Advent Residential Home Ii
RCFE
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 assistance with daily living activities such as bathing, dressing, meals, and medication management in a home-like setting. RCFEs are not hospitals or skilled nursing facilities — they do not provide round-the-clock medical care.
808 Hawthorne Way · Millbrae, 94030
Quick facts
Quality snapshot
Updated April 25, 2026Compared to 214 California RCFE 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
Severity27thWeighted citations per bed
Repeats100thRepeat deficiencies as share of total
Frequency5thDeficiencies 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
Advent Residential Home Ii scores C−. Better than 44% of comparable California RESIDENTIAL CARE ELDERLY facilities. Severity: 27th percentile. Repeats: top 0%. Frequency: bottom 5%.
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_general / small beds (214 facilities).
Citation severity over time
stableWeighted severity score per month · 24 months
Weighted score (24mo)
0
Finding distribution
9 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.
What training are all staff required to complete?22 CCR §87411
All direct-care staff must complete:
- 10 hours initial training within the first four weeks of employment.
- 4 hours annual in-service every year thereafter.
- Administrator certificate from a CDSS-approved program — 80 hours for first-time, 40 hours renewal every 2 years.
Ask on tour: Ask when the last staff training was completed and how it's tracked.
How many staff must be on duty overnight?22 CCR §87415
Based on 7 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
- 415600784
- License type
- RESIDENTIAL CARE ELDERLY
- License status
- LICENSED
- License expires
- Not yet indexed
- Licensed beds
- 7
- Operator
- Advent Residential Homes, Inc.
Inspections & citations
4
reports on file
12
total deficiencies
5
Type A (actual harm)
InspectionJuly 15, 2025No deficiencies
Plain-language summary
On July 15, 2025, an unannounced annual inspection found the facility clean and well-maintained, with proper storage of medications, cleaning supplies, and kitchen knives, working fire safety equipment, and resident rooms in good condition. The facility was asked to submit updated paperwork for emergency planning and staff schedules, and was cited for technical violations. The facility has no record of conducting an emergency drill prior to April 2025, which poses a potential health and safety concern.
View full inspector notes
On 07/15/2025, Licensing Program Analyst (LPA) Jaime Vado conducted an unannounced annual inspection visit. LPA met with administrator Editha Muncada and explained the purpose of today's visit. There are 7 residents and 2 staff present, one being the administrator. This is a single level facility. All residents are approved to be non-amblatory and 3 hospice residents per waiver on file. There are 3 residents on hospice at this time. The physical plant was toured inside and outside of the facility to ensure the safety of the residents. LPA observed the facility kitchen which is clean and observed appliances are in good repair. Knives are stored and locked in the kitchen in a drawer adjacent to the facility stove. Medications are observed to be locked in a kitchen cabinet. Perishable and non-perishable food items are observed as in place. Cleaning supplies are observed to be locked beneath kitchen sink. First aid kit is observed as complete with required items. LPA observed that there are three fire extinguishers in place last inspected 08/15/2024, smoke detectors, carbon monoxide detectors are observed in place through out the facility, facility is equipped with full fire sprinklers through out, and central heating system including fans for facility use. PPE supplies and linen supplies are in place. Laundry area is also observed as fully operational in an exterior shed. Emergency exit routes are observed inside and outside to be free and clear of obstructions. Facility does not have a record for conducting an emergency which can pose a potential health and safety. Water temperature was measured at 120F in a common bathroom in the hallway connecting to resident rooms. There is one bathroom that is out of order in the living room area that is used for storage but there are an additional two full bathrooms for resident use. Continued on next page... 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 Page 2 LPA observed resident rooms at random and all appeared clean, free of odors, and contained all the required furniture per regulatory recommendations. Client linen supplies are observed as in place. Facility disaster drill conducted on 04/03/2025. LPA reviewed 6 of 7 resident files due to computer issues. 3 staff files are reviewed as current Administrator certificate is observed as current expiring on 08/13/2026 The following updated forms are requested to be submitted to CCLD by 07/22/2025 : • LIC308 Designation of responsible staff person • LIC610E Emergency Disaster Plan • LIC500 Staff Schedule Technical violation are issued and attached on the following LIC9102 page. Report is reviewed with administrator Editha Muncada.
InspectionJuly 24, 2024No deficiencies
Inspector: Jaime Vado
Plain-language summary
A routine unannounced inspection was conducted on July 23, 2024. Inspectors found several maintenance issues: refrigerator lights were broken and drawers damaged, causing some fresh food to be stored without protection; leftover food was not labeled with dates; water temperature in a bathroom measured 115°F (above the safe limit); and fire extinguishers had not been inspected since 2021. The facility also had no record of conducting emergency drills, and the administrator was asked to submit updated documentation including an emergency disaster plan by July 31, 2024.
View full inspector notes
On 07/23/2024, Licensing Program Analyst (LPA) Jaime Vado and conducted an unannounced annual inspection visit. LPA met with administrator Editha Muncada and explained the purpose of today's visit. LPA was allowed entry into the facility. This is a single level facility. All residents are approved to be non-amblatory and 2 hospice residents. There are 2 residents on hospice at this time. The physical plant was toured inside and outside of the facility to ensure the safety of the residents. LPA observed the facility kitchen which is clean and observed appliances are in good repair. Knives are stored and locked in the kitchen in a drawer adjacent to the facility stove. Medications a re observed to be locked in a kitchen cabinet. Perishable and non-perishable food items are observed as in place. Refrigerator is observed as having both lights out inside the freezer and main refrigerator. Additionally the lower refrigerator drawers and bins are broken or not in place leaving some fresh food supplies exposed and leftover food is not labeled with dates. This can pose a potential health and safety risk. Cleaning supplies are observed to be locked beneath kitchen sink. First aid kit is observed as complete with required items. LPA observed that there are multiple fire extinguishers in place last inspected 08/06/2021, smoke detectors, carbon monoxide detectors are observed in place through out the facility, facility is equipped with full fire sprinklers through out, and central heating system including and fans for facility use. PPE supplies and linen supplies are in place. Laundry area is also observed as fully operational in an exterior shed. Emergency exit routes are observed inside and outside to be free and clear of obstructions. Facility does not have a record for conducting an emergency which can pose a potential health and safety. Water temperature was measured at 115F in a common bathroom in the hallway connecting to resident rooms. Continued on next page... 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 Page 2 LPA observed resident rooms at random and all appeared clean, free of odors, and contained all the required furniture per regulatory recommendations. Client linen supplies are observed as in place. The following updated forms are requested to be submitted to CCLD by 07/31/2024 : • Copy of updated Administrator Certificates • LIC308 Designation of responsible staff person • LIC610E Emergency Disaster Plan • LIC500 Staff Schedule • Copy of control of property or current lease Technical violations are issued and attached on the following LIC9102 pages. Report is reviewed with administrator Editha Muncada.
ComplaintJanuary 2, 2024Type A9 deficiencies
Inspector: Audrey Jeung
Plain-language summary
This was a routine inspection of a six-bedroom home-based care facility. The inspector found the facility's living spaces, bathrooms, safety equipment, medication storage, food supplies, and staff qualifications all in order, with no hazards observed. The facility was cited for technical violations related to state regulations, though specific details are not described in this summary.
View full inspector notes
LPA Audrey Jeung toured facility and grounds, consisting of 6 client bedrooms and 4 full bathrooms--3 are for client use. Administrator resides in detached garage, that has been renovated as living space with 2 sleeping rooms. Clothes washer and dryer are located in semi-enclosed structure attached to outside of kitchen/dining area. There is a detached storage shed in back yard where diapers are stored. No accessible bodies of water or fire safety hazards observed. PPE supply is inspected. Food supplies are adequate. Medications, toxins and sharps are stored appropriately and inaccessible to clients, a comfortable temperature is maintained, and lighting is sufficient for comfort and safety. Toilet and bathing facilities are equipped with grab bars and nonskid flooring material. Liquid soap is available at all sinks. First-aid kit is inspected and complete. A Disaster and Mass Casualty Plan is posted. There are 6 residents present and 2 staff. Two residents are receiving hospice services. Criminal record clearances or exemptions for facility staff or other individuals who have client contact have been reviewed, including current first aid training and health screenings. Edith Muncada is a certified RCFE administrator (x 8/24) that oversees facility operations. The following information/forms are requested to be submitted to CCLD BY 11/4/22: - Personnel Report (LIC500) - Emergency Disaster Plan (LIC610E) Deficiencies of the RCFE California Code of Regulations, Title 22, Division 6, Chapter 8 are observed and cited on following pages. Technical Violations are issued--see 11 pages.
Regulation
(a) All facilities shall maintain a fire clearance approved by the city, county, or city and county fire department or district providing fire protection services, or the State Fire Marshal. Prior to accepting or retaining any of the following types of persons, the applicant or licensee shall notify the licensing agency and obtain an appropriate fi…
Inspector finding
Based on client record review, the licensee did not comply with the section cited above, as two out of 6 residents are deemed to be BEDRIDDEN, per MD reports, but facility is not approved for bedridden residents and does not maintain fire clearance for bedridden clients. This poses an immediate health, safety or personal rights risk to persons in care. POC Due Date: 01/03/2024 Plan of Correction 1 2 3 4 Plan of correction to be submitted to CCLD BY DUE DATE.
Regulation
(e) All individuals subject to a criminal record review pursuant to Health and Safety Code Section 1569.17(b) shall prior to working, residing or volunteering in a licensed facility: (3) Request a transfer of a criminal record clearance as specified in Section 87355(c) or
Inspector finding
Based on staff record review, the licensee did not comply with the section cited above, as night staff #2 does not have criminal record clearance associated to this facility. This poses an immediate health, safety or personal rights risk to persons in care. POC Due Date: 01/03/2024 Plan of Correction 1 2 3 4 Criminal record clearance transfer request for staff #2 to be submitted to CCLD with photo ID BY DUE DATE, or transfer of clearance to be done in Guardian.
Regulation
(f) All personnel, including the licensee and administrator, shall be in good health, and physically and mentally capable of performing assigned tasks. Good physical health shall be verified by a health screening, including a chest x-ray or an intradermal test, performed by a physician not more than six (6) months prior to or seven (7) days after …
Inspector finding
Based on staff record review, the licensee did not comply with the section cited above, as health screening and/or TB test results are not maintained for staff 2, #4, #6, which poses a potential health, safety or personal rights risk to persons in care. POC Due Date: 01/16/2024 Plan of Correction 1 2 3 4 Proof of health screenings and /or TB test results for S2, S4, S6 will be sent to CCLD BY DUE DATE
Regulation
(1) Staff providing care shall receive appropriate training in first aid from persons qualified by such agencies as the American Red Cross.
Inspector finding
Based on staff record review, the licensee did not comply with the section cited above, as staff #2, #3, #6 do not have proof of current first-aid training, which poses a potential health, safety or personal rights risk to persons in care. POC Due Date: 01/16/2024 Plan of Correction 1 2 3 4 Proof of valid first aid training for S2, S3, S6 will be submitted to CCLD BY DUE DATE
Regulation
(b) Each employee who received training and passed the examination required in paragraph (5) of subdivision (a), and who continues to assist with the self-administration of medicines, shall also complete eight hours of in-service training on medication-related issues in each succeeding 12-month period.
Inspector finding
Based on staff record review, the licensee did not comply with the section cited above, as medication staff #4 has not received annual medication training since 2/2022, which poses a potential health, safety or personal rights risk to persons in care. POC Due Date: 01/16/2024 Plan of Correction 1 2 3 4 Proof of current medication training for staff #4 will be sent to CCLD BY DUE DATE
Regulation
(a) The licensee shall complete an individual written admission agreement, as defined in Section 87101(a), with each resident or the resident's representative, if any.
Inspector finding
Based on client record reviews, the licensee did not comply with the section cited above, as admission agreements for all clients are missing or incomplete, which poses a potential health, safety or personal rights risk to persons in care. POC Due Date: 01/16/2024 Plan of Correction 1 2 3 4 Completed admission agreements will be maintained on file for all residents, and administrator or designee will submit certification to CCLD BY DUE DATE that agreements are maintained on file
Regulation
(h) The following requirements shall apply to medications which are centrally stored: (5) Each resident's medication shall be stored in its originally received container. No medications shall be transferred between containers.
Inspector finding
Based on observation, the licensee did not comply with the section cited above, as clients' medications are pre-poured 10 days in advance. Seven-day pill organizers are observed, as well as plastic baskets containing small plastic cups for each clients' AM, PM, BT medications for 3 additional days. This practice poses a potential health, safety or personal rights risk to persons in care. POC Due Date: 01/16/2024 Plan of Correction 1 2 3 4 This practice must CEASE IMMEDIATELY, and proof/cert…
Regulation
(b) (1) The department shall adopt regulations to require staff members of residential care facilities for the elderly who assist residents with personal activities of daily living to receive appropriate training. This training shall consist of 40 hours of training. A staff member shall complete 20 hours, including six hours specific to dementia ca…
Inspector finding
Based on review of staff training, the licensee did not comply with the section cited above, as there is no evidence of required 20 hours of staff training for staff 1, 2, 3, 4, 6, including 8 hours of dementia training and 4 hours specific to postural supports, restricted health conditions and hospice care. This poses a potential health, safety or personal rights risk to persons in care. POC Due Date: 01/16/2024 Plan of Correction 1 2 3 4 Proof of required staff training for S1, S2, S3, S4, …
Regulation
POSTURAL SUPPORTS A written order from a physician indicating the need for the postural support shall be maintained in the resident’s record. The licensing agency shall be authorized to require other additional documentation if needed to verify the order.
Inspector finding
Based on client record review, the licensee did not comply with the section cited above, as ALL residents have bed rails--hospice client #4 has FULL bed rails. There are no MD orders for half bed rails and hospice care plan for client #4 does not include full bed rails. This poses a potential health, safety or personal rights risk to persons in care. POC Due Date: 01/16/2024 Plan of Correction 1 2 3 4 Proof of correction to be submitted to CCLD BY DUE DATE.
InspectionOctober 21, 2022Type A3 deficiencies
Inspector: Audrey Jeung
Plain-language summary
During a routine inspection, the facility was found to meet infection control standards, maintain safe storage of medications and cleaning supplies, and have adequate first-aid supplies and equipment; however, the facility must submit several required administrative documents to the state by November 4, 2022, including proof of liability insurance and a current lease agreement. The facility houses 7 residents in 6 bedrooms with appropriate bathroom facilities, grab bars, and safety features, and employs 2 staff plus an additional caregiver in training. Specific regulatory violations were noted and are detailed separately in the inspection report.
View full inspector notes
LPA Audrey Jeung toured facility and grounds, consisting of 6 client bedrooms and 4 full bathrooms--3 are for client use. Administrator resides in detached garage, that has been renovated as living space with 2 sleeping rooms. Clothes washer and dryer are located in semi-enclosed structure attached to outside of kitchen/dining area. There is a detached storage shed in back yard. No accessible bodies of water or fire safety hazards observed. Infection control practices are reviewed: entry procedures, staff training and policies, resident monitoring, containment strategies, environmental preparation and cleaning. PPE supply is adequate. Medications, toxins and sharps are stored appropriately and inaccessible to clients, a comfortable temperature is maintained, and lighting is sufficient for comfort and safety. Toilet and bathing facilities are equipped with grab bars and nonskid flooring material. Liquid soap is available at all sinks. First-aid kit is inspected and complete. A Disaster and Mass Casualty Plan is posted. There are 7 residents present, and 2 staff, plus a new caregiver who is "shadowing;" the administrator arrived during the visit. Two residents are receiving hospice services. Criminal record clearances or exemptions for facility staff or other individuals who have client contact have been reviewed, including current first aid training and health screenings. Edith Muncada is a certified RCFE administrator (x 8/24) that oversees facility operations. The following information/forms are requested to be submitted to CCLD BY 11/4/22: - Administrative Organization (LIC309) - Designation of Administrative Responsibility (LIC308) - Personnel Report (LIC500) - Emergency Disaster Plan (LIC610E) - Proof of current Liability Insurance - Proof of control of property/current signed lease agreement - Infection Control Plan per CCR 87470 Deficiencies of the RCFE California Code of Regulations, Title 22, Division 6, Chapter 8 are observed and cited on a following page.
Regulation
PERSONAL ACCOMMODATIONS SERVICES All outdoor and indoor passageways and stairways shall be kept free of obstruction. This requirement is not met, as exit door from private bathroom in room #1--which is identifed by sign and included on facility sketch--cannot be fully opened because of ramp railing. One cannot exit down ramp because ramp is too na…
Inspector finding
Licensee failed to ensure that exit can be used for exiting., which poses an immediate health and safety risk for clients in care.
Regulation
PERSONAL RIGHTS OF RESIDENTS IN ALL FACILITIES Residents in all RCFEs shall have the personal right to be accorded safe, healthful and comfortable accommodations, furnishings and equipment. This requirement is not met, as protocols for COVID screening of visitors, staff and clients
Inspector finding
is not in place. Visitors are not screened & asked for contact number, daily record of COVID screening/temp checks for staff and clients is not maintained. Licensee failed to ensure that COVID safety protocols are maintained, which poses an immediate health, safety or personal rights risk to clients in care.
Regulation
ADMINISTRATOR QUALIFICATIONS DUTIES Facility personnel shall at all times be sufficient in numbers, and competent to provide the services necessary to meet resident needs. . This requirement was not met, as 3 staff present upon LPA's arrival were unable to find PPE, client files, emergency contacts.
Inspector finding
Licensee failed to ensure that staff is competent to meeet the needs of clients, which poses an immediate health, safety, or personal rights risk to clients in care.
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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