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VA Technical Reference Model v 24.4

CardioPerfect WorkStation
CardioPerfect WorkStation Technology

General InformationGeneral Information help

Technologies must be operated and maintained in accordance with Federal and Department security and privacy policies and guidelines. More information on the proper use of the TRM can be found on the TRM Proper Use Tab/Section.

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Description: The CardioPerfect WorkStation is a cardiopulmonary data management system designed for clinicians to diagnose various diseases and analyze treatment regimens. This technology also provides non-diagnostic functions such as data security and search options for patient and test records. Additionally, users can view resting electrocardiograms (ECGs), exercise ECGs, and print ECGs in various formats.

This product requires Microsoft Structured Query Language (SQL) Server to provide a bidirectional interface to a healthcare facility`s electronic health record (EHR). In order to implement CardioPerfect, existing Microsoft SQL Server installations must have mixed-mode authentication enabled. Depending on the installation, a database named ccdb in an instance named CARDIOPERFECT will be created, which contains all information generated by CPWS. A second database called ccdb_audit is installed for maintaining an audit trail when enabled.

CPWS can be configured in the following ways:
  • Single personal computer (PC), where CPWS and the database are installed on the same PC
  • Client station in a network configuration, where CPWS is installed as a client workstation that connects to a network database
  • Server configuration, which installs the CPWS software and the database
  • Custom, where the user can pick which components get installed and skipped.
Technology/Standard Usage Requirements: Users must ensure their use of this technology/standard is consistent with VA policies and standards, including, but not limited to, VA Handbooks 6102 and 6500; VA Directives 6004, 6513, and 6517; and National Institute of Standards and Technology (NIST) standards, including Federal Information Processing Standards (FIPS). Users must ensure sensitive data is properly protected in compliance with all VA regulations. Prior to use of this technology, users should check with their supervisor, Information Security Officer (ISO), Facility Chief Information Officer (CIO), or local Office of Information and Technology (OI&T) representative to ensure that all actions are consistent with current VA policies and procedures prior to implementation.
Section 508 Information: This technology has not been assessed by the Section 508 Office. The Implementer of this technology has the responsibility to ensure the version deployed is 508-compliant. Section 508 compliance may be reviewed by the Section 508 Office and appropriate remedial action required if necessary. For additional information or assistance regarding Section 508, please contact the Section 508 Office at
Decision: View Decisions

Decision Source: TRM Mgmt Group
Decision Process: One-VA TRM v21.8
Decision Date: 08/17/2021 at 15:34:14 UTC
Introduced By: TRM Request
Vendor Name: Welch Allyn
- The information contained on this page is accurate as of the Decision Date (08/17/2021 at 15:34:14 UTC).