Meet the 60% Rule,
Complete IRF-PAI Accurately,
Protect Revenue.
Curee Workstation runs natively alongside your rehab platform and EHR — no backend integration, no IT queue. Configured for inpatient rehab: real-time 60% rule compliance tracking, IRF-PAI accuracy, IRF-level prior authorization, FIM score cross-validation, and structured discharge planning from day one.
IRFs Using
Curee Workstation.
How inpatient rehab facilities are using Curee Workstation to maintain 60% rule compliance, achieve IRF-PAI accuracy, and protect revenue from CMS audit and payer denial — without changing their platform.
60% rule compliance rate improved from 61% to 79% through prospective patient screening and real-time qualification tracking.
Placeholder — real case study content to be added. Curee Workstation evaluates every candidate admission against the CMS 13-condition list in real time, surfacing qualifying diagnoses from the referral packet and flagging borderline cases before admission — not after month-end reconciliation.
IRF-PAI completion accuracy reached 97.1%, reducing CMS audit exposure and eliminating post-submission corrections.
Placeholder — real case study content to be added. The Workstation reads nursing assessments, therapy evaluations, and physician notes to auto-populate IRF-PAI fields — FIM motor and cognitive scores, comorbidity tiers, and discharge planning data — and cross-checks for CMS compliance before each submission.
IRF-level prior authorization first-pass approval rate climbed to 93% after deploying criteria-mapped justification generation.
Placeholder — real case study content to be added. Curee Workstation generates IRF medical necessity justifications aligned to CMS and commercial payer criteria — intensity of therapy requirement, physician oversight, and functional improvement potential — eliminating the most common denial triggers.
Without Curee vs. With Curee AI
The same five workflows — before and after the Workstation is deployed across your inpatient rehab facility.
Compliance tracked retrospectively — borderline admissions discovered at month-end create revenue risk and potential recoupment exposure
Every candidate admission evaluated against the CMS 13-condition list in real time. Qualifying diagnoses surfaced from the referral packet before admission. Borderline cases flagged with documentation guidance.
IRF-PAI fields completed manually from multiple source documents — FIM scores inconsistently supported, comorbidity tiers missed, CMS audit risk elevated
Nursing assessments, therapy evaluations, and physician notes read and cross-referenced. FIM motor and cognitive scores, comorbidity tiers, and discharge data auto-populated and CMS-compliance-checked before submission.
IRF prior auth denials frequently cite missing intensity-of-therapy documentation, unsupported functional improvement potential, or inadequate physician oversight evidence
IRF medical necessity justification auto-generated against CMS and commercial payer criteria. Intensity of therapy, physician oversight hours, and functional improvement trajectory all documented on the first submission.
FIM scores entered inconsistently across disciplines — therapist, nursing, and physician assessments rarely cross-referenced before submission
FIM motor and cognitive subscores validated against all discipline documentation. Discrepancies flagged before the IRF-PAI is locked. Functional trajectory documented prospectively throughout the stay.
Discharge destination documentation completed last-minute — inadequate community support assessment increases readmission risk and delays transition
Discharge planning begins at admission. Community support assessment, post-IRF service coordination, and follow-up physician documentation structured throughout the stay and completed before discharge day.
What Changes Across
Your IRF.
Every number maps directly to one of the five IRF workflows — derived from the automations the Workstation runs across your facility.
60% rule compliance rate — prospectively managed, not retroactively corrected
IRF-PAI completion accuracy with CMS compliance check before submission
First-pass IRF prior authorization approval with criteria-mapped justification
FIM score cross-validation across therapy, nursing, and physician documentation
Discharge planning initiated at admission — community support and follow-up structured from day one
Extra clicks required — Workstation runs natively alongside any EHR or rehab platform
"We were tracking our 60% rule compliance at month-end and scrambling to fix it. Now Curee flags borderline admissions before they come in the door. Our compliance is up 18 points and our IRF-PAI error rate is essentially zero."

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