School Readiness, VPK, After School, Before School, Food Served, Full Day, Half Day, Infant Care
Hours:
Mon-Fri: 6:00AM to 6:00PM; Sat-Sun: Closed
Capacity:
103
License expiration:
July 10, 2026
Typical cost: $1,083 - $1,300 (Under 1)
Child’s age
$1,083 - $1,300/mo
Median daily rate: $50.00 - $60.00
Official Florida Division of Early Learning Miami-Dade County data.
Not this provider’s price.
Inspection snapshot
Recent higher-concern violation
At least one higher-concern violation appears in the last 12 months.
Next: Read reports, examine repeated topics below, look at the broader history, and ask what changed afterward.
Latest inspectionJune 29, 2026
Latest inspection with no recorded violationsJune 29, 2026
Summary
This summary covers 15 available inspections for Jinnys Learning Center Corp from June 27, 2023 through June 29, 2026.
Six inspections recorded violations, with 22 recorded violations in total.
The most recent higher-concern violation was on September 29, 2025 and involved background screening, with a due date of October 8, 2025.
That higher-concern topic showed up in two inspections.
Three later inspections, from October 27, 2025 through June 29, 2026, showed no recorded violations, but the records do not say whether they were formal follow-ups.
At a glance
Total inspections
15
4 in last 12 months
Recorded violations
22
2 in last 12 months
Higher-concern violations
8
1 in last 12 months
Repeated topics
6
Last 36 months
Local comparison
15 total inspections vs 11 local median in 33012
Compared to 59 local facilities
Recorded violations per inspection
This provider
1.47
Local median
0.17
1.47This provider
0.17Local median
Inspections with higher-concern violations
This provider
33%
Local median
0%
33%This provider
0%Local median
Inspections with recorded violations
This provider
40%
Local median
15%
40%This provider
15%Local median
Repeated topics
This provider
6
Local average
0.8
6This provider
0.8Local average
Repeated topics
Topics that appeared in more than one inspection during the last 36 months. They may reveal a pattern worth examining.
Recordkeeping
Appeared across 4 inspections, with 5 recorded violations.
The facility did not have documentation to show completion of a Department approved five-hour early literacy and language development course for child care personnel within 12 months of date of employment in child care industry and/or the early literacy course documentation was not uploaded in the Florida Pathways/Registry. CCF Handbook, Section 4.2.2 and 4.5, C
Report comments
TA: 4.2.2 Early Literacy Training Pursuant to Section 402.305(2)(d)5., F.S., all child care personnel must complete a single course of training in early literacy and language development of children ages birth through five years that is a minimum of five clock hours or .5 CEUs.
Correction status
Due by October 29, 2025
More details
Report section
TRAINING - 33 - Training Requirements
Official code
33-06
Higher concern: Background screening
Report finding
Background screening was not completed: [ after a 90-day break in service.] CCF Handbook, Section 5.2 Record Keeping [SR]
Report comments
TA: Child care personnel must be re-screened following a break in employment in the child care industry that exceeds 90 days.
Correction status
Due by October 8, 2025
More details
Report section
RECORD KEEPING - 45 - Background Screening Documents
Child care personnel failed to possess a current attendance record and parent contact information during a fire drill, emergency preparedness drill or an actual emergency. CCF Handbook Section 3.8.4, C and 3.8.5, A (Section 2.1 - Health and Safety, Page 3) Physical Environment [SR]
Report comments
The 3- and 4-years teachers failed to possess a current parent contact information during a fire drill with licensing staff. • The 2 staff ran back inside the building to collect the parent contact information. • TA: A current attendance record and the parent contact information m ust accompany child care personnel out of the building during a drill or actual evacuation and be used to account for all children. When the facilitys approved alarm system is activated, all adults and children must evacuate the facility. Last fire drill was conducted on 4/24/25 One fire drill using an alternate evacuation route was done on 4/24/25 One fire drill during napping/sleeping times was do ... [truncated]
Correction status
Completed at time of inspection
More details
Report section
PHYSICAL ENVIRONMENT - 23 - Fire Drills & Emergency Preparedness
Official code
23-12
Low concern: Recordkeeping
Report finding
The facility did not maintain documentation that the parent(s) or legal guardian(s) of each child were provided information regarding the potential for distracted adults to fail to drop off a child and leave them in the car annually during the months of April and September in that [The parent did not sign thedistracted Flyer in the month of April.]. CCF Handbook, Section 7.3, C.5. (Section 2.1 Health and Safety, Page 3) Record Keeping [SR]
Correction / follow-up note
Annually, during the months of April and September, the child care facility must provide parents with information regarding the potential for distracted adults to fail to drop off a child at the facility and instead leave them in the adults vehicle upon arrival at the adults destination.CF/PI 175-12 brochure, which is incorporated by reference in 65C-22.001(7)(x), F.A.C. and may be obtained from the departments website at www.myflfamilies.com. • The parents were not provided a copy of the distracted flyer for the month of April.
The facility did not maintain emergency preparedness drill records for the months of operation for a minimum of 12 months from the date of the emergency preparedness drill. CCF Handbook, Section 3.8.5, B Physical Environment [SR]
Report comments
TA: Lockdown and inclement weather drills shall be conducted a minimum of one time each per operating year when children are in care and the documentation of these drills must be maintained for 12 months from the date of the drill. A lockdown or inclement weather drill may substitute for one monthly fire drill. Substitutions for fire drills may not occur more than three times within the licensure year. Documentation of this substitution must be maintained for 12 months from the date of the drill. Provider failed to conduct a Lockdown drill during the previous licensure year. (2023-2024) Last fire drill was conducted on 1/22/25 • One fire drill using an alternate evacuation ro ... [truncated]
Correction status
Due by March 4, 2025
More details
Report section
PHYSICAL ENVIRONMENT - 23 - Fire Drills & Emergency Preparedness
Official code
23-17
Higher concern: Supervision
Report finding
The facility had an inadequate number of child care personnel appropriately trained in CPR to maintain coverage both on-site and on field trips. CCF Handbook, Section 4.2.4, B Health Requirements [SR]
Correction / follow-up note
TA: By December 31, 2021, the facility shall maintain the following number of child care personnel with the CPR certification and first aid training that are on site at the facility at all times children are in care. For child care personnel to count to meet requirement in the below chart, they shall be child care personnel assigned to provide direct supervision of children in care: Total number of child care personnel in direct supervision of children to meet staff to child operating ratios: Total minimum number of child care personnel with Pediatric CPR certification on site when children are present: Total minimum number of child care personnel with first aid training on s ... [truncated]
Bedding and/or linens were not stored in a sanitary manner. CCF Handbook, Section 3.6.1, G & H Physical Environment [SR]
Inspector notes
While conducting walkthrough of facility, it was observed in the (3-year-old, 2-year-old and VPK classrooms) linens placed between cots, touching the bottom of the cots above it. To add, the linens placed between cots were not labeled with both first and last names of children. Provider was notified immediately of observation and given technical assistance per CCF handbook " G. Bedding and linens, when not in use, must be stored in a sanitary manner which prevents the spread of germs or lice from other linens. All bedding and linens must be thoroughly cleaned and sanitized at least once a week, and before use by another child. H. Bedding and linens shall not be stored in the ... [truncated]
Correction status
Due by January 26, 2025
More details
Report section
PHYSICAL ENVIRONMENT - 18 - Bedding and Linens
Official code
18-12
Low concern: Recordkeeping
Report finding
The facility did not have a fully-completed enrollment form (CF-FSP Form 5219) or equivalent form for the child(ren) in care. CCF Handbook, Section 7.3 Record Keeping [SR]
Inspector notes
While reviewing (DB) enrollment folder, it was observed by LS., that the enrollment application was incomplete. In which the enrollment application was missing the date to when the parent/guardian, completed the application (page 2). The provider was able to complete at the time of inspection, (DB) is no longer enrolled at facility. Technical assistance was given to the provider per CCF handbook " or legal guardian prior to accepting a child in care. This information shall be documented on CF-FSP Form 5219, Child Care Application for Enrollment, which is incorporated by reference in 65C-22.001(7)(f), F.A.C., or an equivalent form that contains all the information required by ... [truncated]
Correction status
Completed at time of inspection
More details
Report section
RECORD KEEPING - 43 - Enrollment Information
Official code
43-02
Higher concern: Attendance accountability
Report finding
There were no daily attendance records or they were unavailable for review by the licensing authority. CCF Handbook, Section 7, B.4 Record Keeping [SR]
Inspector notes
While reviewing attendance files, it was observed that (DB) did not have a complete attendance record. It that, it was missing sign-in/out time for the entirety of his enrollment. This was also observed to be a pattern for other enrolled at the facility. Technical assistance was given per CCF handbook "4. Daily attendance of children records must be maintained for a minimum of 12 months." ENFORCEMENT
The personnel/ volunteer (ten hours or more per month) record did not include a CF-FSP 5337 Child Abuse and Neglect Reporting Requirements form signed annually. CCF Handbook, Section 7.4, C Record Keeping [SR]
Report comments
Child Abuse and neglect not updated for staff listed on the supplemental. CF-FSP Form 5337, Child Abuse & Neglect Reporting Requirements, which is incorporated by reference in 65C-22.001(7)(l), F.A.C., must be signed on or before hire date and annually thereafter by all child care personnel. Child Care Facility Handbook Page | 62 All 6 childcare personnel records in the system were reviewed of which ( 6) Were updated for compliance. 1 new personnel were hired since the last inspection as per the director and 5 were added.
Correction status
Completed at time of inspection
More details
Report section
RECORD KEEPING - 44 - Personnel Records
Official code
44-04
Higher concern: Attendance accountability
Report finding
Attendance records did not include the time of each childs arrival and departure. CCF Handbook, Section 7.5 Record Keeping [SR]
Correction / follow-up note
Two non VPK children present in the VPK /4 years classroom at time of inspection were not listed in the attendance roster. Names are attached on the supplemental. • The provider corrected the violation by adding the 2 names on the attendance roster. • TA: Daily attendance of children must be taken and recorded accurately by the childcare personnel, documenting the time when each child enters and departs the program. • Child Care Facility Handbook Page | 62 ENFORCEMENT
A ratio of [1] child care personnel for [15] children is required. A ratio of [2] child care personnel for [31] children was observed. s.402.305(4), F.S. (Section 3, numbers 1 9) General Requirements [SR]
Inspector notes
In the 3-year-old classroom FSC observed: 2 teachers with 31 children. TA: The staff-to-child ratio, as established in Section 402.305(4), F.S., is based on primary responsibility for the direct supervision of children and applies at all times while children are in care. For children 3 years of age or older, but under 4 years of age, there must be one program personnel for every 15 children. Provider has resolved the non-compliance at the time of the inspection by moving 1 child to another classroom.
Correction status
Completed at time of inspection
More details
Report section
GENERAL REQUIREMENTS - 03 - Ratio Sufficient
Official code
03-01
Low concern: Administrative posting
Report finding
The facility did not have 35 square feet of usable floor space per child for the number of children observed in care. The facility had a capacity of [12] based on 35 square feet and [13] children were observed in care. CCF Handbook , Section 3.4.2, D (Section 1.1, number 1) Physical Environment [SR]
Inspector notes
The room capacity for the 3-year-old is 28, however 31 children were observed sleeping at time of inspection. The room capacity also exceeded by 1 in the 1-year-old, 13 children were observed, and the capacity of the room is 12. Provider has resolved the non-compliance at the time of the inspection by moving 1 child to another room. TA: A school readiness program facility must have a minimum of 35 square feet of usable indoor floor space for each child in care. Provider has resolved the non-compliance at the time of the inspection by moving 3 children to the 4 years old classroom.
Correction status
Completed at time of inspection
More details
Report section
PHYSICAL ENVIRONMENT - 15 - Licensed Capacity
Official code
15-03
Higher concern: Sleep safety
Report finding
A minimum distance of 18'' was not maintained between each napping/sleeping space. CCF Handbook, Section 3.6.2, C (Section 10.4, number 3) Physical Environment [SR]
Inspector notes
In the 3 years, 2 years and 1 year old FSC observed: The teacher did not maintain the 18"space between the beds during naptime. TA: A minimum of 18 inches must be maintained around individual napping and sleeping spaces. A maximum of two sides of a napping or sleeping space may be against a solid barrier, such as the wall. The solid side of a crib does not meet the requirements for a solid barrier. Provider has resolved the non-compliance at the time of the inspection, by moving some beds around to create more space and maintained the 18" napping space at time of inspection.
Correction status
Completed at time of inspection
More details
Report section
PHYSICAL ENVIRONMENT - 19 - Nap/Sleep Space Requirements
Official code
19-02
Medium concern: Facility condition
Report finding
Diaper changing occurred on a surface that was not impermeable. CCF Handbook, Section 3.10.2, E (Section 12.3, number 3) Sanitation and Equipment [SR]
Report comments
FS observe a diaper changing mat in the 3 years old that was not impermeable. TA: When children in diapers are in care, there must be a diaper changing area with an impermeable surface that is cleaned and sanitized or disinfected after each use. Provider has resolved the non-compliance at the time of the inspection. The diaper mat was removed at time of inspection and replaced by a new one.
Correction status
Completed at time of inspection
More details
Report section
SANITATION AND EQUIPMENT - 30 - Diapering
Official code
30-06
Medium concern: Staff training
Report finding
Program personnel did not complete training requirements prior to unsupervised contact with or care of children, or if supervised, within 90 days of beginning employment or service with the program. (Section 18.1) Training [SR]
Report comments
5 staff (listed on the supplemental page) did not meet the pre-service Timeframe. TA: 18.1 Pre-service Timeframe All pre-service training requirements listed below must be completed by all program personnel, volunteers and substitutes, each as defined in this handbook, within 90 days of initial employment with any provider participating in the school readiness program. This timeframe does not start over if personnel change employment to another school readiness provider within this 90 days. Personnel who have not completed all pre-service training requirements may not be allowed any unsupervised contact with or care of children in a school readiness program.
Correction status
Due by July 5, 2024
More details
Report section
TRAINING - 33 - Training Requirements
Official code
33-13
Medium concern: Health or food records
Report finding
Child(ren) did not have a Florida Certification of Immunization (DH Form 680) or a Religious Exemption from Immunization (DH Form 681), on file within 30 days of enrollment. CCF Handbook, Section 7.1, B (Section 19.2, number 2) Record Keeping [SR]
Correction / follow-up note
TA: If the custodial parents or legal guardians fail to provide the documentation required above within 30 days of enrollment, the facility shall not allow the child to remain in the program. The parent/guardian of a child who has not received the age-appropriate immunizations prior to enrollment and who does not have documented medical or religious exemptions from routine childhood immunizations must provide documentation of a scheduled appointment or arrangement to receive immunizations. Providers must include a general statement in parent handbook/policies to inform parents/guardians, at time of enrollment, that some children in care may not have current immunizations. Chi ... [truncated]
Correction status
Due by July 5, 2024
More details
Report section
RECORD KEEPING - 41 - Immunization Records
Official code
41-01
Medium concern: Health or food records
Report finding
Child(ren) did not have a Student Health Examination/DH (Form 3040), or an equivalent health statement on file within 30 days of enrollment. CCF Handbook, Section 7.2, C (Section 19.2, number 1) Record Keeping [SR]
Correction / follow-up note
TA: The Student Health Examination or the signed statement is valid for two years from the date the physical was performed. An up-to- date version must be on file for as long as the child is enrolled at the facility. If the custodial parents or legal guardians fail to provide the documentation required above within 30 days of enrollment, the facility shall not allow the child to remain in the program.
Correction status
Due by July 5, 2024
More details
Report section
RECORD KEEPING - 42 - Student Health and Records
Official code
42-01
Low concern: Recordkeeping
Report finding
The facility did not maintain documentation that the parent(s) or legal guardian(s) of each child were provided information detailing the causes, symptoms, and transmission of the influenza virus annually during the months of August through September in that [the form was not timely provided to the parents.]. CCF Handbook, Section 7.3, C.4. (Section 19.2, number 9) Record Keeping [SR]
Correction / follow-up note
The provider did not have the influenza brochure dated during the months of August through September for the Infant, 1 and 3 years old. TA: Annually, during the months of August and September, the program must provide parents with information detailing the causes, symptoms, and transmission of the influenza virus.
Correction status
Due by July 5, 2024
More details
Report section
RECORD KEEPING - 43 - Enrollment Information
Official code
43-06
Low concern: Recordkeeping
Report finding
The facility did not maintain documentation that the parent(s) or legal guardian(s) of each child were provided information regarding the potential for distracted adults to fail to drop off a child and leave them in the car annually during the months of April and September in that [The document was not timely provided to the parents.]. CCF Handbook, Section 7.3, C.5.
Report comments
The document was not available for review for the infant, 1 and 3 years old at time of inspection. TA: Documentation from parent/guardian for receipt of Know Your Child Care Facility brochure, food and nutrition polices, Influenza Virus Guide to Parents brochure, and Distracted Adult brochure.
Correction status
Due by July 5, 2024
More details
Report section
RECORD KEEPING - 43 - Enrollment Information
Official code
43-10
Higher concern: Background screening
Report finding
The facility failed to maintain a current Employee/Contractor Roster for all child care personnel in the Clearinghouse. CCF Handbook, Section 5.1, K
Report comments
TA: The employer/owner/operator must add child care personnel to their Employee/Contractor Roster in the Clearinghouse within 10 days of when the individual has received a child care eligible result and has been hired at the facility. Employer/owner/operator must add an end date for individuals on the Employee/Contractor Roster in the Clearinghouse within 10 days of the employment termination.
Correction status
Due by July 5, 2024
More details
Report section
RECORD KEEPING - 45 - Background Screening Documents
Official code
45-09
Higher concern: Attendance accountability
Report finding
There were no daily attendance records or they were unavailable for review by the licensing authority. CCF Handbook, Section 7, B.4 (Section 19.3, number 1) Record Keeping [SR]
Report comments
The children's attendance was not recorded at time of inspection (12:55PM) TA: Daily attendance of children must be taken and recorded, documenting the time when each child enters and departs the program. Attendance devices used for the purposes of tracking attendance may be used. Program personnel are responsible for ensuring that attendance records are complete and accurate. Provider has resolved the non-compliance at the time of the inspection, by having the teacher complete the daily attendance at time of inspection. ENFORCEMENT
Suggested questions for parents based on recorded violations in inspection reports. If there are not enough source-backed violations, you will see general questions for daycare.
Finding-specific
Can you explain the current process for ensuring all staff members have their background screenings up to date?
Why ask this
Why ask this
Public records from a September 2025 inspection show that a background screening was not completed following a break in service. This question helps clarify how the center tracks and maintains these requirements for all personnel.
Related violations
Finding-specific
What steps does the center take to ensure that enough staff members with current CPR certification are always on-site?
Why ask this
Why ask this
An official inspection report from February 2025 noted that the facility had an inadequate number of staff trained in CPR. Asking this helps parents understand how the center manages staffing coverage for safety requirements.
Related violations
Finding-specific
How do you manage daily attendance records to ensure they are always accurate and available for review?
Why ask this
Why ask this
Available inspection records from 2024 show repeated instances where attendance records were either unavailable or missing arrival and departure times. This question helps parents understand the current system for tracking child attendance.
Related violations
Finding-specific
Could you describe the training program for new staff members to ensure they meet all requirements before working with children?
Why ask this
Why ask this
Public records from 2024 and 2025 inspections indicate findings related to staff training completion and documentation. This question allows the director to explain how they ensure all personnel are properly prepared for their roles.
Related violations
Finding-specific
What is your process for conducting and documenting emergency preparedness drills, such as fire or lockdown drills?
Why ask this
Why ask this
Official inspection reports from 2025 show findings regarding the documentation of emergency drills and the availability of parent contact information during those drills. This question helps parents understand how the center practices and records these safety procedures.