Bessemer, Alabama · CCN 015060 · Phone: 2054283249 · 69 beds · Ownership: For Profit - Corporation
Free CMS Survey-Readiness Audit · 3 minutes · No signup
Run a CFR-cited survey readiness audit on Ridgeway Rehabilitation & Senior Living
Walks every Condition of Participation at 42 CFR Part 484/483/418. Pulls the CCN's data from CMS Compare. Every gap names its CFR section + F-Tag.
24-page PDF · F-Tag-by-Tag prep · Plan of Correction template · Joint Commission tracer prep · Unsubscribe anytime
Ridgeway Rehabilitation & Senior Living is a Medicare- and Medicaid-certified skilled nursing facility in Bessemer, Alabama, operating under CMS Certification Number (CCN) 015060. 69-bed facility. For Profit - Corporation. Part of the Arabella Healthcare Management chain. The facility is required to comply with the Requirements for Long-Term Care Facilities at 42 CFR Part 483.
Ridgeway Rehabilitation & Senior Living has held its Medicare/Medicaid certification for approximately 59 years (certification date on file: 1967-02-02). Long-tenured facilities (15+ years) often have established F-tag remediation playbooks and a deeper standard-survey trail; newly-certified facilities (under 3 years) are subject to a different initial survey cadence under 42 CFR 488.308.
Local market context (Jefferson County): Ridgeway Rehabilitation & Senior Living operates in Jefferson County alongside 24 other Medicare-certified SNFs in our Alabama cohort sample. Multi-facility counties create direct cohort comparison pressure — hospital discharge planners typically run side-by-side Care Compare lookups before placement decisions.
CMS publishes Five-Star ratings for nursing homes monthly, drawn from the most recent three years of standard surveys, complaint surveys, and Minimum Data Set (MDS) submissions.
Long-Stay Quality Measure rating: ★★★★★ (5 of 5). Long-stay measures cover residents in the facility 100+ days and include indicators like residents experiencing one or more falls with major injury, residents whose ability to move independently worsened, and residents with a urinary tract infection.
Differentiating long-stay from short-stay QMs matters for placement decisions — a facility with strong short-stay QMs may still underperform on long-stay metrics, and vice versa.
Abuse Icon present: CMS has applied the Abuse Icon to Ridgeway Rehabilitation & Senior Living's Care Compare listing. The icon flags facilities cited for substantiated abuse, neglect, exploitation, or misappropriation findings under the F600-series Long-Term Care Resident Rights and Abuse / Neglect F-tags within the most recent two survey cycles, where citations met the scope-and-severity threshold defined in CMS Care Compare's Five-Star Quality Rating Methodology. The icon stays in place until the facility completes a full survey cycle with no further qualifying citations.
Recent health deficiencies cited at last standard survey: 13. National average for facilities of this size is approximately 8 deficiencies per cycle. In its most recent reporting cycle, Ridgeway Rehabilitation & Senior Living received 3 CMS fines totaling $17,346. Last documented standard health survey: 2025-01-09. CMS conducts standard surveys at most every 15 months for SNFs, with substandard-quality findings triggering more frequent revisits.
CMS health survey weighted score: 214. The weighted score multiplies deficiency severity (A-L) by scope (isolated, pattern, widespread); higher weighted scores translate directly into the Health Inspection star rating tier breakpoints CMS publishes monthly.
Payment denials for new admissions in the most recent CMS reporting window: 1. Denial-of-payment-for-new-admissions (DPNA) is one of the enforcement remedies CMS uses under 42 CFR 488.417. It is typically imposed when a facility has been cited at scope and severity levels of F or higher and fails to substantially comply by the date specified in the certification notice.
Total enforcement penalties assessed in the most recent reporting window: $4. This figure aggregates Civil Money Penalties (CMPs), DPNA-equivalent revenue impacts, and other monetary remedies under 42 CFR Part 488 Subpart F.
At today's staffing levels, Ridgeway Rehabilitation & Senior Living would not meet the cadre-specific minimums scheduled to take effect on the May 2027 timeline under 89 FR 40876: nurse-aide HPRD is 1.88 vs the 2.45 floor, a 0.57-hour gap. Closing this gap typically requires either net new hires at the specific cadre, shifted scheduling that reallocates existing FTEs to direct-care hours, or a hardship exemption application under 42 CFR 483.35.
Total nurse staffing: 3.4 hours per resident day (HPRD), which is 0.08 hours below the 3.48 total HPRD floor scheduled to take effect for non-rural facilities by May 2027 (89 FR 40876, May 2024); facilities projected to remain below the floor at the effective date must either close the gap, qualify for a hardship exemption, or face citation under 42 CFR 483.35.
Staffing mix: RN 0.936 HPRD, LPN 0.585 HPRD, CNA 1.88 HPRD. The same CMS final rule also phases in cadre-specific minimums of 0.55 RN HPRD and 2.45 nurse aide HPRD on the 2027 timeline; RN-specific shortfalls have historically been the most common single-facility staffing deficiency at standard surveys.
Weekend RN staffing: 0.534 HPRD. Weekend RN coverage is a separately reported CMS measure; facilities with low weekend RN HPRD frequently see resident-acuity-driven adverse events spike on the weekend shift.
Total nurse staff turnover: 81.7% annualized — extremely high (above the 60% red-flag threshold tracked by CMS).
RN-specific turnover: 76.9% annualized. RN turnover above 50% is the single strongest correlate with QM rating decline in CMS's own internal analyses.
Ridgeway Rehabilitation & Senior Living is operated as part of Arabella Healthcare Management, a chain operating 12 Medicare-certified facilities (CMS chain identifier 633). Chain-operated facilities tend to share corporate compliance staff, standard operating procedures, and survey-prep resources — but also share enforcement exposure when CMS designates a chain-wide issue under the system-wide quality assurance framework.
Provider type designation: Medicare And Medicaid.
The facility is classified by CMS as urban (within a metropolitan statistical area). Urban SNFs typically face higher acuity post-acute admissions, more competitive labor markets, and stricter local-jurisdiction infection control requirements layered on top of federal CoPs.
Peer comparisons use a same-state cohort of 200 Medicare-certified SNFs, pulled live from CMS Provider Data. The cohort excludes terminated and surrendered certifications.
FileFlo's compliance indicator for Ridgeway Rehabilitation & Senior Living is 46/100 (High Risk). The score is derived from publicly published health-deficiency counts, weighted survey scores, infection-control citations, fines, and staffing hours per resident day. It is not a CMS rating. The full survey-readiness audit (covering F-tags from the most recently cited deficiencies, infection control, staffing minimums, MDS accuracy) is at /tools/cms-survey-readiness-score.
FileFlo publishes a profile for every Medicare-certified nursing home so administrators, DONs, and family members can find the same publicly-published quality data without bouncing between Care Compare, the SFF list, and the CMS Provider Data Catalog. Field-level CFR citations are linked throughout. Dispute this record if any field is incorrect — we resync with CMS monthly and process correction requests within five business days.
Reviews from residents, family members, and facility staff help others making care decisions. All reviews are verified and PII-scrubbed before publishing.
Share your experience →This page serves four common audiences. Pick the path that matches your reason for visiting.
Run a free CMS Survey-Readiness Audit for Ridgeway Rehabilitation & Senior Living. The audit walks F-tag preparedness across 42 CFR Part 483 in about three minutes. No signup, no payment. Start the audit for Ridgeway Rehabilitation & Senior Living →
White-label F-Tag preparation tools + 25% recurring commission per client referral. Skilled nursing consultants typically serve 8-30 facilities; FileFlo replaces the spreadsheet handoffs you used to do post-engagement. See SNF Consultant Partner Program →
Filtering high-quality SNF post-acute providers? FileFlo's free Provider Network gives verified facility quality data, F-Tag history, 5-star ratings, and Special Focus status to vet placements. Get free Provider Network access →
Pre-acquisition compliance diligence across multiple facilities? Get a free batch compliance report (up to 5 CCNs at once) with F-Tag history, deficiency trends, Special Focus status, and CMP exposure. Request batch report →
← Browse All Nursing Homes · Alabama Nursing Homes · Healthcare Compliance Guide · F-Tag Response Playbook · CMS CoPs Guide
Compare the best SNF compliance software →
Data sourced from CMS Care Compare (publish 2026-04-01). Information may not reflect the facility's current status. Resync occurs monthly. Dispute this record · Claim this profile