20-000094 Agency For Health Care Administration vs. Concordia Of Florida, Inc., D/B/A Concordia Village Of Tampa
 Status: Closed
Settled and/or Dismissed prior to entry of RO/FO on Tuesday, August 11, 2020.


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1Central Intake Unit

4Agency for Health Care Administration

92727 Mahan Drive, Mail Stop 61

15Tallahassee, Florida 32308

183. The Administrative Complaint in AHCA No. 2019001114 is withdrawn.

28ORDERED at Tallahassee, Florida, on this / day of --'1'"1j "'"---'yl:-1----- 1 , 2021.

43. Smoak, Deputy Se retary

48Agency for Health Care Administration

53NOTICE OF RIGHT TO JUDICIAL REVIEW

59A party who is adversely affected by this Final Order is entitled to judicial review, which shall be instituted

78by filing one copy of a notice of appeal with the Agency Clerk of AHCA, and a second copy, along with

99filing fee as prescribed by law, with the District Court of Appeal in the appellate district where the Agency

118maintains its headquarters or where a party resides. Review of proceedings shall be conducted in

133accordance with the Florida appellate rules. The Notice of Appeal must be filed within 30 days of

150rendition of the order to be reviewed.

157CERTIFICATE OF SERVICE

160I CERTIFY that a true and correct-G!WY of this Final Order was served on the below-named

176persons by the method designated on this of .-- J , 2021.

187. hoop, Agency Clerk

191Agency for Health Care Administration

1962727 Mahan Drive, Mail Stop 3

202Tallahassee, Florida 32308

205Telephone: (850) 412-3630

208Facilities Intake Unit Central Intake Unit

214Agency for Health Care Administration Agency for Health Care Administration

224(Electronic Mail) (Electronic Mail)

228Maurice Boetger, Senior Attorney Shaddrick A. Haston, Esquire

236Office of the General Counsel Ullman Bursa Law

244Agency for Health Care Administration 3812 Coconut Palm Drive, Suite 200

255(Electronic Mail) Tampa, Florida 33619

260shaston@ublawoffices.com

261(Electronic Mail)

263Jodi-Ann V. Livingstone J. Bruce Culpepper

269Administrative Law Judge Administrative Law Judge

275Division of Administrative Hearings Division of Administrative Hearings

2831230 Apalachee Parkway 1230 Apalachee Parkway

289Tallahassee, Florida 32399-3060 Tallahassee, Florida 32399-3060

295(Electronic Filing) (Electronic Filing)

299STATE OF FLORIDA

302AGENCY FOR HEALTH CARE ADMINISTRATION

307STATE OF FLORIDA, AGENCY FOR

312HEALTH CARE ADMINISTRATION,

315Petitioner,

316DOAH No.: 20-0094

319vs. AHCA No. 2019003368

323CONCORDIA OF FLORIDA, INC. d/b/a

328CONCORDIA VILLAGE OF TAMPA,

332Respondent.

333STATE OF FLORIDA, AGENCY FOR

338HEALTH CARE ADMINISTRATION,

341Petitioner,

342DOAH No.: 20-1 063

346vs. AHCA No. 2019001114

350JOHN KNOX VILLAGE OF TAMPA BAY, INC.

357f/d/b/a JOHN KNOX VILLAGE MED CENTER,

363Respondent.

364SETTLEMENT AGREEMENT

366The Petitioner, State of Florida, Agency for Health Care Administration ("the Agency"),

380and the Respondents, Concordia of Florida, Inc. d/b/a Concordia Village of Tampa and John Knox

395Village of Tampa Bay, Inc. f/d/b/a John Knox Village Med Center ( coJiectively or individually

"410the Respondent"), pursuant to Section 120.57(4), Florida Statutes, enter into this Settlement

423Agreement ("Agreement") and agree as follows:

431WHEREAS, the Agency is the licensing and regulatory authority over the Respondent

443pursuant to Chapter 408, Part II, and Chapter 400, Part II, Florida Statutes; and

457Page I of6

460EXHIBIT 2

462WHEREAS, the Respondent is a nursing home licensed pursuant to Chapter 408, Part II,

476Chapter 400, Part II, Florida Statutes, and Chapter 59A-4, Florida Administrative Code; and

489WHEREAS, the Agency issued the Respondent an Administrative Complaint (AHCA No.

5002019003368) seeking to impose an administrative fine of $3,000.00 and to assign conditional

514licensure status effective January 28, 2019 and ending January 28, 20 19; and

527WHEREAS, the Agency issued the Respondent an Administrative Complaint (AHCA No.

5382019001114) seeking to impose an administrative fine of $1,000.00 and to assign conditional

552licensure status effective November 27, 2017 and ending November 30, 20 17; and

565WHEREAS, the parties have agreed that a fair, efficient, and cost effective resolution of

579these disputes would avoid the expenditure of substantial sums to litigate these disputes; and

593WHEREAS, the parties have negotiated in good faith and agreed that the best interest of

608all the parties will be served by a settlement of these proceedings;

620NOW THEREFORE, in consideration of these mutual promises and recitals, the parties,

632intending to be legally bound, agree as follows:

640I. All of the above recitals are true and correct and are expressly incorporated into

655this Agreement.

6572. The above "whereas" clauses are binding findings on the parties.

6683. Upon full execution ofthis Agreement, the Respondent waives any and all appeals

681and proceedings to which it may be entitled including, but not limited to, informal proceedings

696under Subsection 120.57(2), Florida Statutes, formal proceedings under Subsection 120.57(1),

706Florida Statutes, appeals under Section 120.68, Florida Statutes; and further waives compliance

718with the form of the Final Order (findings of fact and conclusions of law) to which it may be

737entitled. Provided, however, this Agreement shall not be deemed a waiver by any party of its right

754Page2of6

755to the judicial enforcement ofthis Agreement.

7614. Upon full execution of this Agreement, in AHCA No. 2019003368, the Respondent

774agrees to pay the Agency $3,000.00 within 30 days ofthe entry of the Final Order adopting this

792Agreement.

7935. Upon full execution ofthis Agreement, in AHCA No. 2019003368, the Respondent

805is assigned conditional licensure status effective January 28, 2019 and ending January 28, 20 I 9.

8216. Upon full execution of this Agreement, the Agency agrees to withdraw the

834Administrative Complaint in AHCA No. 2019001 I 14.

8427. Venue for any action brought to interpret, enforce, or challenge the terms of this

857Agreement and adopting Final Order shall lie solely in the Circuit Court of Leon County, Florida.

8738. By entering into this Agreement, the Respondent continues to deny the allegations

886set forth in the Administrative Complaints, but recognizes that the Agency continues in good faith

901to assert the validity of the allegations. This Agreement shall not preclude the Agency from

916imposing any penalty against the Respondent for any other deficiency identified in any other

930survey of the Respondent. This Agreement shall not preclude the Agency from using the deficiencies

945from the surveys identified in the Administrative Complaint (AHCA # 2019003368) in any decision

959regarding licensure of the Respondent. In the event the Agency takes such action in the future,

975nothing in this Agreement shaH serve as a waiver of the Respondent's rights under Chapter 120,

991Florida Statutes, or other applicable law. In addition, this Agreement shall not preclude or estop

1006any federal, other state agency, or local agency from taking any action against the Respondent

1021based upon, in whole or in part, the allegations set forth in the Administrative Complaints.

10369. Upon full execution of this Agreement, the Agency shall enter a Final Order

1050adopting and incorporating this Agreement and closing the above-styled cases.

1060Page 3 of6

106310. Each party shall bear its own costs and attorney's fees.

10741 I. This Agreement shall become effective on the date upon which it is fully executed

1090by all parties designated below.

109512. The Respondent, for itself and for its related or resulting organizations, entities,

1108successors, and transferees, attorneys, and heirs, discharges the Agency, its agents, representatives,

1120and attorneys, from all claims, demands, actions, causes of action, suits, damages, losses, and

1134expenses, of any and every nature whatsoever, arising out of or in any way related to this matter

1152and the Agency's actions, including, but not limited to, any claims that were or may be asserted in

1170any federal or state court or administrative forum, including any claims arising out of this

1185Agreement, by or on behalf of the Respondent or related entities.

119613. This Agreement is binding upon all parties and those persons and entities that are

1211identified in the above paragraph of this Agreement.

121914. In the event that the Respondent was a Medicaid provider at the time of the

1235occurrences alleged in the Administrative Complaints, this Agreement does not prevent the

1247Agency from seeking Medicaid overpayments related to the subject issues or from imposing any

1261further sanctions pursuant to Rule 59G-9.070, Florida Administrative Code. This Agreement does

1273not settle any pending or potential federal issues against the Respondent. This Agreement does not

1288prohibit the Agency from taking any action regarding the Respondent's Medicaid provider status,

1301conditions, requirements or contract, if applicable.

130715. The undersigned have read and understand this Agreement and have the authority

1320and legal capacity to bind their respective principals. The Respondent acknowledges the right to

1334retain independent counsel and has either obtained its own counsel or voluntarily waived the right

1349to counsel. The Respondent understands that counsel for the Agency represents solely the Agency

1363Page 4 of6

1366and that counsel for the Agency has not provided any legal advice to, or influenced, the Respondent

1383in the decision to enter into this Agreement.

139116. This Agreement contains the entire understandings and agreements of the parties.

1403This Agreement supersedes any prior oral or written agreement that may have existed between the

1418parties. This Agreement may not be amended except in writing. Any attempted assignment of this

1433Agreement shall be void.

143717. All parties agree that an electronic or facsimile signature suffices for an original

1451signature, that an electronic or facsimile copy suffices for an original document, and that this

1466agreement may be executed in counterparts.

147218. This Agreement shall be effective upon full execution by all parties and adoption

1486into a Final Order. After full execution of this Agreement, the Agency will enter a Final Order

1503adopting this agreement and closing this case.

1510The following representatives acknowledge that they are duly authorized to enter into this

1523Agreement.

1524imberly . Sm ak, Deputy Secretary HopeR dayal

1532Health Quality Assurance Concordia of Florida, Inc. /a Concordia

1541Agency for Health Care Administration Village of Tampa (Licensee at the time

15532727 Mahan Drive, Building #3 of the Agency action commenced)

1563Tallahassee, Florida 32308 41 00 E. Fletcher Ave

1571Tampa, Florida 33613

1574DATED: Hlzt

1576Page 5 of6

1579James D. Varna General Counsel Shaddrick A Haston, Esquire

1588Office of the Geb raJ Counsel Ullman Bursa Law

1597Agency for Healf Care Administration 3812 Coconut Palm Drive, Suite 200

16082727 Mahan Drive, Mail Stop #3 Tampa, Florida 33619

1617Attorney for Concordia Village

1621Tallahassee, 3t3l8' .

1624DATED:__ I '·. I I · ' I DATED: ___ 7_/1_4/_2_1 ____ _

1637Maurice T. Boetger, Senior Attorney

1642Office of the General Counsel

1647Agency for Health Care Administration

16522727 Mahan Drive, Mail Stop #3

1658Tallahassee, Florida 32308

1661DATED: !) /)h., I

1665Page 6 of6

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PDF
Date
Proceedings
PDF:
Date: 08/04/2021
Proceedings: Settlement Agreement filed.
PDF:
Date: 08/04/2021
Proceedings: Agency Final Order filed.
PDF:
Date: 07/20/2021
Proceedings: Agency Final Order
PDF:
Date: 08/11/2020
Proceedings: Order Closing File and Relinquishing Jurisdiction. CASE CLOSED.
PDF:
Date: 08/10/2020
Proceedings: Joint Motion to Relinquish Jurisdiction filed.
PDF:
Date: 07/15/2020
Proceedings: Order Rescheduling Hearing by Zoom Conference (hearing set for August 20, 2020; 9:00 a.m.; Tallahassee).
Date: 07/15/2020
Proceedings: CASE STATUS: Status Conference Held.
PDF:
Date: 07/15/2020
Proceedings: Notice of Telephonic Status Conference (status conference set for July 15, 2020; 11:30 a.m.).
PDF:
Date: 07/13/2020
Proceedings: Second Status Report filed.
PDF:
Date: 05/13/2020
Proceedings: Order.
PDF:
Date: 05/13/2020
Proceedings: Status Report filed.
PDF:
Date: 04/29/2020
Proceedings: Order Granting Continuance (parties to advise status by May 13, 2020).
PDF:
Date: 04/28/2020
Proceedings: Respondent's Motion for Continuance filed.
PDF:
Date: 03/09/2020
Proceedings: Order Granting Continuance and Rescheduling Hearing (hearing set for May 12, 2020; 9:30 a.m.; Tallahassee).
PDF:
Date: 03/09/2020
Proceedings: Respondent's Motion for Continuance filed.
PDF:
Date: 01/16/2020
Proceedings: Agency's First Request for Admissions filed.
PDF:
Date: 01/16/2020
Proceedings: Agency's First Request for Production of Documents filed.
PDF:
Date: 01/16/2020
Proceedings: Agency's Notice of Propounding First Set of Interrogatories filed.
PDF:
Date: 01/16/2020
Proceedings: Order of Pre-hearing Instructions.
PDF:
Date: 01/16/2020
Proceedings: Notice of Hearing (hearing set for March 17, 2020; 9:30 a.m.; Tallahassee).
PDF:
Date: 01/16/2020
Proceedings: Joint Response to Initial Order filed.
PDF:
Date: 01/10/2020
Proceedings: Initial Order.
PDF:
Date: 01/09/2020
Proceedings: Amended Petition for Formal Hearing filed.
PDF:
Date: 01/09/2020
Proceedings: Administrative Complaint filed.
PDF:
Date: 01/09/2020
Proceedings: Notice (of Agency referral) filed.

Case Information

Judge:
JODI-ANN V. LIVINGSTONE
Date Filed:
01/09/2020
Date Assignment:
01/10/2020
Last Docket Entry:
08/04/2021
Location:
Tallahassee, Florida
District:
Northern
Agency:
Other
 

Counsels

Related Florida Statute(s) (2):

Related Florida Rule(s) (1):