<Past |
Future> |
0.3.2 |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
2020.03 |
Divest [3, 11, 12, 14, 15, 16, 17] |
Divest [3, 11, 12, 14, 15, 16, 17] |
Divest [3, 11, 12, 14, 15, 16, 17] |
Divest [3, 11, 12, 14, 16, 17, 18] |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
2022.07 |
Approved w/Constraints [3, 11, 12, 14, 15, 16, 17] |
Approved w/Constraints [3, 11, 12, 14, 15, 16, 17] |
Approved w/Constraints [3, 11, 12, 14, 15, 16, 17] |
Approved w/Constraints [3, 11, 12, 14, 16, 17, 18] |
Approved w/Constraints [3, 12, 14, 17, 18, 19, 20] |
Approved w/Constraints [3, 12, 14, 17, 18, 19, 20] |
Divest [3, 14, 17, 18, 19, 20, 21, 22] |
Divest [3, 14, 17, 18, 19, 20, 21, 22] |
Divest [3, 14, 17, 18, 19, 20, 21, 22] |
Divest [3, 14, 17, 18, 19, 20, 21, 22] |
Divest [3, 14, 17, 18, 19, 20, 21, 22] |
Divest [3, 14, 17, 18, 19, 20, 21, 22] |
2023.x |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Approved w/Constraints [3, 14, 17, 18, 19, 20, 21, 22] |
Approved w/Constraints [3, 14, 17, 18, 19, 20, 21, 22] |
Approved w/Constraints [3, 14, 17, 18, 19, 20, 21, 22] |
Approved w/Constraints [3, 14, 17, 18, 19, 20, 21, 22] |
Approved w/Constraints [3, 14, 17, 18, 19, 20, 21, 22] |
Approved w/Constraints [3, 14, 17, 18, 19, 20, 21, 22] |
1.2.x |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Unapproved |
Approved w/Constraints [3, 14, 17, 18, 19, 20, 21, 22] |
Approved w/Constraints [3, 14, 17, 18, 19, 20, 21, 22] |
Approved w/Constraints [3, 14, 17, 18, 19, 20, 21, 22] |
Approved w/Constraints [3, 14, 17, 18, 19, 20, 21, 22] |
Approved w/Constraints [3, 14, 17, 18, 19, 20, 21, 22] |
Approved w/Constraints [3, 14, 17, 18, 19, 20, 21, 22] |
| | [1] | If Gen 3 Client is to be used within VA, the underlying operating system, full disk encryption, or other third-party Federal Information Standards (FIPS) 140-2 validated applications must be leveraged to protect VA sensitive information. VA Handbook 6500 CP-9: Information System Backup (d), states that VA system backups will be encrypted using FIPS 140-2 (or its successor) validated encryption.
Monitor Gen3 GitHub and the community site for applicable patches and support; test and apply fixes when they become available. | | [2] | Veterans Affairs (VA) users must ensure VA sensitive data is properly protected in compliance with all VA regulations. All instances of deployment using this technology should be reviewed by the local ISO (Information Security Officer) to ensure compliance with VA Handbook 6500. | | [3] | Technology must remain patched and operated in accordance with Federal and Department security policies and guidelines in order to mitigate known and future security vulnerabilities. | | [4] | In cases where the technology is used for external connections, a full Enterprise Security Change Control Board (ESCCB) review is required in accordance VA Directive 6004 , VA Directive 6517, and VA Directive 6513. The local ISO can advise on the ESCCB review process. | | [5] | If Gen 3 Client is to be used within VA, the underlying operating system, full disk encryption, or other third-party Federal Information Standards (FIPS) 140-2 validated applications must be leveraged to protect VA sensitive information. VA Handbook 6500 CP-9: Information System Backup (d), states that VA system backups will be encrypted using FIPS 140-2 (or its successor) validated encryption.
Monitor Gen3 GitHub and the community site for applicable patches and support; test and apply fixes when they become available.
- If Gen 3 Client is to be used within VA, the underlying operating system, full disk encryption, or other third-party Federal Information Standards (FIPS) 1402 validated applications must be leveraged to protect VA sensitive information. VA Handbook 6500 CP-9: Information System Backup (d), states that VA system backups will be encrypted using FIPS 140-2 (or its successor) validated encryption.
- Monitor Gen3 GitHub and the community site for applicable patches and support; test and apply fixes when they become available.
- Due to potential information security risks, SaaS/PaaS solutions must complete the Veterans-Focused Integration Process Request (VIPR) process where a collaborative effort between Demand Management (DM), Enterprise Program Management Office Information Assurance (EPMO IA), Project Special Forces (PSF), Enterprise Cloud Solutions Office (ECSO), Chief Technology Officer (CTO), and stakeholders determines the SaaS/PaaS category during the Discovery Phase. All SaaS and Non-AWS/Azure (VAEC) PaaS assets are routed to EPMO IA for Analysis and Approval to Operate (ATO) with technical oversight, acquisition, production, and sustainment provided by PSF.
| | [6] | Due to potential information security risks for cloud-based technologies, users should coordinate closely with their facility ISSO for guidance and assistance on cloud products. If further guidance is needed contact the Enterprise Cloud Solution Office (ECSO), which is the body responsible for new software development in and migration of existing systems to the VA Enterprise Cloud (VAEC) and ensuring organizational information, Personally Identifiable Information (PII), Protected Health Information (PHI), and VA sensitive data are not compromised within the VAEC. For information about Software as a Service (SaaS) products or to submit a SaaS product request with the Project Special Forces (SPF) team, please use their online form.
(Ref: VA Directive 6004, VA Directive 6517, VA Directive 6513 and VA Directive 6102). | | [7] | Veterans Affairs (VA) users must ensure VA sensitive data is properly protected in compliance with all VA regulations. All instances of deployment using this technology should be reviewed by the local ISO (Information Security Officer) to ensure compliance with VA Handbook 6500. | | [8] | In cases where the technology is used for external connections, a full Enterprise Security Change Control Board (ESCCB) review is required in accordance VA Directive 6004 , VA Directive 6517, and VA Directive 6513. The local ISO can advise on the ESCCB review process. | | [9] | Due to potential information security risks for cloud-based technologies, users should coordinate closely with their facility ISSO for guidance and assistance on cloud products. If further guidance is needed contact the Enterprise Cloud Solution Office (ECSO), which is the body responsible for new software development in and migration of existing systems to the VA Enterprise Cloud (VAEC) and ensuring organizational information, Personally Identifiable Information (PII), Protected Health Information (PHI), and VA sensitive data are not compromised within the VAEC. For information about Software as a Service (SaaS) products or to submit a SaaS product request with the Project Special Forces (SPF) team, please use their online form.
(Ref: VA Directive 6004, VA Directive 6517, VA Directive 6513 and VA Directive 6102). | | [10] | Due to potential information security risks for cloud-based technologies, users should coordinate closely with their facility ISSO for guidance and assistance on cloud products. If further guidance is needed contact the Enterprise Cloud Solution Office (ECSO), which is the body responsible for new software development in and migration of existing systems to the VA Enterprise Cloud (VAEC) and ensuring organizational information, Personally Identifiable Information (PII), Protected Health Information (PHI), and VA sensitive data are not compromised within the VAEC. For information about Software as a Service (SaaS) products or to submit a SaaS product request with the Project Special Forces (PSF) team, please use their online form.
(Ref: VA Directive 6004, VA Directive 6517, VA Directive 6513 and VA Directive 6102). | | [11] | Due to potential information security risks for cloud-based technologies, users should coordinate closely with their facility ISSO for guidance and assistance on cloud products. If further guidance is needed contact the Enterprise Cloud Solution Office (ECSO), which is the body responsible for new software development in and migration of existing systems to the VA Enterprise Cloud (VAEC) and ensuring organizational information, Personally Identifiable Information (PII), Protected Health Information (PHI), and VA sensitive data are not compromised within the VAEC. For information about Software as a Service (SaaS) products or to submit a SaaS product request with the VA OIT Product Engineering team, please use their online form.
(Ref: VA Directive 6004, VA Directive 6517, VA Directive 6513 and VA Directive 6102). | | [12] | Per the Initial Product Review, users must abide by the following constraints:
- Gen 3 Client will require a 3rd party FIPS 140-2 certified solution for any data containing PHI/PII or VA sensitive information.
- Monitor Gen3 GitHub and the community site for applicable patches and support; test and apply fixes when they become available.
- Due to potential information security risks, SaaS/PaaS solutions must complete the Veterans-Focused Integration Process Request (VIPR) process where a collaborative effort between Demand Management (DM), Enterprise Program Management Office Information Assurance (EPMO IA), Project Special Forces (PSF), Enterprise Cloud Solutions Office (ECSO), Chief Technology Officer (CTO), and stakeholders determines the SaaS/PaaS category during the Discovery Phase. All SaaS and Non-AWS/Azure (VAEC) PaaS assets are routed to EPMO IA for Analysis and Approval to Operate (ATO) with technical oversight, acquisition, production, and sustainment provided by PSF.
Users must ensure that PostgreSQL is implemented with VA-approved baselines. (Refer to the ‘Category’ tab under ‘Runtime Dependencies’) | | [13] | Per the May 5th, 2015 memorandum from the VA Chief Information Security Officer (CISO) FIPS 140-2 Validate Full Disk Encryption (FOE) for Data at Rest in Database Management Systems (DBMS) and in accordance with Federal requirements and VA policy, database management must use Federal Information Processing Standards (FIPS) 140-2 compliant encryption to protect the confidentiality and integrity of VA information at rest at the application level. If FIPS 140-2 encryption at the application level is not technically possible, FIPS 140-2 compliant full disk encryption (FOE) must be implemented on the hard drive where the DBMS resides. Appropriate access enforcement and physical security control must also be implemented. All instances of deployment using this technology should be reviewed to ensure compliance with VA Handbook 6500 and National Institute of Standards and Technology (NIST) standards. It is the responsibility of the system owner to work with the local CIO (or designee) and Information Security Officer (ISO) to ensure that a compliant DBMS technology is selected and that if needed, mitigating controls are in place and documented in a System Security Plan (SSP). | | [14] | This product can be configured with a PostgreSQL Database, which currently has TRM constraints limiting its use to Red Hat Enterprise Linux (RHEL) only due to its many known security issues on other platforms. If PostgreSQL is selected for use with this product, these factors must be considered especially when an instance of this product will be considered a Moderate or High-Risk system. See PostgreSQL Database TRM entry for more details. | | [15] | Veterans Affairs (VA) users must ensure VA sensitive data is properly protected in compliance with all VA regulations. All instances of deployment using this technology should be reviewed by the local ISSO (Information System Security Officer) to ensure compliance with VA Handbook 6500. | | [16] | Per the May 5th, 2015 memorandum from the VA Chief Information Security Officer (CISO) FIPS 140-2 Validate Full Disk Encryption (FOE) for Data at Rest in Database Management Systems (DBMS) and in accordance with Federal requirements and VA policy, database management must use Federal Information Processing Standards (FIPS) 140-2 compliant encryption to protect the confidentiality and integrity of VA information at rest at the application level. If FIPS 140-2 encryption at the application level is not technically possible, FIPS 140-2 compliant full disk encryption (FOE) must be implemented on the hard drive where the DBMS resides. Appropriate access enforcement and physical security control must also be implemented. All instances of deployment using this technology should be reviewed to ensure compliance with VA Handbook 6500 and National Institute of Standards and Technology (NIST) standards. It is the responsibility of the system owner to work with the local CIO (or designee) and Information System Security Officer (ISSO) to ensure that a compliant DBMS technology is selected and that if needed, mitigating controls are in place and documented in a System Security Plan (SSP). | | [17] | In cases where the technology is used for external connections, a full Enterprise Security Change Control Board (ESCCB) review is required in accordance VA Directive 6004 , VA Directive 6517, and VA Directive 6513. The local ISSO (Information System Security Officer) can advise on the ESCCB review process. | | [18] | Veterans Affairs (VA) users must ensure VA sensitive data is properly protected in compliance with all VA regulations. All instances of deployment using this technology should be reviewed by the local ISSO (Information System Security Officer) to ensure compliance with both VA Handbook 6500 and VA Directive 6500. | | [19] | Per the May 5th, 2015 memorandum from the VA Chief Information Security Officer (CISO) FIPS 140-2 FIPS 140-2 Validate Full Disk Encryption (FOE) for Data at Rest in Database Management Systems (DBMS) and in accordance with Federal requirements and VA policy, database management must use Federal Information Processing Standards (FIPS) 140-2 or its successor to protect the confidentiality and integrity of VA information at rest at the application level. If FIPS 140-2 encryption at the application level is not technically possible, FIPS 140-2 or 140-3 compliant full disk encryption (FOE) must be implemented on the storage device where the DBMS resides. Appropriate access enforcement and physical security control must also be implemented. All instances of deployment using this technology should be reviewed to ensure compliance with VA Handbook 6500 and National Institute of Standards and Technology (NIST) standards. It is the responsibility of the system owner to work with the local CIO (or designee) and Information System Security Officer (ISSO) to ensure that a compliant DBMS technology is selected and that if needed, mitigating controls are in place and documented in a System Security Plan (SSP). By September 22, 2026, all FIPS 140-2 certificate validations will be placed on the Historical List, please refer to FIPS Transition Effort for further guidance and timeline of changes. | | [20] | Due to potential information security risks for cloud-based technologies, users should coordinate closely with their facility ISSO for guidance and assistance on cloud products. If further guidance is needed contact the Enterprise Cloud Solution Office (ECSO), which is the body responsible for new software development in and migration of existing systems to the VA Enterprise Cloud (VAEC) and ensuring organizational information, Personally Identifiable Information (PII), Protected Health Information (PHI), and VA sensitive data are not compromised within the VAEC. For information about Software as a Service (SaaS) products or to submit a SaaS product request, visit the Product Marketplace.
(Ref: VA Directive 6004, VA Directive 6517, VA Directive 6513 and VA Directive 6102). | | [21] | Per the Initial Product Review, users must abide by the following constraints:
- Gen 3 Client will require a 3rd party FIPS 140-2 certified solution (or its
successor) for any data containing PHI/PII or VA sensitive information.
- Monitor Gen3 GitHub and the community site for applicable patches and
support; test and apply fixes when they become available.
- Due to potential information security risks, SaaS/PaaS solutions must complete
the Business Integration and Outcomes Service (BIOS) process where a
collaborative effort between Demand Management (DM), Enterprise Program
Management Office Information Assurance (EPMO IA), Digital Transformation
Center (DTC), Enterprise Cloud Solutions Office (ECSO), Chief Technology
Officer (CTO), and stakeholders determines the SaaS/PaaS category during
the Discovery Phase. All SaaS and Non-AWS or Azure (VAEC) PaaS assets
are routed to EPMO IA for Analysis and Approval to Operate (ATO) with
technical oversight, acquisition, production, and sustainment provided by DTC.
Users must ensure that PostgreSQL is implemented with VA-approved baselines. (Refer to the ‘Category’ tab under ‘Runtime Dependencies’) | | [22] | The Federal Information Processing standards (FIPS) 140-2 certification status of this technology was not able to be verified. This technology will require a 3rd party FIPS 140-2 or 140-3 certified solution for any data containing PHI/PII or VA sensitive information, where applicable. More information regarding the Cryptographic Module Validation Program (CMVP) can be found on the NIST website. |
|
Note: |
At the time of writing, version 1.2.1 is the most current version, released 03/07/2024.
Note: The versioning schema of this technology changed with the release of version 1.2.0. |