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StarlynnCare
Minnesota · Cottage Grove

Triple Angels Healthcare.

Triple Angels Healthcare is Grade A, ranked in the top 1% of Minnesota memory care with no MDH citations on record; last inspected Feb 2025.

ALF · Memory Care20 licensed beds · mediumDementia-trained staff
7150 West Point Douglas Road S · Cottage Grove, MN 55016LIC# ALRC:1097
Limited Inspection History · fewer than 4 records in 3 years
Facility · Cottage Grove
Triple Angels Healthcare
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A 20-bed ALF · Memory Care with no citations on file.
Last inspection · Feb 2025 · cleanSource · MDH
Licensed beds
20
Memory care
✓ Yes
Last inspection
Feb 2025
Last citation
None on record
Operated by
Phone
§ 01 · Snapshot

A medium home, reviewed on public record.

§ 02 · Peer Comparison

Ranked against 85 Minnesota facilities.

ALF memory care · 36-month window. Higher percentile = better. Source: Minnesota Dept. of Health · Health Regulation Division.

Severity rank
100th
Weighted citations per bed.
peer median
0
100
Repeat rank
100th
Repeat deficiencies as share of total.
peer median
0
100
Frequency rank
100th
Deficiencies per inspection.
peer median
0
100

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§ 03 · The Record

Citation history, plotted month by month.

No citations in the last 36 months.

0weighted score · 24 mo
No citation activity in this window.
peer median
Jun 2024May 2026

Finding distribution

none · 36 months

Scope × Severity (CMS A–L)

No findings in the last 36 months.
§ 05 · Tour Prep

Questions to ask before you visit.

A short pre-tour checklist tailored to Triple Angels Healthcare's record and state requirements.

01 /

The most recent inspection on February 6, 2025 found zero deficiencies across all regulatory standards — can you walk us through the written policies and staff training protocols that support dementia care under Minnesota Statute chapter 144G, and provide documentation of the last competency assessment cycle?

Ask the operator on tour. Take notes and compare answers across facilities you visit.

02 /

One complaint was filed with the Minnesota Department of Health during the inspection period on file — was that complaint substantiated, and what steps did the facility take in response to the investigation findings?

Ask the operator on tour. Take notes and compare answers across facilities you visit.

03 /

With 20 licensed beds and a Minnesota Assisted Living Facility with Dementia Care designation, how does the community define and document its dementia care program, and can families review the written care approach that differentiates dementia supports from general assisted living services?

Ask the operator on tour. Take notes and compare answers across facilities you visit.

§ 06 · Full Inspection Record

Every MDH visit, verbatim.

1 inspection in the public record, most recent first. Click any row to expand — cited rows open automatically.

1
reports on file
0
total deficiencies
2025-02-06
Annual Compliance Visit
No findings

Plain-language summary

MDH conducted a routine inspection on February 6, 2025, and found violations of state licensing laws related to dementia care, food code, and other regulations; the facility was issued correction orders to address these violations. In an amended notice dated July 15, 2025, following an informal conference and stipulated agreement, the originally assessed fines were rescinded, and the facility was required to document actions taken to comply with the correction orders within the timeframe specified on the state form.

Full inspector notes

correction orders and document the actions taken to comply in the facility's records. The Department reserves the right to return to the facility at any time should the Department receive a complaint or deem it necessar yto ensure the health, safety, and welfare of residents in your care. You are encouraged to retain this document for your records. It is your responsibility to share the information contained in the letter and/or state form with your organizations’ Governing Body. Sincerely, Rick Michals ,J.D. Executive Regiona lOperations Manager HHH An equal opportunity employer . Letter ID: 292I_Revised 04/14/2023 P r o t e c t i n g , M a i n t a i n i n g a n d I m p r o v i n g t h e H e a l t h o f A l l M i n n e s o t a n s AMENDED Electronically Delivered July 15, 2025 Licensee Triple Angels Healthcare 7150 West Point Douglas Road South Cottage Grove, MN 55016 RE: Project Number(s) SL34363016 Dear Licensee: Please note: This letter amends the previous letter dated March 10, 2025. Specifically, following the results of the informal conference and Stipulated Agreement, the original fines were rescinded. As a result of the rescinded penalties, language related to the fines imposed were also removed from this notice. Further, your right to request a reconsideration has expired with the previous notice dated March 10, 2025. The Minnesota Department of Health (MDH) completed a survey on February 6, 2025, for the purpose of evaluating and assessing compliance with state licensing statutes. At the time of the survey, MDH noted violations of the laws pursuant to Minnesota Statute, Chapter 144G, Minnesota Food Code, Minnesota Rules Chapter 4626, Minnesota Statute 626.5572 and/or Minnesota Statute Chapter 260E. STATE CORRECTION ORDERS The enclosed State Form documents the state correction orders. MDH documents state licensing correction orders using federal software. Tag numbers are assigned to Minnesota state statutes for Assisted Living Facilities. The assigned tag number appears in the far left column entitled "ID Prefix Tag." The state statute number and the corresponding text of the state statute out of compliance are listed in the "Summary Statement of Deficiencies" column. This column also includes the findings that are in violation of the state statute after the statement, "This MN Requirement is not met as evidenced by . . ." In accordance with Minn. Stat. § 144G.31 Subd. 4, MDH may assess fines based on the level and scope of the violations; h owever, no immediate fines are assessed for this of your facility. DOCUMENTATION OF ACTION TO COMPLY In accordance with Minn. Stat. § 144G.30, Subd. 5(c), the licensee must document actions taken to comply with the correction orders within the time period outlined on the state form; however, plans of correction are not required to be submitted for approval. The correction order documentation should include the following: Identify how the area(s) of noncompliance was corrected related to the resident(s)/employee(s) identified in the correction order. Identify how the area(s) of noncompliance was corrected for all of the provider’s resident(s)/employees that may be affected by the noncompliance. Identify what changes to your systems and practices were made to ensure compliance with the specific An equal opportunity employer. Letter ID: IS7N REVISED 09/13/2021 Triple Angels Healthcare July 15, 2025 Page 2 statute(s). CORRECTION ORDER RECONSIDERATION PROCESS In accordance with Minn. Stat. § 144G.32, Subd. 2, you may challenge the correction order(s) issued, including the level and scope, and any fine assessed through the correction order reconsideration process. The request for reconsideration must be in writing and received by MDH within 15 calendar days of the correction order receipt date. To submit a reconsideration request, please visit: https://forms.web.health.state.mn.us/form/HRDAppealsForm INFORMAL CONFERENCE In accordance with Minn. Stat. § 144A.475, Subd. 8 OR Minn. Stat. § 144G.20, Subd. 20, the Commissioner of Health is authorized to hold a conference to exchange information, clarify issues, or resolve issues. The Department of Health staff would like to schedule a conference call with Triple Angels Healthcare. Please contact Casey DeVries at 651-201-5917 on or before M arch 13, 2025, to schedule the conference call. The MDH Health Regulation Division (HRD) values your feedback about your experience during the survey and/or investigation process. Please fill out this anonymous provider feedback questionnaire at your convenience at this link: h ttps://forms.office.com/g/Bm5uQEpHVa. Your input is important to us and will enable MDH to improve its processes and communication with providers. If you have any questions regarding the questionnaire, please contact Susan Winkelmann at susan.winkelmann@state.mn.us or call 651-201-5952. You are encouraged to retain this document for your records. It is your responsibility to share the information contained in the letter and state form with your organization’s Governing Body. If you have any questions, please contact me. Sincerely, Casey DeVries, Supervisor State Evaluation Team Email: Casey.DeVries@state.mn.us Telephone: 651-201-5917 Fax: 1-866-890-9290 HHH P r o t e c t i n g , M a i n t a i n i n g a n d I m p r o v i n g t h e H e a l t h o f A l l M i n n e s o t a n s Electronically Delivered March 10, 2025 Licensee Triple Angels Healthcare 7150 West Point Douglas Road South Cottage Grove, MN 55016 RE: Project Number(s) SL34363016 Dear Licensee: The Minnesota Department of Health (MDH) completed a survey on February 6, 2025, for the purpose of evaluating and assessing compliance with state licensing statutes. At the time of the survey, MDH noted violations of the laws pursuant to Minnesota Statute, Chapter 144G, Minnesota Food Code, Minnesota Rules Chapter 4626, Minnesota Statute 626.5572 and/or Minnesota Statute Chapter 260E. STATE CORRECTION ORDERS The enclosed State Form documents the state correction orders. MDH documents state licensing correction orders using federal software. Tag numbers are assigned to Minnesota state statutes for Assisted Living Facilities. The assigned tag number appears in the far left column entitled "ID Prefix Tag." The state statute number and the corresponding text of the state statute out of compliance are listed in the "Summary Statement of Deficiencies" column. This column also includes the findings that are in violation of the state statute after the statement, "This MN Requirement is not met as evidenced by . . ." IMPOSITION OF FINES In accordance with Minn. Stat. § 144G.31, Subd. 4, fines and enforcement actions may be imposed based on the level and scope of the violations and may be imposed immediately with no opportunity to correct the violation first as follows: Level 1: no fines or enforcement. Level 2: a fine of $500 per violation, in addition to any enforcement mechanism authorized in § 144G.20 for widespread violations; Level 3: a fine of $3,000 per violation per incident, in addition to any enforcement mechanism authorized in § 144G.20. Level 4: a fine of $5,000 per incident, in addition to any enforcement mechanism authorized in § 144G.20. Therefore, in accordance with Minn. Stat. §§ 144G.01 to 144G.9999, the following fines are assessed pursuant to this survey: An equal opportunity employer. Letter ID: IS7N REVISED 09/13/2021 Triple Angels Healthcare March 10, 2025 Page 2 St - 0 - 0495 - 144g.41 Subdivision. 1 (13) - Minimum Requirements - $3,000.00 St - 0 - 1290 - 144g.60 Subdivision 1 - Background Studies Required - $3,000.00 St - 0 - 1310 - 144g.60 Subd. 3 - Licensed Health Professionals And Nurses - $3,000.00 St - 0 - 2310 - 144g.91 Subd. 4 (a) - Appropriate Care And Services - $3,000.00 Therefore, in accordance with Minn. Stat. §§ 144G.01 to 144G.9999, t he total amount you are assessed is $12,000.00. You will be invoiced approximately 30 days after receipt of this notice, subject to appeal. DOCUMENTATION OF ACTION TO COMPLY In accordance with Minn. Stat. § 144G.30, Subd. 5(c), the licensee must document actions taken to comply with the correction orders within the time period outlined on the state form; however, plans of correction are not required to be submitted for approval. The correction order documentation should include the following: Identify how the area(s) of noncompliance was corrected related to the resident(s)/employee(s) identified in the correction order. Identify how the area(s) of noncompliance was corrected for all of the provider’s resident(s)/employees that may be affected by the noncompliance.

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§ 07 · Nearby

Other facilities in Washington County.

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