Research · Financial distress desk · Data snapshot
A federal penalty called Denial of Payment for New Admissions (DPNA) stops a nursing home from billing Medicare for any new resident — a de facto ban on taking new patients. We named, mapped, and dated every one from official CMS records.
When a nursing home fails a health or safety survey badly enough, and then fails to fix the problem on CMS’s timetable, the agency has a graded set of enforcement remedies it can apply. One of the sharpest short of shutting a facility down is the Denial of Payment for New Admissions, or DPNA. Under 42 CFR §488.417, CMS instructs Medicare — and, in almost every case, the state Medicaid program — to stop paying for any resident admitted to the facility after a set date. The home can keep caring for the residents it already has, and those residents’ stays are still covered. But no new Medicare or Medicaid admission will be paid for until the denial lifts.
In practice that is a ban on taking new patients. Skilled nursing is a thin-margin business that runs on a steady intake of Medicare-covered short-stay rehabilitation residents and Medicaid-covered long-stay residents. Cut off payment for new admissions and the facility’s pipeline of revenue stops almost immediately, even though the building stays open. That financial pressure is the point: a DPNA is designed to make non-compliance expensive enough that an operator fixes the underlying problem fast. It is a corrective lever, not a closure — distinct from the rarer step of terminating a facility from the Medicare program entirely.
Here is the reporting gap this study closes. The fact that a home was placed under a DPNA is public, but it is buried inside a penalties file alongside monetary fines, with no running count and no named list anywhere on the open web. Search for “nursing homes banned from Medicare” and you get billing-procedure explainers, not a number and not a roster. So we built one: every distinct facility that has been under a DPNA across the CMS three-year window, resolved to its official identity, with the start date and length of each denial.
The stakes sit on both sides of the bed. For a resident or family shopping for a skilled-nursing placement, a denial is a signal that the federal government found the home seriously out of compliance and then had to escalate because the first round of correction did not stick. For the operator, the denial is a cash-flow event: the short-stay Medicare admissions that carry the highest reimbursement stop arriving first, while fixed costs — staff, rent, insurance — keep running. That asymmetry is exactly why CMS reaches for the tool. It concentrates the pain on the part of the business an operator can least afford to lose, which is what gives a corrective remedy its teeth.
A DPNA is one rung on a graded federal enforcement ladder, and reading the rung correctly is the key to interpreting this dataset. When a state survey agency cites a nursing home, the severity and scope of the finding determine what CMS can do next. Minor, isolated findings draw a plan of correction and a follow-up visit. More serious or repeated findings draw money: a civil money penalty, assessed either per day the violation persists or per instance. When money alone has not produced a fix, or when the finding is grave enough on its own, CMS turns to remedies that touch the facility’s ability to operate normally — and the Denial of Payment for New Admissions is the first of those.
Above the denial sit the most severe steps: a state-appointed temporary manager, and ultimately involuntary termination from the Medicare and Medicaid programs, which ends federal payment entirely and usually forces the home to close or sell. A DPNA is deliberately short of that. It is meant to be reversible: serve the denial, fix the deficiency, pass a revisit survey, and resume admissions. The most urgent findings — those CMS labels immediate jeopardy, meaning a situation likely to cause serious injury or death — compress this whole timeline, because the law requires a fast remedy or termination. Many of the longest denials in this dataset trace back to findings that started at, or escalated to, that immediate-jeopardy level and then resisted a quick correction.
That ladder is why the counts here should be read as a measure of enforcement, not a leaderboard of the “worst” homes. A facility lands in this dataset because a serious finding was followed by a slow or incomplete fix — a sequence that depends on the citation, the operator’s response, and the rhythm of the state survey agency, all at once. Two homes with similar underlying problems can end up on different rungs depending on how quickly each returned to compliance. The denial marks the escalation; it does not, by itself, rank the care.
The raw material has been public for years, yet no running count or named roster of payment-denied nursing homes existed anywhere on the open web. The reason is structural. CMS publishes denials inside a penalties file built primarily around monetary fines, where a payment denial is just one of two penalty types and carries a length in days rather than a dollar figure. There is no “banned facilities” feed, no press release per action, and no aggregate. The information is open, but it is shaped for compliance recordkeeping, not for a reader who wants to know how many homes were affected and which ones.
Two extra problems keep the number out of reach. First, the penalty file’s facility names are inconsistent and sometimes truncated, so a naive list produces unreliable identities; resolving each provider number against the official Provider of Services file is what turns a messy export into a clean, nameable roster. Second, the file is a rolling window with survey-event dating, which means a casual reader cannot tell a current ban from a long-closed one without computing the implied end date. We did both — identity resolution and date math — so the result is a roster that is both nameable and honestly framed. The point of publishing it is not to shame any home; it is to make a real, federally documented enforcement record legible for the first time.
The headline count is 718 distinct nursing homes. Because 195 of them were placed under a denial more than once — one facility drew 6 separate denials — the total number of enforcement actions is higher, at 1,000. The median denial ran 20 days and the mean 29 days; the gap between the two reflects a long right tail of unusually extended bans. The single longest denial in the window — THE REHABILITATION CENTER OF NORTH HILLS in NORTH HILLS, CA — ran 404 days, from 2024-08-09 to 2025-09-17. 718 of the 718 banned facilities resolved to an official CMS Provider of Services record (718/718), so the named lists below carry no unattributed identities.
DPNA actions are not evenly spread. IL alone accounts for 299 banned facilities across 500 actions — far more than any other jurisdiction — while several states recorded only a single facility, and at least one recorded none at all in the window. Concentration reflects two things at once: the raw size of a state’s nursing-home sector, and how aggressively its state survey agency cites and escalates. Filter or sort the table below; counts are denial actions, not quality judgments.
| IL | 299 | 500 | 31 | 155 |
| CA | 127 | 167 | 26 | 404 |
| IA | 71 | 85 | 28 | 112 |
| GA | 40 | 41 | 29 | 74 |
| CO | 35 | 39 | 23 | 85 |
| IN | 34 | 40 | 21 | 98 |
| FL | 23 | 24 | 33 | 93 |
| KS | 16 | 18 | 15 | 79 |
| AL | 14 | 15 | 34 | 116 |
| AR | 12 | 13 | 18 | 62 |
| CT | 11 | 12 | 31 | 71 |
| MO | 7 | 10 | 32 | 116 |
| DC | 5 | 6 | 34 | 76 |
| DE | 4 | 7 | 55 | 117 |
| AZ | 4 | 5 | 32 | 90 |
| OK | 4 | 4 | 7 | 10 |
| AK | 3 | 3 | 12 | 25 |
| TX | 3 | 3 | 7 | 13 |
| OH | 2 | 2 | 17 | 17 |
| RI | 1 | 3 | 20 | 30 |
| HI | 1 | 1 | 11 | 11 |
| ID | 1 | 1 | 61 | 61 |
| MA | 1 | 1 | 148 | 148 |
Each tile is a state, positioned roughly geographically; darker tiles have more distinct facilities banned. This cartogram gives every state equal visual weight so small, dense states are not lost — a deliberate alternative to an area choropleth, where geographically large but sparsely affected states would dominate.
Tiles show distinct facilities banned. Territories outside the 50-state grid are listed in the table above. SD recorded no DPNA action in the window.
The penalties file is a three-year rolling window, so the first and last calendar years are partial — the count tapers at both ends not because enforcement slowed, but because the window’s edges clip them. The fuller middle years carry the bulk of the actions.
Read the middle of the series rather than the ends. The fullest year in the window carried more than a thousand denial actions across roughly the same number of distinct facilities, which tells you most homes drew a single action that year while a minority cycled through more than one. Year-to-year movement in a rolling file like this should be read cautiously: a dip at the leading edge is an artifact of data not yet landing, not a real decline, and the same caution applies to the trailing edge. The durable signal is the scale — well over two thousand denial actions in three years — not the shape of the tails.
Most denials are short. The largest single group is brief windows of a few weeks, consistent with CMS’s aim of forcing a fast return to compliance rather than closing a home. But a meaningful tail extends for months — and that tail is where the most serious, slowest-to-fix failures sit. The distribution below counts denial actions by length.
Below are the 25 facilities that served the longest single denial in the window, each resolved to its official CMS identity by provider number (CCN) before listing. Names, cities, certified bed counts, and chain affiliations come from the CMS Provider of Services file; denial dates and lengths come from the penalties file. Where a chain is shown, it is the ownership affiliate CMS records for that facility — not a judgment about the chain.
| # | Facility | City | State | Beds | Chain | Ban start | Days | Implied end |
|---|---|---|---|---|---|---|---|---|
| 1 | THE REHABILITATION CENTER OF NORTH HILLS | NORTH HILLS | CA | 138 | — | 2024-08-09 | 404 | 2025-09-17 |
| 2 | ELEVATE CARE NILES | NILES | IL | 302 | elevate care | 2023-07-08 | 155 | 2023-12-10 |
| 3 | SOUTH ELGIN LIVING & REHAB CENTER |
“Implied end” = denial start date + length in days. The penalties file carries no explicit end-date column. Download the full action-level dataset as CSV.
The single longest denial in the window belongs to THE REHABILITATION CENTER OF NORTH HILLS in NORTH HILLS, CA, a 138-bed facility. Its denial ran 404 days — from 2024-08-09 to 2025-09-17 — more than a full year without paid new Medicare admissions. A window that long almost always reflects a serious finding that proved slow to correct across multiple revisit surveys, because CMS lifts a denial the moment a facility passes a revisit; the clock only keeps running while the home remains out of compliance.
The next two longest tell the same story in different settings. ELEVATE CARE NILES in NILES, IL served 155 days, and SOUTH ELGIN LIVING & REHAB CENTER in SOUTH ELGIN, IL served 152. None of these are small or obscure buildings — several of the longest-banned facilities carry some of the highest certified bed counts in the dataset, which means a single extended denial can sideline a large share of a local market’s skilled-nursing capacity for months. That is part of why these actions matter beyond the individual home: in a tight market, a long denial can ripple into hospital discharge planning and bed availability for an entire area.
A practical caution for readers scanning the table: the presence of a facility here describes a federal enforcement action with a specific start and end, not a permanent label. Most of these denials have already closed, and a facility that served a denial and returned to compliance is, by the program’s own design, back in good standing for new admissions. The value of the list is historical and pattern-level — it shows where and how often the federal government has had to pull this particular lever.
The gap between 718 facilities and 1,000 actions is the most telling number in the study. 195 facilities — roughly one in five of those banned — were placed under a denial more than once inside this single three-year window. One home reached 6 separate denials. A repeat denial is a strong signal: it means the corrective remedy worked well enough to lift the first ban, but the underlying conditions returned, and CMS had to escalate again. For families, a facility with multiple denials in a short span is a different proposition than one with a single, long-closed action.
Ownership context matters too, which is why the named table carries the chain affiliation CMS records for each facility. Several multi-state operators appear more than once across the longest bans — a pattern worth watching, because operating decisions about staffing, budgeting, and corrective response are frequently made above the level of the individual building. We surface the affiliate name as a fact from the Provider of Services file and stop there: this study does not compute chain-level ban rates or attribute cause to any operator. Readers who want to trace ownership further can follow the SNF ownership records, where the same facilities resolve to their disclosed owners and management companies.
Geography compounds the picture. IL’s 299 banned facilities are not only the most of any state; they also include some of the largest buildings in the dataset by certified bed count, so a single denial there can affect hundreds of beds’ worth of admissions capacity at once. A handful of states with large nursing-home sectors — concentrated in the Midwest and on the West Coast — account for a disproportionate share of the national total, while many states contribute only a few facilities each. That spread is visible in both the filterable table and the tile-grid map above.
A DPNA action is a single row in the CMS Nursing Home Penalties dataset (CMS Provider Data Catalog, dataset g6vv-u9sr) whose penalty type is Payment Denial. Each carries a payment_denial_start_date and a payment_denial_length_days. We count distinct facilities by provider number (CCN), count actions by row, and compute ban length directly from the length field. Facility identity is resolved against the CMS Provider of Services (POS) file by CCN; POS supplies the canonical name, city, certified bed count, and chain affiliation. Method version dpna-bans/v1. The headline counts are reproduced by:
-- Headline: distinct banned facilities + total denial actions
SELECT
COUNT(*) AS denial_actions,
COUNT(DISTINCT ccn) AS facilities_banned,
ROUND(AVG(payment_denial_length_days)) AS avg_ban_days,
MAX(payment_denial_length_days) AS longest_ban_days
FROM nh_penalties
WHERE penalty_type = 'Payment Denial';
-- State breakdown (distinct facilities + actions per state)
SELECT state,
COUNT(DISTINCT ccn) AS facilities,
COUNT(*) AS actions,
ROUND(AVG(payment_denial_length_days)) AS avg_days,
MAX(payment_denial_length_days) AS max_days
FROM nh_penalties
WHERE penalty_type = 'Payment Denial'
GROUP BY state
ORDER BY facilities DESC;
-- Named facilities, identity resolved against CMS POS
SELECT p.ccn,
COALESCE(pos.facility_name, p.provider_name) AS facility_name,
p.state, pos.beds_certified, pos.chain_name,
p.payment_denial_start_date AS ban_start,
p.payment_denial_length_days AS ban_days,
(p.payment_denial_start_date
+ (p.payment_denial_length_days || ' days')::interval)::date AS implied_end
FROM nh_penalties p
LEFT JOIN cms_pos_facilities pos ON pos.ccn = p.ccn
WHERE p.penalty_type = 'Payment Denial'
ORDER BY p.payment_denial_length_days DESC;A few field-level decisions shape the counts. We treat each penalties row whose type is Payment Denial as one action, and we count a facility once per provider number regardless of how many denials it drew. The named “longest bans” table deduplicates to distinct facilities, keeping each home’s single longest denial, so no facility appears twice. Average and median ban length are computed across actions, not facilities, because the denial — not the building — is the unit of enforcement. Where the penalties file and the Provider of Services file disagree on a facility’s name, we display the Provider of Services name as canonical and fall back to the penalty-file name only when no Provider of Services record exists; across this window every banned provider number resolved against the Provider of Services file, and a single truncated source name was reconciled to its canonical form.
The page reads these counts live from the database on a daily refresh and falls back to the 2026-06-04 snapshot for static rendering, so the figures you see are always traceable to the SQL above. Federal data is public domain under 17 U.S.C. §105; we publish it free under a CC BY 4.0 license with full method disclosure. Read how every Fonteum figure is sourced on the sources page.
It means CMS imposed a Denial of Payment for New Admissions (DPNA) under 42 CFR §488.417. The facility may keep caring for existing residents, but Medicare and Medicaid will not pay for any NEW admission for the length of the denial. Because payment is the lever almost every facility depends on, a DPNA functions as a temporary ban on taking new patients. It is a remedy CMS uses when a home fails to return to substantial compliance after a serious survey finding.
Across the CMS Nursing Home Penalties three-year rolling window, 718 distinct facilities have been subject to at least one DPNA, spread across 1,000 separate denial actions. 195 of those facilities were hit more than once. The window runs from 2023-05-05 to 2026-03-06.
This study reports facilities that HAVE BEEN banned over the period — not a live "currently banned" roster. The CMS penalties file records a denial start date and a length in days; the implied end date is start + length. Many of these windows have already closed. To check a specific home's current standing, look it up on Medicare Care Compare, which reflects active enforcement, and read this study's end-date column for the implied close of each denial.
The average denial in the window ran 29 days; the median was 20 days. Most are short — a few weeks — because the goal is to pressure a quick return to compliance, not to close the home. A long tail runs far longer: the longest single denial reached 404 days. Ban length is computable directly from the payment_denial_length_days field.
Yes. A DPNA is a corrective remedy, not a termination. It lifts once the facility returns to substantial compliance and CMS confirms it through a revisit survey. Most facilities in this dataset served a denial and resumed new admissions. A DPNA is distinct from involuntary termination from the Medicare program, which is a separate and rarer action.
IL leads by a wide margin with 299 distinct facilities banned across 500 actions. Concentration tracks both the size of a state's nursing-home sector and the intensity of its state survey agency. Use the filterable table and tile-grid map above to read any jurisdiction; Fonteum does not rank or rate facilities — these are counts of CMS enforcement actions.
Every figure comes from the CMS Nursing Home Penalties dataset (CMS Provider Data Catalog, dataset g6vv-u9sr), with facility identity resolved against the CMS Provider of Services (POS) file by CCN. Both are official US government files published by the Centers for Medicare & Medicaid Services and are public domain under 17 U.S.C. §105. The reproducible SQL is published in the Methodology section so anyone can regenerate the counts.
For families and patient advocates, the practical workflow is two steps. Use the named table and the state breakdown to see whether a facility — or the operators active in your area — has a denial on record in this window, then confirm a specific home’s current standing on Medicare Care Compare, which reflects active enforcement in close to real time. A past, closed denial is context for a conversation with an admissions coordinator, not a verdict; a recent or repeat denial deserves a direct question about what changed and what was fixed.
For reporters and researchers, this study is a starting index across 23 jurisdictions, not the end of the inquiry. The action-level CSV gives every denial with its facility identity, start date, and length, which you can join to ownership records, staffing data, and the underlying health-deficiency citations to reconstruct why a given home ended up on this rung. Because every figure traces to the published SQL against official CMS files, the counts are independently reproducible — re-run the queries against the same dataset and you will land on the same numbers. We ask only that re-publication preserve the framing: these are facilities that have been banned over a defined window, dated and bounded, not a live blacklist.
For operators and their counsel, the value is benchmarking. The ban-length distribution and the state-level averages put any single action in context: a brief denial that closed on schedule looks very different against a backdrop where most denials run only a few weeks than it does in isolation. Nothing here assigns fault or predicts outcomes; it simply makes a previously scattered public record legible in one place.
Fonteum Research · Published 2026-06-04 · Data source: CMS, public domain under 17 U.S.C. §105 · Published free under CC BY 4.0 · Method dpna-bans/v1.
| SOUTH ELGIN |
| IL |
| 90 |
| Peterson Healthcare |
| 2024-03-01 |
| 152 |
| 2024-07-31 |
| 4 | BRIGHAM HEALTH AND REHABILITATION CENTER | NEWBURYPORT | MA | 64 | Alpha Healthcare Management | 2023-12-05 | 148 | 2024-05-01 |
| 5 | CITY VIEW MULTICARE CENTER | CICERO | IL | 485 | — | 2023-06-30 | 140 | 2023-11-17 |
| 6 | ST ANTHONY'S NSG & REHAB CTR | ROCK ISLAND | IL | 130 | — | 2023-11-29 | 135 | 2024-04-12 |
| 7 | La Bella of Rochelle | ROCHELLE | IL | 74 | Highlight Healthcare | 2023-08-18 | 134 | 2023-12-30 |
| 8 | AUTUMN MEADOWS OF CAHOKIA | CAHOKIA | IL | 150 | — | 2025-07-03 | 132 | 2025-11-12 |
| 9 | Nexus Pavilion at Belleville | BELLEVILLE | IL | 180 | — | 2025-04-08 | 128 | 2025-08-14 |
| 10 | Nexus at Alton | ALTON | IL | 181 | Bria Health Services | 2023-11-02 | 127 | 2024-03-08 |
| 11 | AXIOM HEALTHCARE OF MOUNT VERNON | MOUNT VERNON | IL | 65 | Petersen Healthcare | 2025-01-21 | 126 | 2025-05-27 |
| 12 | BERKELEY NURSING & REHAB CENTER | OAK PARK | IL | 72 | — | 2023-06-23 | 126 | 2023-10-27 |
| 13 | OAKWOOD HEALTHCARE CENTER | CHICO | CA | 99 | — | 2024-04-13 | 125 | 2024-08-16 |
| 14 | ELEVATE CARE COUNTRY CLUB HILL | COUNTRY CLUB HILLS | IL | 200 | — | 2023-11-04 | 123 | 2024-03-06 |
| 15 | AUSTIN OASIS, THE | CHICAGO | IL | 216 | ICARE | 2024-03-26 | 122 | 2024-07-26 |
| 16 | WILMINGTON NURSING & REHABILITATION CENTER | WILMINGTON | DE | 138 | — | 2023-10-06 | 117 | 2024-01-31 |
| 17 | CURRENT RIVER NURSING CENTER, INC | DONIPHAN | MO | 120 | Tutera | 2024-08-22 | 116 | 2024-12-16 |
| 18 | KNOLLWOOD HEALTHCARE | MOBILE | AL | 71 | EL-LLC | 2024-05-23 | 116 | 2024-09-16 |
| 19 | STEPHENSON NURSING CENTER | FREEPORT | IL | 148 | — | 2025-02-26 | 114 | 2025-06-20 |
| 20 | PIKE CREEK NURSING & REHABILITATION CENTER | WILMINGTON | DE | 177 | Medical Facilities of America | 2023-11-14 | 114 | 2024-03-07 |
| 21 | Axiom Gardens of Nashville | NASHVILLE | IL | 120 | — | 2025-01-22 | 113 | 2025-05-15 |
| 22 | Stone Cottage Care Center | Sigourney | IA | 41 | Care Sage- PropCo LLC | 2023-10-31 | 112 | 2024-02-20 |
| 23 | GOLDWATER CARE PEORIA HEIGHTS | PEORIA HEIGHTS | IL | 94 | — | 2024-01-20 | 111 | 2024-05-10 |
| 24 | LOFT REHABILITATION & NURSING | EUREKA | IL | 92 | — | 2024-08-02 | 106 | 2024-11-16 |
| 25 | FLANAGAN REHABILITATION & HCC | FLANAGAN | IL | 43 | Peterson Health Care | 2023-08-15 | 106 | 2023-11-29 |