Bed of Roses Residential Care Home
RCFE · Memory Care
A Residential Care Facility for the Elderly (RCFE) is a non-medical residential care home licensed by California CDSS under Health & Safety Code §1560. Residents receive help with daily living activities such as bathing, dressing, and medication management. An RCFE with a Memory Care designation is additionally required by California Title 22 (§87705 and §87706) to provide specialized staff training in dementia care, individualized care plans for residents with cognitive impairment, and appropriate supervision protocols — requirements that go beyond a standard RCFE license.
1730 White Oaks Road · Campbell, 95008
Quick facts
Quality snapshot
Updated April 25, 2026Compared to 182 California RCFE memory care facilities of similar size, over the last 36 months.
Source: California Department of Social Services, Community Care Licensing Division. View raw inspection records →
Quality grade· click to show how this was calculated
Severity79thWeighted citations per bed
Repeats100thRepeat deficiencies as share of total
Frequency64thDeficiencies per inspection
Tick mark at 50% = peer median · higher percentile = better facility
Quality grade· click to show how this was calculated
Weighted citations per bed
Repeat deficiencies as share of total
Deficiencies per inspection
Tick mark at 50% = peer median · higher percentile = better facility
Bed of Roses Residential Care Home scores A−. Better than 81% of comparable California RESIDENTIAL CARE ELDERLY facilities. Severity: 79th percentile. Repeats: top 0%. Frequency: 64th percentile.
Each metric is converted to a 0–100 percentile within the peer set (higher = better). The composite grade averages all four. Peer set: CA / rcfe_memory_care / small beds (182 facilities).
Citation severity over time
stableWeighted severity score per month · 24 months
Weighted score (24mo)
6
Last citation
Nov 25
Finding distribution
2 total · 36 monthsScope × Severity (CMS A–L)
The rules that apply to this facility
California Title 22 requirements for this facility, with the specific regulation and a suggested question for each.Rules this facility has been cited for are shown first.
What dementia-care training must staff complete?Cited Oct 202422 CCR §87705 / HSC §1569.625
Because this facility markets dementia or Alzheimer's care, state law mandates higher training standards:
- 12 hours initial dementia training — 6 hours before a staff member works independently with residents, 6 more within the first 4 weeks.
- 8 hours annual dementia in-service — required every year thereafter.
- Administrator CE — the administrator must include 8 hours of dementia-specific continuing education in every 2-year recertification cycle.
Training must cover individualized care plans, behavioral expressions, appropriate supervision, and the facility's dementia care philosophy.
Ask on tour: Ask how dementia training records are kept — families may request documentation.
How many staff must be on duty overnight?22 CCR §87415
Based on 6 licensed beds:
One qualified staff member must be on call and physically on premises at all times overnight.
Violation pattern to watch for:A facility that documents a staff member as "on call" but with that person physically off-site — when the law requires on-premises presence — is in violation of this section.
Ask on tour: Ask the facility to walk you through their overnight staffing plan and confirm whether on-call staff are on premises or off-site.
What health conditions can this facility legally accept or refuse?22 CCR §87612–87615
Restricted — allowed with physician order + care plan
- Supplemental oxygen
- Insulin and injectable medications
- Indwelling or intermittent catheters
- Colostomy / ileostomy
- Stage 1 and Stage 2 pressure injuries
- Wound care (non-complex)
- Incontinence
- Contractures
Prohibited — facility must refuse or discharge
- Stage 3 or Stage 4 pressure injuries
- Feeding tubes (PEG, NG, or J-tube)
- Tracheostomies
- Active MRSA or communicable infections requiring isolation
- 24-hour skilled nursing needs
- Total ADL dependence with inability to communicate needs
A hospice waiver (HSC §1569.73) can allow continued care for residents on hospice who would otherwise fall into a prohibited category.
Ask on tour: Ask whether your loved one's specific care needs are restricted or prohibited, and what the facility's process is if needs change after admission.
What must this facility report to the state — and how fast?22 CCR §87211 / WIC §15630
- ImmediateElopement, fire, epidemic outbreak, or poisoningImmediately
- 2 hoursAbuse with serious bodily injury2-hour phone report + 2-hour written report — to the California Department of Social Services (CDSS), Adult Protective Services, and law enforcement
- 24 hrsAbuse without serious bodily injuryWithin 24 hours
- Next dayDeath of a residentPhone by next working day; written within 7 days
- Next dayInjury requiring medical treatment beyond first aidPhone by next working day; written within 7 days
- WrittenBankruptcy, foreclosure, eviction, or utility shutoff noticeWritten notice to CDSS and residents — $100/day penalty (max $2,000) for failure
Your enforcement lever:Incidents that aren't reported on time are themselves a separate violation. If you believe a reportable event wasn't filed, you can submit a complaint directly to the California Department of Social Services (CDSS).
How does CDSS enforce these rules?22 CCR §87755–87777 / HSC §1569.58
- 1Notice of DeficiencyWritten citation with a correction deadline. Facility must submit a Plan of Correction.
- 2Civil PenaltyStarts at $50/day for non-serious; $150/day for serious deficiencies — immediately, with no grace period. Repeats escalate to $150 first day + $50/day, then $1,000 first day + $100/day.
- 3Suspension of AdmissionsFacility cannot accept new residents until violations are corrected.
- 4Temporary Suspension or RevocationEmergency suspension for imminent danger; full revocation after administrative hearing.
- 5Exclusion OrderAdministrator and operator can be barred from all CDSS-licensed facilities — not just this one.
See how these rules have been applied to this specific facility:
View state inspection record and citationsState records
California Dept. of Social Services · Community Care Licensing- License number
- 435202557
- License type
- RESIDENTIAL CARE ELDERLY
- License status
- LICENSED
- License expires
- Not yet indexed
- Licensed beds
- 6
- Operator
- Williams, Maria Christina
Inspections & citations
3
reports on file
2
total deficiencies
1
dementia-care citations
InspectionNovember 3, 2025Type B1 deficiency
Plain-language summary
During an unannounced annual inspection, the facility was found to have adequate food supplies, properly locked medication and cleaning products, working smoke and carbon detectors, and clean bathrooms with appropriate temperature-controlled water. However, inspectors found that all three staff members lacked current CPR certification and had not completed required annual training for 2025; the facility operator committed to obtaining CPR training for staff by November 7, 2025. A deficiency and technical violation were issued.
View full inspector notes
Licensing Program Analyst (LPA) Marcella Tarin conducted an unannounced annual inspection and met with Licensee Christina Williams. LPA stated the purpose of the visit. LPA toured the interior and exterior of the facility with Licensee to include the kitchen, resident rooms, dining room, bathrooms, back and front of the facility. All exits and passageways were free and clear of obstruction. LPA toured the kitchen area and observed a perishable food supply of at least two days and a non-perishable food supply of at least seven days. LPA observed the medication storage area, knives storage area, and cleaning product storage area as locked and inaccessible to residents in care. The facility was equipped with smoke and carbon monoxide detectors. All smoke detectors functioned properly when tested by Licensee. Fire extinguishers were last serviced on 11/7/2024. The facility emergency drill log was reviewed. The facility's last drill was on 10/15/2025. LPA toured 3 resident bedrooms, each have a bed, functioning lights, dresser/table, bedding and space for personal belongings. LPA toured 2 bathrooms. All 2 bathrooms had hand soap, paper towels, functioning lights, and covered trash bins. LPA measured water temperature with a range of 115.7 F to 118 F. LPA reviewed 3 resident records and 1 resident’s Centrally Stored Medication and Destruction Records (CSMDRs). Page 1 of 2 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 LPA reviewed 3 Staff records. 3 Out of 3 staff did not have annual training for 2025. LPA also observed 3 out of 3 Staff CPR trainings were not current. Licensee stated she will have 3 staff obtain CPR training by 11/7/2025. A deficiency and Technical Violation are being issued. A deficiency and Technical Violation were cited during today's visit per California Code of Regulations Title 22. See LIC809-D and LIC9102 for more information. An exit interview was conducted with Licensee Christina Williams and a signed copy of this report and appeal rights were provided.
Regulation
(2) In addition to paragraph (1), training requirements shall also include an additional 20 hours annually, eight hours of which shall be dementia care training, as required by subdivision (a) of Section 1569.626, and four hours of which shall be specific to postural supports, restricted health conditions, and hospice care, as required by subdivisi…
Inspector finding
Based on record review and interview, the licensee did not comply with the section cited above. 3 Out of 3 staff did not have 20 hours of annual training for 2025, which poses/posed a potential health, safety or personal rights risk to persons in care. POC Due Date: 11/18/2025 Plan of Correction 1 2 3 4 Licensee states she will submit a plan stating how she will ensure staff complete 20 hours of annual training. Licensee will submit plan of correction to CCL by POC due date of 11/18/2025.
InspectionOctober 18, 2024Type B1 deficiency
Inspector: Marcella Tarin
Plain-language summary
During a routine annual inspection, inspectors found the facility's physical environment, emergency preparedness, food storage, medication management, and staff records all in order. Two residents were missing required care plans, and two other residents' care plans had not been updated within the year as required; the licensee was advised to complete these documents. A technical violation was issued related to care planning requirements.
View full inspector notes
Licensing Program Analyst (LPA) Marcella Tarin and Licensing Program Manager Jackie Jin conducted an unannounced annual inspection visit at 9:45AM and met with Licensee Christina Williams. LPA and LPM toured the facility inside and out with the Licensee to include the living room, dining room, kitchen, resident bedrooms, bathrooms, and exterior. All emergency exits were observed to be clear of obstruction. LPA and LPM toured the kitchen area and observed two residents sitting at the kitchen table eating breakfast at 9:45AM. LPA and LPM observed a perishable food supply of at least two days and a non-perishable food supply of at least seven days. Refrigerator temperature maintained at 39.7 degrees F and freezer maintained at -8 degrees F. LPA and LPM observed toxins, sharps and chemicals locked and inaccessible to residents. LPA and LPM toured 4 resident bedrooms. 4 out of 4 resident bedrooms had beds, a dresser, functioning lights, storage space for personal belongings, clean bedding, and a chair. LPA measured hot water temperature, range of 109.9 to 118 degrees F for 2 out of 2 resident bathrooms. The facility was equipped with smoke and carbon monoxide detectors. Fire extinguishers were last serviced on 10/9/2023 and LPA observed extinguisher to be fully charged. LPA observed the facility first aid kit, and it was observed to be complete. The facility fire/earthquake drill log was reviewed, and drills are being conducted quarterly. The last fire drill was conducted on 07/05/2024. Facility has emergency disaster plan. LPA and LPM reviewed 4 residents Centrally Stored Medication and Destruction Records (CSMDR). LPA observed 4 out of 4 CSMDRs are complete with all medications accounted and documented. LPA and LPM observed the medication storage area was locked and inaccessible to residents in care. 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 LPA and LPM reviewed 4 out of 4 resident records. LPA and LPM observed 4 out of 4 resident records to contain identification and emergency contact information, personal rights, TB results and consent forms. Residents (R2 and R4) records did not contain completed appraisal/needs and services plans. LPA advised Licensee to complete appraisal/needs and services plans. Residents R1 and R3 appraisal needs and service plan was not updated within the year. R1 and R3 have neurocognitive disorder. LPA reviewed 4 out of 4 staff records. LPA observed 4 out of 4 records as complete to include fingerprint clearance, health screening, TB result, personnel record, and staff training. Licensee Administrator Certification is current and expires on 11/26/2025. A deficiency was cited today per California Code of Regulations, Title 22. A Technical Violation was issued today. See LIC809D. Exit interview was conducted with Licensee Christina Williams. This report was provided to Licensee and appeals rights were provided.
Regulation
(c) Licensees who accept and retain residents with dementia shall be responsible for ensuring the following: (5) Each resident with dementia shall have an annual medical assessment as specified in Section 87458, Medical Assessment, and a reappraisal done at least annually, both of which shall include a reassessment of the resident’s dementia care n…
Inspector finding
Based on observation and record review, the licensee did not comply with the section cited above. 1 out 1 residents did not have annual medical assessment. 2 out of 2 residents did not have a reappraisal completed within the year which poses a potential health, safety or personal rights risk to persons in care. POC Due Date: 11/01/2024 Plan of Correction 1 2 3 4 Licensee states she will complete the appraisal/needs and services plans for the two residents within the next two weeks. Licensee…
InspectionNovember 8, 2022No deficiencies
Inspector: Ryker Heberle
Plain-language summary
A routine annual inspection was conducted on November 8, 2022, and the facility was found to be in compliance with all requirements. The inspector observed clean and well-maintained rooms, adequate food and emergency supplies, proper infection control measures including staff vaccinations and protective equipment, clear emergency exits, and functioning fire safety equipment.
View full inspector notes
Licensing Program Analyst Ryker Heberle (LPA) conducted an unannounced annual inspection on 11/08/2022 at 12:10pm. LPA met with Administrator Maria Christina Williams (Admin). LPA toured the facility, including living room, kitchen, dining room, 5 client bedrooms, 1 staff bedroom, 2 bathrooms, front patio, back yard, and storage sheds. All staff members observed to be wearing masks. Admin confirmed that all staff and residents have been vaccinated. Facility Infectious Control plan has already been submitted. No prohibited items noted in resident rooms. All emergency exits noted to be clear of obstruction. All rooms in facility noted to be clean and well maintained. Hand sanitizers, soap, and paper supplies were observed to be available. At least 2 days' supply of perishable food and at least 1 week's supply of non-perishable food was observed on the premises. Fire extinguishers observed to be inspected in August of 2022. Facility observed to have designated entry point. Staff took LPA's temperature and screened for symptoms. Facility has a 30 day supply of N95s and gowns. Restrooms observed to be stocked with paper towels and soap. Hand washing signs observed to be in all bathrooms. Social distancing signs observed to be posted public areas. Facility temperature observed to be 69*F. Facility water temperature observed to be 108.3*F. No deficiencies cited during today's visit. This report was reviewed with Administrator Maria Christina Williams (Admin) and a copy of the signed report was provided.
Federal summary
CMS Care CompareNot a CMS-certified facility
California RCFEs (residential care facilities for the elderly) are licensed by the state, not by CMS. CMS data only applies to skilled nursing facilities or to CCRCs that operate a licensed SNF wing.
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