Sunshine Corners
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Reviews
Sunshine Corners in Strasburg PA was home to my two granddaughters prior to them beginning kindergarten. The providers at this day care went above and beyond to create a safe, fun, and nurturing environment for the kids. I don't know what we would have done without this place to provide the love and care for out children. I HIGHLY recommend Sunshine Corners if you are seeking quality day care for your little ones!
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About the Provider
Sunshine Corners, Inc. is a non-profit childcare center, serving the community and surrounding areas for more than 15 years.
Sunshine Corners, Inc. does not discriminate against individuals or groups because of race, color, national origin, religion, age, sex, marital status, or non-relevant handicaps and disabilities.
Hours of Operation
- Monday6:45 AM - 5:45 PM
- Tuesday6:45 AM - 5:45 PM
- Wednesday6:45 AM - 5:45 PM
- Thursday6:45 AM - 5:45 PM
- Friday6:45 AM - 5:45 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 |
|---|---|---|---|
| 2026-02-11 | Renewal | 3270.102(a) - Clean and good repair | Compliant - Finalized |
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Regulation: 3270.102(a) Description: Clean and good repair Noncompliance Area: It was observed that the changing table mat was frayed in the TOGS room. It was observed that the floor matting used in the infant room had frayed edges. (CORRECTED ON SITE) Correction Required: Toys, play equipment and other indoor and outdoor equipment used by the children shall be clean, in good repair and free from rough edges, sharp corners, pinch and crush points, splinters and exposed bolts. |
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Provider Response: (Contact the State Licensing Office for more information.) The changing mat was replaced. We are using changing mats with sturdier vinyl outside that does not have a polyester backing and tends to crack/fray after repeated wetting and drying when wiping after diaper changes. |
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| 2026-02-11 | Renewal | 3270.106(a) - Clean, age appropriate | Compliant - Finalized |
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Regulation: 3270.106(a) Description: Clean, age appropriate Noncompliance Area: It was observed that the cribs in the infant room were not labeled with individual child's names. (CORRECTED ON SITE) Correction Required: Individual, clean, age-appropriate rest equipment shall be provided for preschool, toddler and infant children as agreed between the child's parent and the operator. The rest equipment shall be labeled for the use of a specific child and used only by the specified child. |
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Provider Response: (Contact the State Licensing Office for more information.) The labels on the crib were corrected on sight by moving large name labels onto the cribs but smaller name labels were made so they could be permanently placed on each child's crib. |
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| 2026-02-11 | Renewal | 3270.123(a)(3) - Services proceeded | Compliant - Finalized |
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Regulation: 3270.123(a)(3) Description: Services proceeded Noncompliance Area: Upon inspection of children files, it was found that Child Service Reports were missing or not updated within the 6-month timeframe. The file for child #3 did not include a CSR. The file for child # 4 did not include an updated CSR as last dated CSR was 4.17.25, The file for child # 9 contained a CSR dated 1.8.25 and did not include an updated CSR after 6 months. The CSR on file for child #6 was dated 12.16.25 which was after the 6-month time frame. The file for child # 5 contained a CSR dated 1.25.26 and did not include the prior CSR. The file for child # 7 contained a CSR dated 1.6.26 and did not include the prior CSR. The file for child # 8 contained a CSR dated 1.8.26 and did not include the prior CSR. Correction Required: The services to be provided to the family and the child, including the Department's approved form to provide information to the family about the child's growth and development in the context of the services being provided. The operator shall complete and update the form and provide a copy to the family in accordance with the updates regarding emergency contact information in § 3270.124(f) (relating to emergency contact information). |
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Provider Response: (Contact the State Licensing Office for more information.) We understand that each child must have a child service report every 6 months. We made sure to catch up those children who were missing one, so they have a current one. New reports will be completed within the 6-month period. The corrections for the children listed above are in a file attached to this report. |
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| 2026-02-11 | Renewal | 3270.124(b)(4)/3270.182(3) - Written consent/Consent for emergency medical care required prior to admission | Compliant - Finalized |
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Regulation: 3270.124(b)(4)/3270.182(3) Description: Written consent/Consent for emergency medical care required prior to admission Noncompliance Area: The file for child #1 contained an Emergency Contact form that did not include signed parental consent for emergency medical care. Correction Required: Emergency contact information must include the written consent signed by a parent for emergency medical care. A child's record shall contain signed parental consent for emergency medical care for the child. Written consent is required prior to admission. |
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Provider Response: (Contact the State Licensing Office for more information.) The emergency contact form for child #1 was updated by family and all of the consent areas were individually signed. A copy of the form is attached. |
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| 2026-02-11 | Renewal | 3270.182(5) - Consent for administration of minor first-aid required prior to admission | Compliant - Finalized |
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Regulation: 3270.182(5) Description: Consent for administration of minor first-aid required prior to admission Noncompliance Area: The file for child #1 contained an Emergency Contact form that did not include signed parental consent for minor first aid. Correction Required: A child's record shall contain signed parental consent for administration of minor first-aid procedures by facility staff. Written consent is required prior to admission. |
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Provider Response: (Contact the State Licensing Office for more information.) he emergency contact form for child #1 was updated by family and all of the consent areas were individually signed. A copy of the form is attached. |
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| 2026-02-11 | Renewal | 3270.182(6) - Signed parental consent for transportation, walking excursions, swimming and wading | Compliant - Finalized |
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Regulation: 3270.182(6) Description: Signed parental consent for transportation, walking excursions, swimming and wading Noncompliance Area: The file for child #1 contained an Emergency Contact form that did not include signed parental consent for transportation, walking excursions, swimming and wading. Correction Required: A child's record shall contain signed parental consent for transportation, walking excursions, swimming and wading. |
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Provider Response: (Contact the State Licensing Office for more information.) The emergency contact form for child #1 was updated by family and all of the consent areas were individually signed. A copy of the form is attached. |
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| 2026-02-11 | Renewal | 3270.192(5) - Two written references | Compliant - Finalized |
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Regulation: 3270.192(5) Description: Two written references Noncompliance Area: The file for Facility Persons #32 included one written signed, nonfamily reference from an individual attesting to the person's suitability to serve as a facility person. The file for facility persons #33 and #35 did not include two written signed, nonfamily references from individuals attesting to the person's suitability to serve as a facility person. Correction Required: A facility person's record shall include two written, nonfamily references from individuals attesting to the person's suitability to serve as a facility person. |
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Provider Response: (Contact the State Licensing Office for more information.) We have collected or have staff collecting emails and/or signatures for those missed signatures. (It was our understanding that email letters of references were acceptable without a signature however we now understand if they come via email we must save the email to verify the "signature".) I have attached a signed letter of reference for FP#32, one email to go with one letter for FPs #33 and #35. They are still tracking down emails from the references with the missing signatures. |
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| 2026-02-11 | Renewal | 3270.31(e)(4)(i) - Age and Training | Compliant - Finalized |
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Regulation: 3270.31(e)(4)(i) Description: Age and Training Noncompliance Area: Facility person # 3 has not completed Pediatric first aid and CPR training on or before expiration of the most current certification This is evidenced by the previously documented pediatric first aid and CPR training on file expiring 1/28/25 and contained an updated on 2.21.25. Correction Required: Competence is the completion of training by a professional in the field of first-aid and cardiopulmonary resuscitation (CPR). All staff persons shall renew their certification in pediatric first aid and pediatric cardiopulmonary resuscitation (CPR) on or before the expiration of the most current certification. |
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Provider Response: (Contact the State Licensing Office for more information.) We understand that Pediatric First Aid/CPR requires a renewal based on the date of the current certification date (which is typically two years). |
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| 2026-02-11 | Renewal | 3270.31(e)(4)(ii) - Fire safety - 1 yr. | Compliant - Finalized |
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Regulation: 3270.31(e)(4)(ii) Description: Fire safety - 1 yr. Noncompliance Area: Staff fire safety planning training was not conducted annually. The file for facility person #13 included documentation of fire safety training on 7.18.24 with an update on 8.14.25. The file for facility person #15 included documentation of fire safety training on 8.13.24 with an update on 9.22.25. The file for facility person #17 included documentation of fire safety training on 8.6.24 with an update on 10.2.25. The file for facility person #23 included documentation of fire safety training on 7.16.24 with an update on 8.5.25. The file for facility person #27 included documentation of fire safety training on 11.13.24 and did not include an update. Correction Required: Staff persons shall participate, at least annually, in fire safety training conducted by a fire protection professional. Staff persons and volunteers shall receive training in maintenance of smoke detectors, the duties of facility persons during a fire drill and during a fire and the use of the facility's fire extinguishers, not including discharge of the fire suppressant agent. |
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Provider Response: (Contact the State Licensing Office for more information.) We plan to make sure all staff are completing fire safety annually by the required date. Staff person #27 is currently on maternity leave however she will not be able to return until the annual fire safety requirement is completed. |
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| 2026-02-11 | Renewal | 3270.31(f) - Health and Safety Training | Compliant - Finalized |
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Regulation: 3270.31(f) Description: Health and Safety Training Noncompliance Area: Facility person # 34 has not completed the following pre-service training within 90 days of their hire date: Health and Safety Part1 was completed on 1.20.26 [119d] and Health and Safety Part 2 is missing. Correction Required: Staff persons shall complete professional development within 90 days of hire as listed in subsections (f)1-10. Until such time as the correction is implemented, Facility person #34 must be supervised, when interacting with children, by an (AGS) who has completed the required training related to this citation. If there are no staff available to supervise facility person #34, facility person #34 may not work in a child-care position at the facility. |
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Provider Response: (Contact the State Licensing Office for more information.) Facility Person #34 has completed the Health and Safety Part 2 so that is being sent along with this document. |
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| 2026-02-11 | Renewal | 3270.31(f)(10) - Health and Safety Training - Pediatric First Aid and CPR | Compliant - Finalized |
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Regulation: 3270.31(f)(10) Description: Health and Safety Training - Pediatric First Aid and CPR Noncompliance Area: Facility person # 32 has not completed the following pre-service training within 90 days of their date of hire: Pediatric First Aid/CPR from a PQAS approved trainer and PQAS approved curriculum. (see LIS code sheet): Correction Required: Staff persons shall complete professional development in the topic of pediatric first aid and pediatric cardiopulmonary resuscitation within 90 days of hire. Facility person(s) shall complete professional development in the topics of 3270.31(f)(1 -- 10) within 90 days of hire. Facility person #32 will have until 3/24/26 (15 days from POC requested date) to complete the required training. Until such time as the required training has been completed, facility person #32 must be supervised, when interacting with children, by an (AGS) who has completed the required training related to this citation. If there are no staff available to supervise facility person #32 , facility person #32 may not work in a child-care position at the facility. |
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Provider Response: (Contact the State Licensing Office for more information.) Facility person #32 has completed Pediatric First Aid/CPR. Her certificate is attached to this document. |
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| 2026-02-11 | Renewal | 3270.32(a)/3270.192(4) - Comply with CPSL/CPSL information | Compliant - Finalized |
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Regulation: 3270.32(a)/3270.192(4) Description: Comply with CPSL/CPSL information Noncompliance Area: Upon inspection of personnel files, it was found that facility person # 3 contained a State Police Clearance that was dated 10.19.20 [expired on 10.19.25] and updated on 10.28.25. It was found that facility person # 4 contained a Child Abuse Clearance that was dated 11.24.20 [expired on 11.24.25] and updated on 12.15.25. It was found that facility person # 5 contained a State Police Clearance that was dated 11.25.20 [expired on 11.25.25] and updated on 12.22.25; The Child Abuse clearance dated 11.25.20 [expired on 11.25.25] and updated on 12.26.25. It was found that facility person # 6 contained an FBI Clearance that was dated 7.8.20 [expired on 7.8.25] and updated on 8.19.25 AND the NSOR clearance dated 3.3.20 [expired on 3.3.25] and updated on 3.24.25. It was found that facility person # 11 contained a Child Abuse Clearance that was dated 11.25.20 [expired on 11.25.25] and updated on 12.15.25. It was found that facility person # 12 contained a Child Abuse Clearance that was dated 10.28.20 [expired on 10.28.25] and updated on 11.3.25 AND the DHS FBI clearance dated 10.19.20 [expired on 10.19.25] and updated on 10.21.25. It was found that facility person # 14 contained a Child Abuse Clearance that was dated 11.24.20 [expired on 11.24.25] and updated on 12.15.25. Clearances for facility persons # 3, #4, #5, #6, #11, #12, AND #14 were not updated within the 60-month date timeframe required under CPSL. The file for Facility Person #34 did not include a valid employee child abuse clearance and contained a volunteer Child Abuse clearance. Correction Required: The operator shall comply with the CPSL and with Chapter 3490 (relating to protective services). Facility person #34 must be removed from childcare position by close of business [effective 2.11.26]. All required clearances must be obtained before facility person#34 may resume a childcare position with routine or direct contact with children. 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.) Staff listed are current with their clearances including FP #34. The child abuse clearance for FP #34 is attached to this document. We plan to make sure all staff are renewing their clearances prior to the expiration date. |
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| 2026-02-11 | Renewal | 3270.36(b)(5)/3270.192(2)(iv) - HS/GED + 2 yrs/Transcript, diploma and letters | Compliant - Finalized |
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Regulation: 3270.36(b)(5)/3270.192(2)(iv) Description: HS/GED + 2 yrs/Transcript, diploma and letters Noncompliance Area: The file for facility person #32 did not include a high school diploma. Correction Required: An assistant group supervisor shall have a high school diploma or a general educational development certificate and 2 years experience with children. A facility person's record shall include acceptable verification of experience, education or training is a transcript or a diploma or a letter signed by a representative of the experiential, educational or training entity. |
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Provider Response: (Contact the State Licensing Office for more information.) We procured a high school diploma for FP#32 after being told the college certificate we had on file from a Bible College was not sufficient to fulfill this regulation. A copy of the high school diploma is attached. |
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| 2026-02-11 | Renewal | 3270.75(c) - Has all items | Compliant - Finalized |
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Regulation: 3270.75(c) Description: Has all items Noncompliance Area: It was observed that the first aid kit in the infant room did not include nonporous gloves. (CORRECTED ON SITE) 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. |
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Provider Response: (Contact the State Licensing Office for more information.) Gloves were added to the first aid kit and we will make sure all items are included. |
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| 2025-12-15 | Allocated Unannounced Monitoring | 3270.32(a)/3270.192(4) - Comply with CPSL/CPSL information | Compliant - Finalized |
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Regulation: 3270.32(a)/3270.192(4) Description: Comply with CPSL/CPSL information Noncompliance Area: The file for facility person # 1 contained a childcare clearance that was dated 11.24.20 [expired on 11.24.25]. The facility had no record of an application for the updated clearance on file. The file for facility person # 1 contained an FBI clearance that was dated 11.06.20 and updated on 11.07.25. The updated FBI Clearance for facility person #1 was not completed every 60-months as required by CPSL. The file for facility person # 2 contained a Child Abuse clearance that was dated 11.24.20 and updated on 12.15.25. The file for facility person # 2 contained a Mandated Reporter training that was dated 3.31.20 and updated on 11.24.25. The updated Child Abuse clearance and Mandated Reporter training for facility person #2 were not completed every 60-months as required by CPSL. The file for facility person # 3 contained a Child Abuse clearance that was dated 11.25.20 and updated on 12.15.25. The updated Child Abuse clearance for facility person #3 was not completed every 60-months as required by CPSL. The file for facility person # 4 contained a Mandated Reporter training that was dated 9.21.20 and updated on 9.30.25. The updated Mandated Reporter training for facility person #4 was not completed every 60-months as required by CPSL. Correction Required: The operator shall comply with the CPSL and with Chapter 3490 (relating to protective services). Facility Person #1 may not work in a childcare position with routine and direct contact with children at the facility until the clearance is obtained. 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.) The child abuse clearance for facility person #1 has been processed and we received our copy. She was not able to work in the classroom with the children until we received it on 12/19/25. A copy of the clearance has been emailed to our DHS representative. |
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