Mrs Colleens Childcare
Quick Facts
Missing details such as transportation or rates? Suggest an update to help other families.
Reviews
Mrs. Colleen's Daycare provides the best care for my 17 mo old daughter that I could possibly ask for. The staff is very friendly and nice and great with my girl. i just love them.
Write a Review
Write a review about Mrs Colleens Childcare. Let other families know what's great, or what could be improved. Please read our brief review guidelines to make your review as helpful as possible.
About the Provider
Hours of Operation
- Monday6:30 AM - 5:30 PM
- Tuesday6:30 AM - 5:30 PM
- Wednesday6:30 AM - 5:30 PM
- Thursday6:30 AM - 5:30 PM
- Friday6:30 AM - 5:30 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 |
|---|---|---|---|
| 2026-07-10 | Renewal | Renewal | Compliant - Finalized |
| 2025-07-16 | Renewal | 3280.32(a)/3280.192(4) - Comply with CPSL/CPSL information | Compliant - Finalized |
|
Regulation: 3280.32(a)/3280.192(4) Description: Comply with CPSL/CPSL information Noncompliance Area: A renewal inspection was conducted on 7/16/25. HHM's #1 & #2 did not update their NSOR clearance every 60 months as required by the CPSL. This is evidenced by the previously documented NSOR clearance on file dated 11/21/19. All other clearances are on file and up to date. Correction Required: The operator shall comply with the CPSL and with Chapter 3490 (relating to protective services). A household member's record shall include a copy of requests for the criminal history record and child abuse registry clearance information, and a copy of the completed clearance information required under the CPSL. Household member's #1 and #2 shall not be present in the home when children are in care until NSOR clearances are received. The CPSL requires all clearances to be updated every 60 months. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) HHM #1 and #2 will not be present in the home when children are in care until the NSOR clearance is received. |
|||
| 2024-07-15 | Renewal | 3280.123(a)(5) - Designated release persons | Compliant - Finalized |
|
Regulation: 3280.123(a)(5) Description: Designated release persons Noncompliance Area: A renewal inspection was conducted on 7/15/24. Child #1's fee agreement did not list a release person. Correction Required: An agreement shall specify the persons designated by a parent to whom the child may be released. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) The operator contacted child #1's parents and had them add a release person to the fee agreement. |
|||
| 2024-07-15 | Renewal | 3280.14/3280.20 - Pertinent Laws & Regulations/General Health and Safety | Compliant - Finalized |
|
Regulation: 3280.14/3280.20 Description: Pertinent Laws & Regulations/General Health and Safety Noncompliance Area: A renewal inspection was conducted on 7/15/24. The facility's emergency plan did not address continuity of operations in the event of an emergency. Correction Required: A facility shall be operated in conformity with applicable Federal and State laws and regulations. State agencies whose regulations may relate to the operation of a facility include the Department of Environmental Resources, the Department of Labor and Industry, the Department of Health, the Department of Education and the Department of Transportation. Conditions at the facility may not pose a threat to the health or safety of the children. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) The operator will add continuity of operations to the facility's emergency plan. |
|||
| 2024-07-15 | Renewal | 3280.32(a)/3280.192(4) - Comply with CPSL/CPSL information | Compliant - Finalized |
|
Regulation: 3280.32(a)/3280.192(4) Description: Comply with CPSL/CPSL information Noncompliance Area: A renewal inspection was conducted on 7/15/24. HHM's #1 and #2 did not have a signed disclosure statement on file. 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. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) During the renewal inspection the operator had HHM's #1 and #2 sign a disclosure statement and placed the document in their file. |
|||
| 2023-07-24 | Renewal | 3280.131(b)(2) - Toddler/preschool: updated health report every 12 months | Compliant - Finalized |
|
Regulation: 3280.131(b)(2) Description: Toddler/preschool: updated health report every 12 months Noncompliance Area: File for Child # 1 did not contain an updated health assessment every 12 months. Health assessments on file are dated 5/27/22 and 7/27/23. Correction Required: The operator shall require the parent to provide an updated health report at least every 12 months for an older toddler or preschool child. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) Child # 1 has an updated health assessment on file. |
|||
| 2023-07-24 | Renewal | 3280.31(e) - Age and training | Compliant - Finalized |
|
Regulation: 3280.31(e) Description: Age and training Noncompliance Area: Files for Staff # 1 and # 2 did not contain verification of an annual 12 clock hours of childcare training. Correction Required: A staff person shall obtain an annual 12 clock hours of child care training. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) Staff # 1 and # 2 will complete 12 hours of childcare training. |
|||
| 2023-07-24 | Renewal | 3280.31(f) - Age and training | Compliant - Finalized |
|
Regulation: 3280.31(f) Description: Age and training Noncompliance Area: Staff persons #1 and # 2 did not complete the required one-hour 2022 update to the health and safety training by 12/30/2022. Correction Required: Staff persons shall complete professional development within 90 days of hire as listed in subsections (f)1-10. Staff persons #1 and #2 shall complete the required one-hour 2022 update to the health and safety training by 8/11/23. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) Staff #1 and #2 have completed the 1-hour health and safety update. |
|||
| 2022-07-22 | Renewal | 3280.124(e) - Written emergency plan posted | Compliant - Finalized |
|
Regulation: 3280.124(e) Description: Written emergency plan posted Noncompliance Area: Facility does not have a written emergency Transportation plan identifying the means of transporting a child to emergency care and staffing provisions in case of an emergency. Correction Required: A written plan identifying the means of transporting a child to emergency care and staffing provisions in the event of an emergency shall be displayed conspicuously in every child care space and shall accompany a staff person who leaves on an excursion with children. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) An emergency transportation plan will be posted with who will transport child to emergency care and how other children will be supervised. |
|||
| 2021-09-07 | Renewal | 3280.32(a)/3280.192(4) - Comply with CPSL/CPSL information | Compliant - Finalized |
|
Regulation: 3280.32(a)/3280.192(4) Description: Comply with CPSL/CPSL information Noncompliance Area: A renewal inspection was conducted on 9/7/21. At that time, the file for Household Member #1 and Household Member #2 were reviewed. The files did not contain an NSOR certificate or disclosure statement for either Household Member. The FBI clearance for Household Member #1 was not conducted through DHS. 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. The Child Protective Services Law (CPSL) was revised to include the requirement for the National Sex Offender Registry (NSOR) verification certificate effective 9/30/2019, requiring anyone hired after 9/30/19 to have the NSOR verification certificate to work in child care. The CPSL revision also includes the removal of the provisional hire period as of 12/31/2019. Effective December 31, 2019, the 90-day provisional hire period was obsolete and has been replaced by a 45-day provisional hire period. The new 45-day provisional hire period is only permitted once the certified child care facility applies for a provisional hire waiver and it is granted by OCDEL. Household Member #1 may not be in the child care facility while children are in care until a DHS FBI Clearance and NSOR certificate are on file. Household Member #2 may not be in the child care facility while children are in care until completed NSOR certificate is on file. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) Household Member #1 and Household Member #2 will not be in the child care facility while children are in care until the disclosure statements and NSOR certificates are on file for both. Household Member #1 will not be in the child care facility while children are in care until a completed FBI Clearance through DHS is on file. |
|||
| 2021-09-07 | Renewal | 3280.95(a)/3280.95(b) - FIRE DETECTION/Staff responsibility | Compliant - Finalized |
|
Regulation: 3280.95(a)/3280.95(b) Description: FIRE DETECTION/Staff responsibility Noncompliance Area: A renewal inspection was conducted on 9/7/21. At that time, the facility did not have proof of purchase for their fire detection system. The facility did not have documentation of 30 day testing of their fire detection system. Correction Required: Fire detection devices or systems must be in compliance with standards established under section 1016(c) of the act (62 P.S. § 1016(c)). The primary staff person or designated staff person who is responsible for compliance with this chapter shall ensure the requirements in subsection (a) are met. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) Provider immediately wrote an attestation statement stating that their interconnected, hard-wired, battery backup fire detection system was installed in October 2015. Provider demonstrated working fire detection system during inspection. Provider will document testing of the fire detection system a minimum of every 30 days. |
|||
If you are a provider and believe any information is incorrect, please contact us. We will research your concern and make corrections accordingly.
Nearby Providers
Considering Home Daycare?