Cheyenne County Village INC — Skilled Nursing Facility Profile (CCN #175347)

St Francis, Kansas · CCN 175347 · Phone: 7853322531 · 30 beds · Ownership: Non Profit - Corporation

Cheyenne County Village INC is a Medicare-certified skilled nursing facility (CCN 175347) in St Francis, Kansas. It holds a CMS overall Five-Star rating of 2 of 5 stars on CMS Care Compare. FileFlo scores its CMS survey-readiness at 44/100 (High Risk).

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Compliance Indicator: 44/100 — High Risk

About Cheyenne County Village INC

Cheyenne County Village INC is a Medicare- and Medicaid-certified skilled nursing facility in St Francis, Kansas, operating under CMS Certification Number (CCN) 175347. 30-bed facility. Non Profit - Corporation. Independent (not part of a multi-facility chain). The facility is required to comply with the Requirements for Long-Term Care Facilities at 42 CFR Part 483.

Cheyenne County Village INC has held its Medicare/Medicaid certification for approximately 31 years (certification date on file: 1995-06-01). 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 (Cheyenne County): Cheyenne County Village INC is the only Medicare-certified skilled nursing facility in the same-county sample for Kansas. 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: ★★☆☆☆ (2 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

Inspection overdue: CMS Provider Data flags Cheyenne County Village INC as having an overdue standard health inspection. SNFs must receive a standard survey at most every 15 months on average and never more than 16 months from the last (42 CFR 488.308). Backlogged inspections can result from state agency staffing shortages but do not exempt the facility from the substantive compliance requirements during the gap.

Survey History and Deficiencies

Recent health deficiencies cited at last standard survey: 9. National average for facilities of this size is approximately 8 deficiencies per cycle. In its most recent reporting cycle, Cheyenne County Village INC received 1 CMS fine totaling $13,287. Last documented standard health survey: 2023-09-28. 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: 95.75. 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.

CMS Enforcement Actions

Total enforcement penalties assessed in the most recent reporting window: $1. This figure aggregates Civil Money Penalties (CMPs), DPNA-equivalent revenue impacts, and other monetary remedies under 42 CFR Part 488 Subpart F.

Staffing Detail

Cheyenne County Village INC already meets the cadre-specific minimums scheduled to take effect on the May 2029 timeline under 89 FR 40876 (RN 0.705 HPRD vs the 0.55 floor; nurse-aide 2.929 HPRD vs the 2.45 floor). The constraint going forward is sustaining these levels under turnover pressure.

Total nurse staffing: 4.109 hours per resident day (HPRD), which is 0.63 hours above the 3.48 total HPRD floor that the CMS Minimum Staffing Standards rule (89 FR 40876, May 2024) phases in for rural-facility facilities by May 2029.

Staffing mix: RN 0.705 HPRD, LPN 0.475 HPRD, CNA 2.929 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: 0.649 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: 40.7% annualized — high (typical of facilities with chronic staffing pressure).

Administrator turnover events in the most recent reporting window: 2. Multiple administrator changes in a 12-month window is associated with substantial leadership-discontinuity risk during the next standard survey.

Chain Context and Facility Type

Cheyenne County Village INC is independently operated (not part of a multi-facility chain). Independent SNFs typically rely on internal compliance staff or contracted consultants rather than corporate-level survey-prep teams; this affects both how quickly Plans of Correction are produced and how F-tag remediation is documented across multiple shifts.

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 Cheyenne County Village INC Compares to Peers in Kansas

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 Cheyenne County Village INC is 44/100 (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.

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 Cheyenne County Village INC

What is Cheyenne County Village INC's CMS overall Five-Star rating?

Cheyenne County Village INC (CCN 175347) holds a CMS overall Five-Star rating of 2 of 5 stars on CMS Care Compare. CMS updates these ratings quarterly from the facility's submitted assessment and claims data.

Is Cheyenne County Village INC Medicare-certified, and where is it located?

Cheyenne County Village INC is a Medicare-certified skilled nursing facility (CMS Certification Number 175347) in St Francis, Kansas.

How survey-ready is Cheyenne County Village INC?

FileFlo scores Cheyenne County Village INC's CMS survey-readiness at 44/100 (High Risk). This is a FileFlo indicator built from CMS-published data, not an official CMS rating.

Which CMS Conditions of Participation must Cheyenne County Village INC meet?

As a Medicare-certified skilled nursing facility, Cheyenne County Village INC 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 Cheyenne County Village INC prepare for its next CMS survey?

Run FileFlo's free CMS survey-readiness audit for Cheyenne County Village INC — 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 Cheyenne County Village INC 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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