Crafton Childrens Corner
Quick Facts
Missing details such as transportation or rates? Suggest an update to help other families.
Contact Information
📞 (412) 921-2273Reviews
Write a Review
Be the first to review this childcare provider. Write a review about Crafton Childrens Corner. 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
- Monday7:00 AM - 6:00 PM
- Tuesday7:00 AM - 6:00 PM
- Wednesday7:00 AM - 6:00 PM
- Thursday7:00 AM - 6:00 PM
- Friday7:00 AM - 6:00 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 |
|---|---|---|---|
| 2026-02-05 | Change in Location Capacity | 3270.61(c) - 40 square feet wall-to-wall | Compliant - Finalized |
|
Regulation: 3270.61(c) Description: 40 square feet wall-to-wall Noncompliance Area: The downstairs room was being used as childcare space prior to it being measured and inspected. Correction Required: Indoor child care space is measured within permanent stationary partitions or walls. The allowable number of children in a space is determined by dividing the total square feet in a space by 40. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) The downstairs room will only be used for childcare after DHS review and approval of the submitted measurements and calculated capacity. The center coordinator will verify that all indoor spaces used for childcare have been measured, inspected, and approved before use. |
|||
| 2026-02-05 | Change in Location Capacity | 3270.75(c) - Has all items | Compliant - Finalized |
|
Regulation: 3270.75(c) Description: Has all items Noncompliance Area: The first-aid kit, in the downstairs preschool room, did not contain scissors. Correction Required: A first-aid kit must contain the following: soap, an assortment of adhesive bandages, sterile gauze pads, tweezers, tape, scissors and disposable, nonporous gloves. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) Immediately upon notification, scissors were added to the first-aid kit in the downstairs preschool room to ensure the kit contains all required items as outlined in §3270.75(c). |
|||
| 2026-02-02 | Renewal | 3270.123(a)(4) - Arrival/departure times | Compliant - Finalized |
|
Regulation: 3270.123(a)(4) Description: Arrival/departure times Noncompliance Area: The Agreement, in the file for Child #4, did not specify the child's departure time. Correction Required: An agreement shall specify the child's arrival and departure times. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) The parent agreement for child #4 was immediately reviewed and updated to include the specific daily departure time. All current child files were reviewed to ensure that arrival and departure times are clearly documented in each agreement. |
|||
| 2026-02-02 | Renewal | 3270.124(b)(6) - Insurance coverage information | Compliant - Finalized |
|
Regulation: 3270.124(b)(6) Description: Insurance coverage information Noncompliance Area: The Emergency Contact form, in the file for Child #5, did not include the health insurance policy number. Correction Required: Emergency contact information must include health insurance coverage and policy number for a child under a family policy or Medical Assistance benefits, if applicable. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) The emergency contact form for child #5 was reviewed, and the parent was contacted immediately to obtain the missing health insurance policy number. All children's emergency contact forms were reviewed to ensure the required information, including the health policy number. |
|||
| 2026-02-02 | Renewal | 3270.32(a) - Comply with CPSL | Compliant - Finalized |
|
Regulation: 3270.32(a) Description: Comply with CPSL Noncompliance Area: The file for Staff #1 (see IS Code Sheet) contained documentation of Mandated Reporter training dated 10.24.25, which exceeded the 90-days of hire requirement. The file for Staff #3 contained Child Abuse Clearances dated 7.7.20 and 10.7.25, and FBI Clearances dated 5.15.20 and 10.7.25, which exceeded the 60-month renewal requirement. Correction Required: The operator shall comply with the CPSL and with Chapter 3490 (relating to protective services). |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) The director conducted a comprehensive review of all staff files to verify hire dates and 90-day training deadlines. All expired and overdue items have been corrected, and proper documentation is now on file. |
|||
| 2026-02-02 | Renewal | 3270.82(h) - Handwashing signs | Compliant - Finalized |
|
Regulation: 3270.82(h) Description: Handwashing signs Noncompliance Area: In the boys' restroom, handwashing signs were not posted at two (2) urinals. Correction Required: A facility person and an able child shall wash his hands after toileting and before eating. A sign on which this requirement is written shall be posted at each toilet, training chair, diapering area and sink in the facility. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) Appropriate handwashing signage was immediately posted at the two urinals to ensure compliance with regulatory requirements. Signage is clearly visible and placed at the child's eye level. All restroom areas were reviewed to confirm that required handwashing signage is posted at every sink and toileting area. |
|||
| 2025-02-24 | Renewal | 3270.123(a)(5) - Designated release persons | Compliant - Finalized |
|
Regulation: 3270.123(a)(5) Description: Designated release persons Noncompliance Area: The Agreement, in the file for Child #2, did not specify the person(s) designated by a parent to whom the child may be released. 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 parents of child #2 filled in on their contract the persons designated to pick up their child. |
|||
| 2025-02-24 | Renewal | 3270.124(b)(3) - Parent home/work address, phone | Compliant - Finalized |
|
Regulation: 3270.124(b)(3) Description: Parent home/work address, phone Noncompliance Area: The Emergency Contact form, in the file for Child #1, Child #2, Child #3, and Child #4 did not contain the enrolling parent's work address. Correction Required: Emergency contact information must include the home and work addresses and telephone numbers of the enrolling parent. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) The parents of child #1, #2, #3, and #4 added work addresses of the enrolling parents. |
|||
| 2025-02-24 | Renewal | 3270.124(b)(7) - Name/address/phone release person | Compliant - Finalized |
|
Regulation: 3270.124(b)(7) Description: Name/address/phone release person Noncompliance Area: The Emergency Contact form, in the files for Child #1 and Child #3 did not contain the release person's address. Correction Required: Emergency contact information must include the name, address and telephone number of the individual designated by the parent to whom the child may be released. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) The parents of child #1 and child #3 added the release persons' addresses to their emergency contact. |
|||
| 2025-02-24 | Renewal | 3270.31(f) - Health and Safety Training | Compliant - Finalized |
|
Regulation: 3270.31(f) Description: Health and Safety Training Noncompliance Area: The file for Staff #4 (see IS Code Sheet) contained documentation of Health and Safety training on 1.17.25, which exceeded the 90 days of hire requirement. The file for Staff #5 (see IS Code Sheet) contained documentation of Health and Safety training on 2.5.25, which exceeded the 90 days of hire requirement. Correction Required: Staff persons shall complete professional development within 90 days of hire as listed in subsections (f)1-10. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) Staff #4 and Staff #5 completed health and safety training, but after 90 days of the hire requirement. The center coordinator will remind staff to complete required training. |
|||
| 2025-02-24 | Renewal | 3270.31(f)(10) - Health and Safety Training - Pediatric First Aid and CPR | Compliant - Finalized |
|
Regulation: 3270.31(f)(10) Description: Health and Safety Training - Pediatric First Aid and CPR Noncompliance Area: The files for Staff #4 (see IS Code Sheet) and Staff #5 (see IS Code Sheet) contained documentation of Pediatric First-Aid/CPR training on 2.6.25, which exceeded the 90 days of hire requirement. Correction Required: Staff persons shall complete professional development in pediatric first aid and pediatric cardiopulmonary resuscitation within 90 days of hire. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) Staff #4 and Staff #5 completed pediatric first aid and pediatric CPR, but after 90 days of hire requirement. The center coordinator will schedule during their first 90 days. |
|||
| 2025-02-24 | Renewal | 3270.32(a) - Comply with CPSL | Compliant - Finalized |
|
Regulation: 3270.32(a) Description: Comply with CPSL Noncompliance Area: The file for Staff #1 contained documentation of Mandated Reporter training on 11.6.19 and 11.14.24, which exceeded the 60 month renewal requirement. The file for Staff #2 (see IS Code Sheet) contained a Child Abuse Clearance dated 10.19.21, which was beyond the first date working with children. The file for Staff #3 contained documentation of State Police Clearances dated 2.1.16 and 2.2.21, which exceeded the 60 month renewal requirement. The file for Staff #4 (see IS Code Sheet) contained documentation of Mandated Reporter training on 2.6.25, which exceeded the 90 days of hire requirement. The file for Staff #5 (see IS Code Sheet) contained documentation of Mandated Reporter training on 1.29.25, which exceeded the 90 days of hire requirement. Correction Required: The operator shall comply with the CPSL and with Chapter 3490 (relating to protective services). |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) All required training and clearances were completed. |
|||
| 2025-02-24 | Renewal | 3270.95(a)/3270.95(b) - Devices must be compliant/Director or designated staff person ensure compliance | Compliant - Finalized |
|
Regulation: 3270.95(a)/3270.95(b) Description: Devices must be compliant/Director or designated staff person ensure compliance Noncompliance Area: The Fire System Testing Log contained documentation that the Fire System was manually tested on 12.6.24 and 1.9.25, which exceeded the 30 day requirement. 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 Director or designated staff person who is responsible for compliance with this chapter shall ensure the requirements under subsection (a) are met. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) The center coordinator will record and conduct the fire system manually within 30 days. |
|||
| 2024-11-06 | Allocated Unannounced Monitoring | 3270.32(a)/3270.192(4) - Comply with CPSL/CPSL information | Compliant - Finalized |
|
Regulation: 3270.32(a)/3270.192(4) Description: Comply with CPSL/CPSL information Noncompliance Area: The signed, Disclosure Statement, in the files for Staff #1, Staff #2, and Staff #3, did not contain a date. It could not be determined if the Disclosure Statements were obtained at the time of hire due to the missing date. 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. Staff #1, Staff #2, and Staff #3 may not work in a child care position at the facility. |
|||
|
Provider Response: (Contact the State Licensing Office for more information.) The employees added dates to the disclosure statements. They signed the date they signed their paperwork on the first day they started here. |
|||
| 2024-02-13 | Renewal | 3270.123(a)(5) - Designated release persons | Compliant - Finalized |
|
Regulation: 3270.123(a)(5) Description: Designated release persons Noncompliance Area: The parent agreements in the files for children #1, #2, #3, #4, and #5 did not specify the persons designated by the parent to whom the child may be released. 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.) Persons have been specified on the parent agreements for children #1, #2, #3, #4, and #5. |
|||
If you are a provider and believe any information is incorrect, please contact us. We will research your concern and make corrections accordingly.
Ask the Community
Connect, seek advice, share knowledge.
Providers in ZIP Code 15205
Looking for Child Care?