Sweet Peas Childcare
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About the Provider
Hours of Operation
- Monday6:00 AM - 5:00 PM
- Tuesday6:00 AM - 5:00 PM
- Wednesday6:00 AM - 5:00 PM
- Thursday6:00 AM - 5:00 PM
- Friday6:00 AM - 5:00 PM
- Saturday Closed
- Sunday Closed
Inspection/Report History
Where possible, ChildcareCenter provides inspection reports as a service to families. This information is deemed reliable but is not guaranteed. We encourage families to contact the daycare provider directly with any questions or concerns. Reports can also be verified with your local daycare licensing office.
| Inspection Date | Reason | Description | Status |
|---|---|---|---|
| 2025-11-05 | Renewal | 3290.11(h)(2)/3290.11(h)(2)(i) - Clearances for renewal application/Clearances for individuals residing in home | Compliant - Finalized |
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Regulation: 3290.11(h)(2)/3290.11(h)(2)(i) Description: Clearances for renewal application/Clearances for individuals residing in home Noncompliance Area: The legal entity did not submit clearances for each individual 18 years of age or older who resides in the child care facility at least 30 days in a calendar year. This is evidenced by HHM #3 (DOB see LIS code sheet) turning 19-years-of age following the date of the previous application for a certificate of compliance. Correction Required: At renewal, the legal entity shall submit clearances for each individual 18 years of age or older who resides in the child care facility at least 30 days in a calendar year if any of the following apply The individual attained 18 years of age following the date of the previous application for a certificate of compliance. |
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Provider Response: (Contact the State Licensing Office for more information.) All applicable clearances were applied for immediately. All individuals 18 years and older who reside in the facility have applied for the necessary clearances. |
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| 2025-11-05 | Renewal | 3290.32(a) - Comply with CPSL | Compliant - Finalized |
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Regulation: 3290.32(a) Description: Comply with CPSL Noncompliance Area: Staff person #1 does not have a valid NSOR certificate on file. This is evidenced by the NSOR certificate being dated 1/14/2020. Staff person #1 did not update mandated reporter training in a timely manner. This is evidenced by mandated reporter training certificates dated 4/16/2020 and 9/29/2025, which exceeds the CPSL requirement of every 60 months. HHM #2 does not have a valid NSOR certificate on file. This is evidenced by the NSOR certificate being dated 1/14/2020. Correction Required: The operator shall comply with the CPSL and with Chapter 3490 (relating to protective services). Staff person #1 may not provide child care services until the results of a valid NSOR certificate have been received. |
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Provider Response: (Contact the State Licensing Office for more information.) The NSOR certificate was applied for and received for both people. Updates were made to the file so that important expiration dates will not be missed. Mandated reporter training has been completed. Childcare will not be provided until NSOR arrives. |
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| 2024-11-13 | Renewal | 3290.103 - Small Toys and Objects | Compliant - Finalized |
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Regulation: 3290.103 Description: Small Toys and Objects Noncompliance Area: It was observed on 11/13/2024 a match box car with removeable parts is accessible to a toddler who is still placing objects in their mouth. (CORRECTED ON SITE) Correction Required: Toys and objects with a diameter of less than 1 inch, objects with removable parts that have a diameter of less than 1 inch, plastic bags and styrofoam objects may not be accessible to children who are still placing objects in their mouths. |
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Provider Response: (Contact the State Licensing Office for more information.) During the inspection the match box car was made inaccessible to children who are still placing objects in their mouths. |
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| 2024-11-13 | Renewal | 3290.64(a) - Locked or inaccessible - in original container | Compliant - Finalized |
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Regulation: 3290.64(a) Description: Locked or inaccessible - in original container Noncompliance Area: It was observed on 11/13/2024 a spray bottle containing a disinfectant solution and a bottle of Baby Powder labeled 'Keep Out of the Reach of Children" are accessible to children while they are getting their diaper changed on the changing table. (CORRECTED ON SITE) Correction Required: Cleaning materials and other toxic materials shall be stored in an original labeled container or in a container that specifies the content. Toxics shall be kept in a locked area or in an area inaccessible to children, and shall be stored away from food, food preparation areas and child care spaces. |
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Provider Response: (Contact the State Licensing Office for more information.) During the inspection the spray bottle containing the disinfectant solution and the bottle of Baby Powder were made inaccessible to children while they are on the changing table. |
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| 2024-11-13 | Renewal | 3290.74(a) - Requirements | Compliant - Finalized |
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Regulation: 3290.74(a) Description: Requirements Noncompliance Area: It was observed on 11/13/2024 several rose bushes with thorns on the stems are accessible to children in the outdoor play space area. Correction Required: Floors, walls, ceilings and other surfaces, including the facility's outdoor play area, shall be kept clean, in good repair and free from visible hazards. |
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Provider Response: (Contact the State Licensing Office for more information.) A 4 ft wire fence was placed around the rose bushes making them inaccessible to the children. |
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| 2024-11-13 | Renewal | 3290.95(b) - Operator or designated staff responsibility | Compliant - Finalized |
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Regulation: 3290.95(b) Description: Operator or designated staff responsibility Noncompliance Area: The operator who is responsible for compliance with this chapter has not ensured the requirements in § 3290.95(a) are met as evidenced by the 30-day manual testing requirement being exceeded several times throughout the last year. The operator has been manually testing the smoke detectors the first of every month in 2024. January, March, May, July, August, and October all have 31 days in those months. Correction Required: The operator or designated staff person who is responsible for compliance with this chapter shall ensure the requirements in § 3290.95(a) are met. |
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Provider Response: (Contact the State Licensing Office for more information.) I understand where I have violated the code by checking the smoke detectors sometimes at the 31-day point. I will remedy this moving forward. |
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| 2023-11-13 | Renewal | 3290.131(d)(5) - Immunization record | Compliant - Finalized |
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Regulation: 3290.131(d)(5) Description: Immunization record Noncompliance Area: The file for Child #1 contains documentation the last influenza vaccination was administered on 9/22/2021, which is no longer valid and is therefore not in compliance with the recommendations of the ACIP. The file for Child #2 does not include documentation of receiving the influenza vaccination according to the recommendations of the ACIP. Correction Required: A health report shall include a review of the child's immunized status according to recommendations of the ACIP. |
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Provider Response: (Contact the State Licensing Office for more information.) I have talked to the parents of children #1 and #2 and they are declining the flu shot for their children. One parent has provided documentation of this fact. I am still waiting for documentation from the parent of the other child. When they provide that to me, I will send a copy to my state rep to verify that I have corrected the violation. |
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| 2023-11-13 | Renewal | 3290.32(a)/3290.192(3) - Comply with CPSL/CPSL information | Compliant - Finalized |
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Regulation: 3290.32(a)/3290.192(3) Description: Comply with CPSL/CPSL information Noncompliance Area: The file for Facility Person #1 (DOH see LIS code sheet) contains an FBI clearance dated 9/19/2023, which is after their first day caring for children. Facility Person #1's record does not include documentation that their fingerprints were submitted prior to their first day caring for children and is therefore not in compliance with the CPSL. Correction Required: The operator shall comply with the CPSL and with Chapter 3490 (relating to protective services). A facility person's record shall include a copy of requests for the criminal history record and child abuse registry clearance information, a copy of the disclosure statement and a copy of the completed clearance information required under the CPSL. |
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Provider Response: (Contact the State Licensing Office for more information.) I have read the code and now understand that staff must have documentation that fingerprints were submitted prior to their first day caring for children. My staff member does have documentation of fingerprinting now. |
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| 2023-11-13 | Renewal | 3290.64(a) - Locked or inaccessible - in original container | Compliant - Finalized |
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Regulation: 3290.64(a) Description: Locked or inaccessible - in original container Noncompliance Area: It was observed on 11/13/2023 a can of air freshener was accessible to children in the bathroom located in the child care space. (CORRECTED ON SITE) Correction Required: Cleaning materials and other toxic materials shall be stored in an original labeled container or in a container that specifies the content. Toxics shall be kept in a locked area or in an area inaccessible to children, and shall be stored away from food, food preparation areas and child care spaces. |
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Provider Response: (Contact the State Licensing Office for more information.) During the inspection the can of air freshener was made inaccessible to children. |
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| 2022-11-16 | Renewal | 3290.32(a)/3290.192(3) - Comply with CPSL/CPSL information | Compliant - Finalized |
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Regulation: 3290.32(a)/3290.192(3) Description: Comply with CPSL/CPSL information Noncompliance Area: The file for Staff Person # 1 contained PSP clearances dated 1/3/2017 and 2/20/22, Child abuse clearances dated 1/3/2017 and 3/2/2022, and FBI clearances dated 1/21/2017 and 3/30/2022, which all exceeded the CPSL requirement that clearances are updated at least every 60 months. The file for HHM #2 contained PSP clearances dated 1/4/2017 and 2/20/2022, Child Abuse clearances dated 1/4/2017 and 3/2/2022, and FBI clearances dated 1/21/2017 and 3/30/2022, which all exceeded the CPSL requirement that clearances are updated at least every 60 months. Correction Required: The operator shall comply with the CPSL and with Chapter 3490 (relating to protective services). A facility person's record shall include a copy of requests for the criminal history record and child abuse registry clearance information, a copy of the disclosure statement and a copy of the completed clearance information required under the CPSL. |
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Provider Response: (Contact the State Licensing Office for more information.) Attention will be paid to the exact expiration date of all clearances and renewal will be obtained early enough as not to exceed the 60 month limit. As the clearances have already been obtained this will have to be corrected moving forward. |
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| 2022-11-16 | Renewal | 3290.94(a)(1) - Every 60 days | Compliant - Finalized |
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Regulation: 3290.94(a)(1) Description: Every 60 days Noncompliance Area: Upon review of facility's fire drill log it was noted that a fire drill was conducted on 8/3/2022 and not again until 10/30/2022, which exceeded the requirement that fire drills are conducted at least once every 60 days. Correction Required: The operator or designated staff person who is responsible for compliance with this chapter shall conduct fire drills and ensure that fire drills are conducted at least once every 60 days. |
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Provider Response: (Contact the State Licensing Office for more information.) Attention will be paid to the exact dates of fire drills to ensure that drills are performed within 60 days of one another. This will be corrected moving forward. |
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| 2021-11-04 | Renewal | 3290.124(b)(3) - Parent home/work address, phone | Compliant - Finalized |
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Regulation: 3290.124(b)(3) Description: Parent home/work address, phone Noncompliance Area: Emergency contact information for Child #1, #2, and #3 does not include the work telephone number of the enrolling parent. Correction Required: Emergency contact information must include the home and work addresses and telephone numbers of the enrolling parent. |
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Provider Response: (Contact the State Licensing Office for more information.) I have asked the parents to provide their work phone numbers for the emergency contact information, which they have all done. |
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If you are a provider and believe any information is incorrect, please contact us. We will research your concern and make corrections accordingly.
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