Scott Health & Rehabilitation — Skilled Nursing Facility Profile (CCN #115671)

Adrian, Georgia · CCN 115671 · Phone: 4786683225 · 59 beds · Ownership: For Profit - Limited Liability Company

Scott Health & Rehabilitation is a Medicare-certified skilled nursing facility (CCN 115671) in Adrian, Georgia. It holds a CMS overall Five-Star rating of 5 of 5 stars on CMS Care Compare. FileFlo scores its CMS survey-readiness at 92/100 (Survey-Ready).

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Compliance Indicator: 92/100 — Survey-Ready

About Scott Health & Rehabilitation

Scott Health & Rehabilitation is a Medicare- and Medicaid-certified skilled nursing facility in Adrian, Georgia, operating under CMS Certification Number (CCN) 115671. 59-bed facility. For Profit - Limited Liability Company. Part of the Ethica Health chain. The facility is required to comply with the Requirements for Long-Term Care Facilities at 42 CFR Part 483.

Scott Health & Rehabilitation has held its Medicare/Medicaid certification for approximately 25 years (certification date on file: 2001-04-18). 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 (Johnson County): Scott Health & Rehabilitation is the only Medicare-certified skilled nursing facility in the same-county sample for Georgia. Sole-provider counties concentrate post-acute placement decisions into a single facility, which can either be operational leverage or a regulatory-visibility risk depending on quality trajectory.

CMS Five-Star Quality Ratings

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 vs Short-Stay Quality Measures

Long-Stay Quality Measure rating: ★★★★☆ (4 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.

Compliance Red Flags

Scott Health & Rehabilitation has none of the four CMS-published red-flag indicators active at the most recent publish: not on the Special Focus Facility list, no Abuse Icon on Care Compare, no overdue inspection flag, and no recent change-of-ownership flag. Absence of these flags does not mean the facility is deficiency-free — see the survey history below.

Survey History and Deficiencies

Recent health deficiencies cited at last standard survey: 0. National average for facilities of this size is approximately 8 deficiencies per cycle. Scott Health & Rehabilitation has no CMS fines in its most recent reporting cycle. Last documented standard health survey: 2025-09-04. CMS conducts standard surveys at most every 15 months for SNFs, with substandard-quality findings triggering more frequent revisits.

Infection Control and Deficiency Weighting

CMS health survey weighted score: 0. 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.

Staffing Detail

At today's staffing levels, Scott Health & Rehabilitation would not meet the cadre-specific minimums scheduled to take effect on the May 2029 timeline under 89 FR 40876: nurse-aide HPRD is 2.212 vs the 2.45 floor, a 0.24-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: 3.479 hours per resident day (HPRD), which is 0.00 hours below the 3.48 total HPRD floor scheduled to take effect for rural-facility facilities by May 2029 (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 0.7 HPRD, LPN 0.566 HPRD, CNA 2.212 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 2029 timeline; RN-specific shortfalls have historically been the most common single-facility staffing deficiency at standard surveys.

Weekend RN staffing: 0.613 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: 40.8% annualized — high (typical of facilities with chronic staffing pressure).

RN-specific turnover: 37.5% annualized. RN turnover above 50% is the single strongest correlate with QM rating decline in CMS's own internal analyses.

Chain Context and Facility Type

Scott Health & Rehabilitation is operated as part of Ethica Health, a chain operating 49 Medicare-certified facilities (CMS chain identifier 834). 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 rural (outside metropolitan statistical areas). Rural SNFs face different challenges — referral pipeline depth, RN availability, ambulance distance for transfers — and CMS applies certain modifiers to the staffing minimums under hardship exemption pathways for rural facilities.

How Scott Health & Rehabilitation Compares to Peers in Georgia

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 Compliance Indicator

FileFlo's compliance indicator for Scott Health & Rehabilitation is 92/100 (Survey-Ready). 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.

Why This Page Exists

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.

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How Are You Using This Page?

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Frequently asked questions about Scott Health & Rehabilitation

What is Scott Health & Rehabilitation's CMS overall Five-Star rating?

Scott Health & Rehabilitation (CCN 115671) holds a CMS overall Five-Star rating of 5 of 5 stars on CMS Care Compare. CMS updates these ratings quarterly from the facility's submitted assessment and claims data.

Is Scott Health & Rehabilitation Medicare-certified, and where is it located?

Scott Health & Rehabilitation is a Medicare-certified skilled nursing facility (CMS Certification Number 115671) in Adrian, Georgia.

How survey-ready is Scott Health & Rehabilitation?

FileFlo scores Scott Health & Rehabilitation's CMS survey-readiness at 92/100 (Survey-Ready). This is a FileFlo indicator built from CMS-published data, not an official CMS rating.

Which CMS Conditions of Participation must Scott Health & Rehabilitation meet?

As a Medicare-certified skilled nursing facility, Scott Health & Rehabilitation is surveyed against the Conditions of Participation in 42 CFR Part 483 — covering patient/resident rights, assessment and care planning, quality (QAPI), infection control, and aide services. Each CoP section is linked on this page.

How can Scott Health & Rehabilitation prepare for its next CMS survey?

Run FileFlo's free CMS survey-readiness audit for Scott Health & Rehabilitation — it grades the skilled nursing facility against every Condition of Participation in 42 CFR Part 483 in about three minutes, names each gap's F-Tag, and requires no signup.

Conditions of Participation Scott Health & Rehabilitation is surveyed against

The 42 CFR Part 483 CoP sections a CMS survey actually checks, in plain English:

Compliance terms: F-Tag · Joint Commission. See the Skilled Nursing Facility directory and the Healthcare compliance guide →

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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

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