The pump should have an event log that tracks limit overrides and programming changes that have occurred as a result of limit warnings. This log may be separate from the pump's
primary data log. It is advantageous to have some method of excluding training activities from this log (e.g., education mode).
The DERS event log should retain data for at least one year.
The manufacturer should provide log-analysis software to permit the downloading, storing, and convenient (e.g., spreadsheet, graphical) analysis of log data aggregated from all
pumps. This software should be consistent with the requirements of HIPAA (the Health Insurance Portability and Accountability Act) in terms of addressing access security (e.g., log-in
and password) and addressing the tracking of access
The pump should have an event log that tracks limit overrides and programming changes that have occurred as a result of limit warnings. This log may be separate from the pump'sprimary data log. It is advantageous to have some method of excluding training activities from this log (e.g., education mode).The DERS event log should retain data for at least one year.The manufacturer should provide log-analysis software to permit the downloading, storing, and convenient (e.g., spreadsheet, graphical) analysis of log data aggregated from allpumps. This software should be consistent with the requirements of HIPAA (the Health Insurance Portability and Accountability Act) in terms of addressing access security (e.g., log-inand password) and addressing the tracking of access
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