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Clara M Guzman
598 N Plum St, Lancaster PA 17602 · License #CER-00256379 · Family Child Care Home
Contact
- Phone
- (717) 419-9410
- Website
- Add via profile claim
- Address
- 598 N Plum St, Lancaster PA 17602 · Directions
Hours
Not published by the state. Owners can add hours via profile claim.
Care & schedule
When they operate
Ages served
- 1-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
3290.124(b)(3) · Emergency contact information must include the home and work addresses and telephone numbers of the enrolling parent.
Child #1's emergency contact information did not include the enrolling parent's work phone number.
Corrected by May 12, 2026
- Violation
3290.131(a)/3290.131(d)(7) · The operator shall require the parent of an enrolled child to provide an initial health report no later than 60 days following the first day of attendance at the facility. A health report shall include a statement that the child is able to participate in child care and appears to be free from contagious or communicable disease.
Child #1's health report was not obtained within the acceptable timeframe of no later than 60 days following the first date of attendance at the facility. Initial health report was dated 5/4/26. (see code sheet). Child #1's initial health report did not include a statement that the child is able to participate in child care and appears to be free from contagious or communicable disease.
Corrected by May 12, 2026
- 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.
Upon inspection of the documents on file for children, it was found that written consent signed by a parent for emergency medical care was not present for Child #1.
Corrected by Jun 10, 2024
- 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.
Upon inspection of the facility, it was found that a written plan was not conspicuously posted which identifies the means of transporting a child to emergency care and the facility staffing provisions in the event of an emergency.
Corrected by Jun 10, 2024
- Violation
3290.131(d)(5)/3290.131(e)(1) · A health report shall include a review of the child's immunized status according to recommendations of the ACIP. The facility shall require the parent to provide updated written verification from a physician, physician's assistant, CRNP, the Department of Health or a local health department of ongoing vaccines administered to an infant, toddler or preschool child in accordance with the schedule recommended by the ACIP.
Upon inspection of the documents on file for children, it was found that Child #1 only had one dose of Pneumococcal vaccine on record AND Child #2 only had two doses of HIB vaccine and 3 doses of Pneumococcal vaccine on record.
Corrected by Jun 10, 2024
- 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.
Upon inspection of the documents on file for children, it was found that signed parental consent for administration of minor first-aid procedures by facility staff was not present for Child #1.
Corrected by Jun 10, 2024
- Violation
3290.182(6) · A child's record must contain signed parental consent for transportation, walking excursions, swimming and wading.
Upon inspection of the documents on file for children, it was found that signed parental consent for walking excursions was not present for Child #1 AND the provider acknowledged that walks were part of the routine outdoor activity conducted with children.
Corrected by Jun 10, 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.
Upon inspection of the facility fire safety records, it was found that the required device tests exceeded the maximum of 30-days between tests on the following dates: 7.1.23 - 8.3.23 [33 days]; 8.3.23 - 9.29.23 [57 days]; 10.27.23 - 11.28.23 [32 days]; 2.23.24 - 3.25.24 [31 days]
Corrected by Jun 10, 2024
- Violation
3290.24(f) · The operator shall provide to the parent of each enrolled child a letter explaining the emergency procedures described in subsection (a). The operator shall also provide to the parent of each enrolled child a letter explaining any subsequent update to the plan.
Upon inspection of the facility emergency plan and associated documents, it was found that a letter to the parents explaining the emergency procedures described in subsection (a) was not created and distributed.
Corrected by Jun 10, 2024
- Violation
3290.131(d)(5)/3290.131(e)(2)(i) · A health report shall include a review of the child's immunized status according to recommendations of the ACIP. Exemption from immunization for religious belief or strong personal objection equated to a religious belief shall be documented by a written, signed and dated statement from the child's parent or guardian. The statement shall be kept in the child's record.
Upon inspection of the children's files, it was found that the influenza vaccination on record for child #1 was dated 2020; the influenza vaccination on record for child #3 was dated 2021 and there was no vaccination record on record at all for child #4.
Corrected by May 24, 2023
- Violation
3290.18 · Conditions at the facility may not pose a threat to the health or safety of the children. Provider may not work unsupervised with children until required course is completed.
Upon inspection of the file for staff person #1, it was found that the Health and Safety Basics course was completed on 9.20.16.
Corrected by May 19, 2022
- Violation
3290.124(b)(7) · Emergency contact information must include the name, address and telephone number of the individual designated by the parent to whom the child may be released.
Upon inspection of the children's files, it was found that the addresses for the individual[s] designated by the parent to whom the child may be released was not included for child #1 and #2.
Corrected by May 19, 2022
- Violation
3290.134(a) · A staff person shall ensure that a child's hands are washed before meals and snacks, after toileting and after being diapered.
Upon inspection of the physical site, it was observed that staff person #1 changed child's diaper and placed them in a crib without washing the child's hands with soap and water.
Corrected by May 19, 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.
Upon inspection of the children's files, it was found that signed parental consent for administration of minor first-aid procedures by facility staff was not included for child #1 and #2.
Corrected by May 19, 2022
- 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.
Upon inspection of the facility fire drill logs, it was observed that drills were conducted on the following dates: 1.5.21, 3.20.21, 5.20.21, 7.18.21, 9.5.21, 11.10.21, 1.5.22, 3.7.22, 5.2.22. It is therefore concluded that greater than 60 days elapsed between several drills.
Corrected by May 19, 2022
- Violation
3290.95(a) · Fire detection devices or systems must be in compliance with standards established under section 1016(c) of the act (62 P.S. § 1016(c))
Upon inspection of the facility smoke detector testing logs, it was found that tests were conducted on the following dates: 1.5.22, 2.15.21, 3.14.21, 4.15.21, 5.16.21, 6.15.21, 7.15.21, 8.14.21, 9.15.21, 10.16.21, 11.5.21, 12.3.21, 1.7.22, 2.4.22, 3.7.22, 4.11.22, 5.2.22. Therefore it is concluded that greater than 30 days elapsed between multiple testing dates. ALSO, it was found that the facility had not retained a receipt of purchase for the smoke detectors.
Corrected by May 31, 2022
Questions to ask on your tour
Generated from this facility's specific inspection record
- 1The May 11, 2026 inspection noted: “Child #1's emergency contact information did not include the enrolling parent's work phone number.” — what has changed since then?
- 2The May 3, 2024 inspection noted: “Upon inspection of the documents on file for children, it was found that written consent signed by a parent for emergency medical care was not present for Child…” — what has changed since then?
- 3The May 10, 2023 inspection noted: “Upon inspection of the children's files, it was found that the influenza vaccination on record for child #1 was dated 2020; the influenza vaccination on record…” — what has changed since then?
Data synced from Pennsylvania DHS, Office of Child Development and Early Learning · Source records · Report an error