcare space that are not labeled for a child
Corrected by Nov 10, 2025
- Violation
3290.181(c) · A parent is required to review and update the emergency contact information and the financial agreement at least once in a 6-month period or as soon as there is a change in the information.
The financial agreement for Child #2 has not been updated in the last 6 months; it has not been updated since 4/9/25.
Corrected by Dec 10, 2025
- Violation
3290.94(a)(1) · Fire drills are conducted at least once every 60 days.
Fire drills are not being conducted every 60 days. Fire drills were done on 1/7/25, 2/12/25, 4/4/25, 6/1/25 and 8/4/25. There were 64 days between the fire drills on 6/1/25 and 8/4/25.
Corrected by Nov 10, 2025
- Violation
3290.95(a)/3290.95(b) · Fire detection devices or systems must be in compliance with standards established under section 1016(c) of the act (62 P.S. § 1016(c)). The operator or designated staff person who is responsible for compliance with this chapter shall ensure the requirements in subsection (a) are met.
Smoke alarms are not being tested every 30 days. Smoke detectors were tested on 1/7/25, 2/12/25, 4/4/25. 6/1/25 and 8/4/25. There were 36 days between the testing on 1/7/25 and 2/12/25. There were 51 days between the testing on 2/12/25 and 4/4/25. There were 58 days between the testing on 4/4/25 and 6/1/25. There were 64 days between the testing on 6/1/25 and 8/4/25.
Corrected by Nov 10, 2025
- Violation
3290.18 · Conditions at the facility may not pose a threat to the health or safety of the children.
The emergency plan does not address continuity of operations.
Corrected by Dec 15, 2024
- Violation
3290.94(a)(1) · The operator or designated staff person who is responsible for compliance with this chapter shall conduct fire drills and ensure that fire drills are conducted at least once every 60 days.
Fire drills are not being conducted every 60 days. Fire drills were conducted on 4/22/24, 7/2/24, 8/19/24 and 10/23/24.
Corrected by Oct 23, 2024
- Violation
3290.95(a)/3290.95(b) · Fire detection devices or systems must be in compliance with standards established under section 1016(c) of the act (62 P.S. § 1016(c)). The operator or designated staff person who is responsible for compliance with this chapter shall ensure the requirements in § 3290.95(a) are met.
Smoke detectors are not being tested every 30 days. Smoke detectors were tested on 4/22/24, 7/2/24, 8/19/24 and 10/23/24.
Corrected by Oct 23, 2024
- Violation
3290.113(a) · Children on the facility premises and on facility excursions off the premises shall be supervised by a staff person at all times. Outdoor play space used by the facility is considered part of the facility premises. The requirement for supervision on and off the facility premises includes compliance with the staff: child ratio requirements in §§ 3290.51-3290.52 (relating to maximum number of children; and staff: child ratio). Children must be supervised at all times. The legal entity must create a policy in order to maintain proper supervision. This policy will ensure that all children are properly assigned to a staff person and supervised at all times. This policy must address supervision during transportation and transition times, such as visiting the bathroom and supervision on the playground. The legal entity must receive approval of the policy from the Regional Office. Once approved by the Regional Office, the legal entity must review policy with all staff and have staff sign off that the understand and will follow the supervision policy. Children must be supervised at all times. Each staff person shall be assigned the responsibility for supervision of specific children. The staff person shall know the names and whereabouts of the children in his assigned group. The staff person shall be physically present with the children in his group on the facility premises and on facility excursions off the facility premises.
During a complaint investigation started on 5-21-24, it was determined that on 5-10-24, Facility Person #1 did not realize that Child #1, a school aged child, took her younger sibling, Child #2, a preschool aged child, out of the car seat and out of the car. Child #1 & Child #2 started walking toward the school before Facility person #1 noticed. Facility person #1 was not able to catch up to the children prior to them entering the school.
Corrected by Aug 12, 2024
- Violation
3290.113(a) · Children on the facility premises and on facility excursions off the premises shall be supervised by a staff person at all times. Outdoor play space used by the facility is considered part of the facility premises. The requirement for supervision on and off the facility premises includes compliance with the staff: child ratio requirements in §§ 3290.51-3290.52 (relating to maximum number of children; and staff: child ratio). Children must be supervised at all times.
During a complaint investigation started on 5-21-24, it was determined that on 5-10-24, Facility Person #1 did not realize that Child #1, a school aged child, took her younger sibling, Child #2, a preschool aged child, out of the car seat and out of the car. Child #1 & Child #2 started walking toward the school before Facility person #1 noticed. Facility person #1 was not able to catch up to the children prior to them entering the school.
Corrected by Jul 12, 2024
- Violation
3290.32(a) · The operator shall comply with the CPSL and with Chapter 3490 (relating to protective services).
Facility Person #1 has not competed mandated reporter training.
Corrected by Oct 24, 2023
- Violation
3290.94(a)(1) · The operator or designated staff person who is responsible for compliance with this chapter shall conduct fire drills and ensure that fire drills are conducted at least once every 60 days.
Per the facility's fire drill log, fire drills are not being conducted every 60 days.
Corrected by Oct 24, 2023
- Violation
3290.95(a)/3290.95(b) · Fire detection devices or systems must be in compliance with standards established under section 1016(c) of the act (62 P.S. § 1016(c)). The operator or designated staff person who is responsible for compliance with this chapter shall ensure the requirements in § 3290.95(a) are met.
The operator is not testing the family child care homes fire detection system every 30 days and recording it on the fire drill and detection log.
Corrected by Oct 24, 2023
- Violation
3290.24(d) · Emergency drills shall be conducted annually. Annual emergency drills shall be documented and on file at the facility.
The facility did not conduct and record an emergency drill in the last 12 months.
Corrected by Oct 19, 2023
- Violation
3290.32(a) · The operator shall comply with the CPSL and with Chapter 3490 (relating to protective services).
Staff Person #1's last mandated reporter training was completed 11/4/2016. It should have been taken again on or before November 4, 2021.
Corrected by Nov 2, 2022
- Violation
3290.64(a) · Cleaning materials and other toxic materials shall be stored in an original labeled container or in a container that specifies the content. Toxics shall be kept in a locked area or in an area inaccessible to children, and shall be stored away from food, food preparation areas and child care spaces.
There were toxic cleaning products under the bathroom sink that were accessible to children.
Corrected by Nov 3, 2022
- Violation
3290.124(b)(4)/3290.182(3) · Emergency contact information must include the written consent signed by a parent for emergency medical care. A child's record must contain signed parental consent for emergency medical care for the child. Written consent is required prior to admission.
Child #1, Child #2 and Child #3 did not ahve signed parental consent for emergency medical care.
Corrected by Nov 3, 2022
- Violation
3290.182(5) · A child's record must contain signed parental consent for administration of minor first-aid procedures by facility staff. Written consent is required prior to admission.
Child #1, Child #2, and Child #3 did not have signed parental consent for administration of minor first-aid procedures by facility staff.
Corrected by Nov 3, 2022
- Violation
3290.24(a)(5) · The facility shall have an emergency plan that provides for accommodations of infants and toddlers, children with disabilities, and children with chronic medical conditions.
The facility's emergency plan did not provide accommodations for infants and toddlers, children with disabilities, and children with chronic medical conditions.
Corrected by Nov 3, 2022
- Violation
3290.24(g) · The operator shall send a copy of the emergency plan and subsequent plan updates to the local municipality and to the county emergency management agency.
The operator did not send a copy of the emergency plan to the city of Allentown.
Corrected by Nov 3, 2022
- Violation
3290.24(a)(1) · The facility shall have an emergency plan that provides for accommodations for shelter of children during an emergency including lock-down, shelter in place at the facility and shelter at locations away from the facility premises.
The facility's emergency plan did not include lock-down accomodations.
Corrected by Nov 3, 2022
- Violation
3290.24(d) · Emergency drills shall be conducted annually. Annual emergency drills shall be documented and on file at the facility.
The facility does not have an emergency drill documented for 2021.
Corrected by Nov 3, 2022
Questions to ask on your tour
Generated from this facility's specific inspection record
- 1The Oct 23, 2025 inspection noted: “There is no agreement on file for Child #1” — what has changed since then?
- 2The Oct 23, 2024 inspection noted: “The emergency plan does not address continuity of operations.” — what has changed since then?
- 3The May 21, 2024 inspection noted: “During a complaint investigation started on 5-21-24, it was determined that on 5-10-24, Facility Person #1 did not realize that Child #1, a school aged child, t…” — what has changed since then?
Data synced from Pennsylvania DHS, Office of Child Development and Early Learning · Source records · Report an error