BSCC
Yuba PROB Tri County Youth Development Center (2025-2026 inspection cycle)
Read the report at Yuba PROB Tri County Youth Development Center ↗
This will be addressed in Section 1324. Policy Manual. Initial Inspection Report
2025-2026 Biennial Inspection Cycle
Date of Exit Briefing/Notice of Noncompliance: 1/29/2026
Inspection Type: Comprehensive
County: Yuba
Facility Name: Tri County Youth Development Center
BSCC #: 7752 BSCC Type: Juvenile Hall
Facility Representative(s): James Morales, Deputy Chief, Dan Ritner, Program Manager and
Bridgette Jackson, Program Manager
BSCC Field Representative: Lisa Southwell
CAP Day 60 – Maximum Statutory CAP Due/Approval Date: 3/30/2026
Maximum Statutory Resolution Date: June 28, 2026
Current Items of Noncompliance
Title 15. Section Description
The current policy and procedure manual was last
reviewed in June 2024 which is consistent with Title
15 regulations. We noted through the course of our
review there were some areas, that were inconsistent
with regulatory requirements or missing; however, we
noted these areas did not negatively impact the
operational implementation of the regulation and
§ 1324. Policy and Procedures Manual.
found no non-compliance of individual regulations
based on documentation reviewed. The agency will
need to address their manuals and correct any areas
found to not be consistent with or meet with Title 15
regulations. Specific information will be provided in
the Procedures checklist.
The documentation provided included eleven
Institutional Assessment and Case Plan records for
various youth between all facilities. Policy and
procedures are the same for all youth in all facilities.
§ 1355. Institutional Assessment and Plan. We were unable to determine the timeframes
established for each case plan based on
documentation provided, and the periodic review
notes did not clearly describe the youth’s progress
toward meeting their identified goals as written.
Yuba County
Tri County Youth Rehabilitation Campus
Page 2
Title 15. Section Description
Although most samples included a transition plan, we
provided technical assistance on strengthening the
documentation to ensure alignment with regulatory
requirements. We also noted that, for future
compliance, all documents must be properly dated
and signed.
Required rehabilitative programming was found to be
missing for several of the days reviewed. Actual
§ 1371. Programs, Recreation, and Exercise. activities conducted were found to be inconsistent
with the planned unit or facility programming
calendars.