scholarly journals Cultural Resources Investigations of the Vista Ridge Regional Water Supply Project in Burleson, Lee, Bastrop, Caldwell, Guadalupe, Comal and Bexar Counties, Texas

Author(s):  
Laura Acuna ◽  
Brandon Young ◽  
Rhiana Ward

On behalf of VRRSP Consultants, LLC and Central Texas Regional Water Supply Corporation (CTRWSC), SWCA Environmental Consultants (SWCA) conducted cultural resources investigations of the Vista Ridge Regional Water Supply (Vista Ridge) Project in Burleson, Lee, Bastrop, Caldwell, Guadalupe, Comal, and Bexar Counties. The work will involve installation of a 139.45-mile-long, 60-inch-diameter water pipeline from northcentral San Antonio, Bexar County, Texas, to Deanville, Burleson County, Texas. The report details the findings of investigations from June 2015 to December 2015, on the alignment dated December 8, 2015 (December 8th). The Vista Ridge Project is subject to review under Section 106 of the National Historic Preservation Act (54 USC 306108) and its implementing regulations (36 CFR 800), in anticipation of a Nationwide Permit 12 from the U.S. Army Corps of Engineers in accordance with Section 404 of the Clean Water Act. In addition, the work is subject to compliance with the Antiquities Code of Texas under Permit Number 7295, as the Vista Ridge Project will be ultimately owned by a political subdivision of the State of Texas. The cultural resources investigations included a background review and intensive field survey. The background review identified previous investigations, recorded archaeological sites, National Register of Historic Places (NRHP) properties, cemeteries, standing structures, and other known cultural resources within a 0.50-mile radius of the project area. The field investigations conducted from June 2015 through December 2015 assessed all accessible portions of the proposed December 8th alignment as of December 25, 2015. Approximately 101.8 miles of the 139.45-mile alignment has been surveyed. Approximately 24.42 miles were not surveyed based on the results of the background review and extensive disturbances as confirmed by vehicular survey. The remaining 13.23 miles that require survey were either unavailable due to landowner restrictions or part of a newly adopted reroute. SWCA also surveyed additional mileage, which includes rerouted areas that are no longer part of the December 8th alignment. The inventory identified 59 cultural resources, including 52 archaeological sites and seven isolated finds. In addition to newly recorded resources, two previously recorded archaeological sites were revisited, and two cemeteries were documented. Of the 52 newly recorded archaeological sites, seven are recommended for further work or avoidance. Of the two revisited archeological sites, one is recommended for further work or avoidance within the project area. Avoidance is recommended for both documented cemeteries. The resources with undetermined eligibility require additional testing or other avenues of research before SWCA can make a firm recommendation about their eligibility for nomination to the NRHP and designation as State Antiquities Landmarks (SALs). As part of a management strategy, the resources with undetermined eligibility may also be avoided by reroute or boring beneath. The remaining 45 cultural resources are recommended not eligible for inclusion to the NRHP or for designation as SALs and no further cultural resources investigations or avoidance strategies are recommended.

Author(s):  
Catherine Jalbert ◽  
Jennifer Kimbell

Terracon Consultants, Inc. (Terracon) was retained by IDS Engineering Group (Client) to conduct an intensive pedestrian survey for the proposed Horsepen Bayou Conveyance Improvements project in Houston, Harris County, Texas. Terracon previously conducted a cultural resources desktop assessment for the Client, which was coordinated with the Texas Historical Commission (THC) on March 4, 2019. Since the proposed undertaking will occur on land owned or controlled by a political subdivision of the State of Texas (Harris County Flood Control District), this project was subject to the Antiquities Code of Texas (Texas Natural Resources Code, Title 9, Chapter 191). Additionally, since future phases of this project will trigger regulatory oversight through coordination with the U.S. Army Corps of Engineers (USACE) under Section 404 of the Clean Water Act, it will be subject to provisions of Section 106 of the National Historic Preservation Act (NHPA) (54 USC § 306101). This project was conducted under Antiquities Permit #8974. The project area comprises an approximate six-mile reach along Horsepen Bayou, and associated tributaries, and an approximate 73-acre undeveloped tract. Fieldwork, consisting of pedestrian survey and shovel testing, was conducted from July 22 to July 26, 2019 by Catherine Jalbert (Project Archeologist), Edgar Vazquez (Staff Archeologist), and Michael Hogan (Staff Archeologist), under the oversight of Jennifer Hatchett Kimbell, who served as the Principal Investigator. The report was authored by Catherine Jalbert and Jennifer Hatchett Kimbell. The proposed project area was investigated in compliance with Texas Historical Commission (THC) and Council of Texas Archeologists (CTA) guidelines for archeological survey. No cultural resources were observed within the project area. One property, NASA’s Sonny Carter Training Facility/Neutral Buoyancy Laboratory (Building 920) is adjacent to the project area and has been determined eligible for listing to the National Register of Historic Places (NRHP). However, the THC has determined that the project will have no adverse effect on this property. Considering the absence of other observed cultural resources eligible for inclusion on the NRHP within the project area, Terracon recommended that the proposed project be allowed to proceed as currently designed. The THC concurred with this recommendation on October 4, 2019, and consequently no additional work is required at this time. In the event that human remains or cultural features are discovered during construction, those activities should cease in the vicinity of the remains and Terracon, the THC’s Archeology Division, or other proper authorities should be contacted.


Author(s):  
Mercedes Cody ◽  
Christina Nielsen ◽  
Brandon Young

On behalf of VRRSP Consultants, LLC, and Central Texas Regional Water Supply Corporation (CTRWSC), SWCA Environmental Consultants (SWCA), conducted further intensive cultural resources investigations of the Vista Ridge Regional Water Supply (Vista Ridge) Project in Burleson, Lee, Bastrop, Caldwell, Guadalupe, Comal, and Bexar Counties. The project will involve installation of a 140.2-mile-long, 60-inch-diameter water pipeline from Deanville, Burleson County, Texas, to north-central San Antonio, Bexar County, Texas. The area of potential effects (APE) will consist of the proposed centerline alignment and an 85-foot-wide corridor for temporary and permanent construction easements; however, SWCA surveyed a 100-foot-wide corridor to allow for minor shifts in the alignment. This addendum report details the findings of additional cultural resources investigations between 2016 and 2018, on the alignment. The Vista Ridge Project is subject to review under Section 106 of the National Historic Preservation Act (54 USC 306108) and its implementing regulations (36 CFR 800), in anticipation of a Nationwide Permit 12 from the U.S. Army Corps of Engineers in accordance with Section 404 of the Clean Water Act. In addition, the work is subject to compliance with the Antiquities Code of Texas (ACT) under Permit No. 7295, as the Vista Ridge Project ultimately will be owned by a political subdivision of the State of Texas. Furthermore, all human burials in the state of Texas are protected by law, as per the Texas Health and Safety Code Section 711 General Provisions Relating to Cemeteries and the Texas Administrative Code Title 13, THC, Chapter 22 Cemeteries, Sections 22.1 through 22.6. If human burials are encountered in the Project Area and the remains are determined to be Native American, they will be handled in accordance with procedures established through coordination with the THC; work in the affected area would only resume per THC authorization. Between 2016 and 2018, SWCA investigated approximately 29.5 miles of the current 140.2-mile-long project corridor and the proposed 6.9-mile-long wellfield pipeline that was not previously surveyed during the prior 2015 investigations (Acuña et al. 2016). Investigations consisted of intensive pedestrian survey augmented with shovel testing and hand-excavated auger probes and/or mechanical backhoe trenching in select areas. In addition, SWCA investigated the 25.82-acre terminus site slated for the construction of an integration system (Atwood and Ward 2017). SWCA also surveyed additional mileage, which included rerouted areas that are no longer part of the currently proposed alignment. SWCA excavated 967 shovel tests, 96 auger probes, and 85 backhoe trenches during these additional investigations. SWCA documented or further investigated 28 cultural resources within the Vista Ridge Project during the 2016 to 2018 investigations. Of the 28 resources, seven were isolated finds that did not warrant formal site recording or require additional investigations. The remaining 21 cultural resources include 15 prehistoric sites, three historic sites, and three multi-component sites with both prehistoric and historic cultural materials. Of the 21 sites, two (i.e., 41BP960 and 41BP961) are currently UNDETERMINED regarding eligibility for the National Register of Historic Places (NRHP) or as a State Antiquities Landmark (SAL), and one site (i.e., 41GU177) was determined to be ELIGIBLE for listing on the NRHP and for designation as a SAL. SWCA conducted testing and data recovery excavations at site 41GU177 and the results of testing investigations conducted under Permit No. 7295 are presented as an appendix to this report (Rodriguez et al. 2017); the data recovery investigations of site 41GU177 were completed under Permit No. 8231 and will be a separate report. Additionally, sites 41BP960 and 41BP961 have been avoided by design alignment changes and will not be impacted by the Vista Ridge Project. The remaining 18 cultural resources sites are considered NOT ELIGIBLE for nomination to the NRHP or for designation as SALs and no further cultural resources investigations or avoidance are recommended. In addition, SWCA documented two cemeteries (the Hill Cemetery and the Hoffman Cemetery) during the 2016 to 2018 investigations. Due to subsequent reroutes, the Hill Cemetery (located within the boundaries of site 41BP818) is now avoided and will not be impacted by the project. Mechanical scraping was conducted adjacent to the Hoffman Cemetery in compliance with the Texas Health and Safety Code; no evidence of interments was identified within the project area. In accordance with 36 CFR 800.4 and the ACT, SWCA has made a reasonable and good faith effort to identify cultural resources within the project area. Two sites (i.e., 41BP960 and 41BP961) are recommended as having UNDETERMINED eligibility for listing on the NRHP or for SAL designation and one site (41GU177) is recommended as ELIGIBLE. The remaining 18 are recommended as NOT ELIGIBLE for listing on the NRHP or for SAL designation. Site 41GU177 has been mitigated and the results will be presented in a stand-alone report (Nielsen et al. 2019). The two sites (41BP960 and 41BP961) of UNDETERMINED eligibility have been avoided by design alignment changes and will not be impacted by the project. No further work or avoidance strategy is recommended for the remaining 18 archaeological sites identified during the Vista Ridge Project.


2020 ◽  
Vol 8 (3) ◽  
pp. 299-306 ◽  
Author(s):  
Valerie J. McCormack ◽  
Kary Stackelbeck

ABSTRACTThis article presents a case study of the process of developing and implementing mitigation as the result of adverse effects to cultural resources from the drawdown of Lake Cumberland, Kentucky. Signs of a dam failure in early 2007 triggered the U.S. Army Corps of Engineers (Corps) to implement the emergency drawdown. While the drawdown prevented a life safety catastrophe, it created a new erosion zone and exposed archaeological sites to looters. When it became clear that conventional Section 106 procedures to identify and evaluate these endangered archaeological resources were not an option, alternative and creative mitigation became a necessary approach for the Corps to meet its obligations under the National Historic Preservation Act. This article discusses the creative brainstorming among the Corps, Kentucky state historic preservation officer, and tribes that led to three alternative mitigation measures aimed at educational outreach, raising public awareness, and staff training. Furthermore, the article identifies challenges encountered during the implementation of the mitigation measures. Through the presentation of our mitigation journey, we share some of our lessons learned to improve awareness of the challenges and successes one may encounter during the execution of such alternative measures.


The U.S. Army Corps of Engineers (USACE), Fort Worth District, is investigating the water resource problems, needs, and opportunities within the Big Fossil Creek drainage in Tarrant County, Texas. The effort focuses on describing existing conditions and identifying measures to minimize and control flood loss within a 48,396.8-acre area of the drainage north of the city of Fort Worth. Geo-Marine, Inc., of Plano, Texas, was contracted by the USACE to assess the potential for historic properties within the drainage area. Background research and a pedestrian reconnaissance survey of the project area were carried out and a geographical information systems (GIS) model was designed to evaluate the probability for both surface and subsurface cultural resources deposits within the project area and to make recommendations for further treatment of any properties.


Author(s):  
Tony Scott ◽  
Amanda Kloepfer

Gray & Pape, Inc., of Houston, Texas, conducted an intensive pedestrian cultural resources survey of jurisdictional portions of survey corridor within a proposed pipeline alignment measuring a total of approximately 30 kilometers (18.5 miles) located in Harris and Liberty Counties, Texas. The pipeline route is on privately-owned property; therefore, a Texas Antiquities Permit was not required prior to survey. In total, the surveyed property totals approximately 2.8 hectares (7 acres) which defines the Area of Potential Effects. The goals of the survey were to establish whether or not previously unidentified archaeological resources were located within the project area, also defined as the project’s Area of Potential Effects, and whether the pipeline alignment would affect any previously identified cultural resources. The lead agency for the project has been identified as the United States Army Corps of Engineers, Galveston District. The procedures to be followed by the United States Army Corps of Engineers to fulfill the requirements set forth in the National Historic Preservation Act, other applicable historic preservation laws, and Presidential directives as they relate to the regulatory program of the United States Army Corps of Engineers (33 CFR Parts 320-334) are articulated in the Regulatory Program of the United States Army Corps of Engineers, Part 325 -Processing of Department of the Army Permits, Appendix C -Procedures for the Protection of Historic Properties. All fieldwork and reporting activities were completed following accepted standards set forth by the Texas Historical Commission and the Council of Texas Archeologists and in accordance with Section 106 of the National Historic Preservation Act. Fieldwork took place in March 2019 and required 32 work hours to complete. Field investigation consisted of intensive pedestrian inspection, subsurface shovel testing, photographic documentation, and mapping. A total of 20 shovel tests were excavated, of which none were positive for buried cultural materials. No historic structures were identified as a result of survey. Based on the results of the survey, Gray & Pape, Inc. recommends that no further cultural resources work be required and that the project be cleared to proceed as currently planned.


Author(s):  
Duane Peter ◽  
James Harrison

This report presents the findings of the survey of 75 acres and the excavation of 28 cubic meters of site 41TR198 (Crooked Oxbow Site) within the Riverside Oxbow Project sponsored by the U.S. Army Corps of Engineers, Fort Worth District, in partnership with the City of Fort Worth and the Tarrant County Water District. Planned impacts from this proposed project include habitat restoration, channel reestablishment, vegetation plantings, new roads, and sports field construction. The deepest impacts planned for the Area of Potential Effects are one meter and involve the excavation of a shallow lake utilizing the relict oxbow bordering site 41TR198. Impacts planned for the remainder of the project area will be less than one-half meter deep. Overall, the project will attempt to use the existing landscape as much as possible in order to reduce impacts. As a federal agency the USACE is required to undertake cultural resource investigations for their projects in accordance with the National Historic Preservation Act of 1966, as amended through 2001. Since the Tarrant Regional Water District is the landowner and co-sponsor of the project, and a political subentity of the state of Texas, this project was also conducted under Texas Antiquities Permit No. 5040.


Author(s):  
Tony Scott ◽  
Amanda Kloepfer

Gray & Pape, Inc., of Houston, Texas, on behalf of Lone Star NGL Pipeline, LP, conducted an intensive pedestrian cultural resources survey within permitted areas of the 142.27-kilometer (88.4mile) long Lone Star Express II Pipeline Project – Loop 3, in Eastland, Comanche, Erath, and Bosque Counties, Texas. The lead agency for the project has been identified as the United States Army Corps of Engineers, Fort Worth District (Permit No. SWF-2019-00091). Thus, survey efforts concentrated on areas anticipated to be under the jurisdiction of the United States Army Corps of Engineers (permit areas). Within Loop 3, the total Area of Potential Effects within the permit areas measures approximately 209.9 hectares (518.6 acres). This area encapsulates approximately 52.8 kilometers (32.8 miles) of proposed project alignment. The procedures to be followed by the United States Army Corps of Engineers to fulfill the requirements set forth in the National Historic Preservation Act, other applicable historic preservation laws, and Presidential directives as they relate to the regulatory program of the United States Army Corps of Engineers (33 CFR Parts 320-334) are articulated in the Regulatory Program of the United States Army Corps of Engineers, Part 325 - Processing of Department of the Army Permits, Appendix C - Procedures for the Protection of Historic Properties. All fieldwork and reporting activities were completed according to a scope of work submitted to the United States Army Corps of Engineers and the Texas Historical Commission and accepted standards set forth by the Texas Historical Commission and the Council of Texas Archeologists and in accordance with Section 106 of the National Historic Preservation Act. A records and literature review of the project location prior to survey identified 13 previously recorded archaeological sites, four historic markers, five cemeteries, and five previously conducted surveys within a 0.8-kilometer (0.5-mile) radius of Loop 3. Of those, the mapped locations for one recorded archaeological site and three previous surveys intersect the project corridor. An additional three archaeological sites are located within 91 meters (300 feet) of the project’s Areas of Potential Effects. Fieldwork on Loop 3 was conducted in the Spring of 2019 with supplemental survey in August, October, and November of 2019 and required approximately 3,680-person hours to complete. Survey involved archaeological reconnaissance and shovel testing throughout anticipated permit areas within the project corridor. In total, approximately 901 shovel tests were excavated within permit areas, of which four were positive for cultural material. No portions of previously recorded resources: 41ER48, 41ER49, 41ER50, or 41ER56, were re-identified; however, two new previously unrecorded resources, 41BQ358 and 41BQ359, and one isolate, BQ-07-ISO-01, were discovered. The newly recorded resources consist of sparse Prehistoric lithic scatters, consisting mainly of debitage and lacking temporally or culturally diagnostic artifacts. The lone diagnostic artifact, Isolate BQ-07-ISO-01, consists of an Ellis or Godley type projectile point dating to the Late to Transitional Archaic. The resource areas within the pipeline corridor showed clear disturbance from the adjacent pipeline right-of-way. Indications of soil deflation, erosion, and past land modifications such as agriculture or terracing were also observed. Further, Resource 41BQ358 and Isolate BQ-07-ISO-01 are located on very spatially limited topographic settings surrounded by slopes of 30 degrees or greater. The workspace at the location of 41BQ359 has been revised to avoid the site thus removing it from permitting. The workspace where it passes the site will be marked by orange fencing. Shovel test results at nearly all permit areas identified subsoils, cemented soils, or bedrock. Alarm Creek in Erath County, Permit Area Number 65, was targeted for deep testing based on geomorphological data, and field results and discussions with the field archaeologist. Deep test results indicated a lack of deeply buried A horizon soils and showed no potential for deeply buried cultural material or paleosols. No cultural features or historic-age standing resources were encountered in the field. No artifacts were collected as a result of survey. It is the opinion of Gray & Pape Inc. that none of the recorded resources retain the potential to provide significant research value and are thus recommended not eligible for the National Register, under Evaluation Criterion D. In addition, the resources are recommended not eligible for State Antiquities Landmark status. Gray & Pape, Inc. recommends no additional archaeological work for these resources or surveyed portions of the project. However, Gray & Pape, Inc. recommends that an unanticipated discoveries plan be put into place in the event that such discoveries take place during construction.


Author(s):  
Tony Scott ◽  
Amanda Kloepfer

Gray & Pape, Inc., of Houston, Texas, on behalf of Lone Star NGL Pipeline, LP, conducted an intensive pedestrian cultural resources survey within permitted areas of the 174.36-kilometer (108.34-mile) long Lone Star Express II Pipeline Project – Loop 1, in Midland, Martin, Howard, Mitchell, and Nolan Counties, Texas. The lead agency for the project has been identified as the United States Army Corps of Engineers, Fort Worth District (Permit No. SWG-2019-00091). Thus, survey efforts concentrated on areas anticipated to be under the jurisdiction of the United States Army Corps of Engineers (permit areas). Within Loop 1, the total Area of Potential Effects within the permit areas measures approximately 125.6 hectares (310.3 acres). This area encapsulates approximately 29.6 kilometers (18.4 miles) of proposed project alignment. In addition, approximately 2.3 kilometers (1.4 miles) or 8.9 hectares (21.9 acres) of the proposed route are controlled by the City of Colorado City and thus required the issuance of a Texas Antiquities Code Permit. Permit number 8896 was issued for the project. The procedures to be followed by the United States Army Corps of Engineers to fulfill the requirements set forth in the National Historic Preservation Act, other applicable historic preservation laws, and Presidential directives as they relate to the regulatory program of the United States Army Corps of Engineers (33 CFR Parts 320-334) are articulated in the Regulatory Program of the United States Army Corps of Engineers, Part 325 - Processing of Department of the Army Permits, Appendix C - Procedures for the Protection of Historic Properties. All fieldwork and reporting activities were completed according to a scope of work submitted to the United States Army Corps of Engineers and the Texas Historical Commission and accepted standards set forth by the Texas Historical Commission and the Council of Texas Archeologists and in accordance with Section 106 of the National Historic Preservation Act. Gray & Pape, Inc. submitted project records to the Center of Archaeological Studies at Texas State University. A records and literature review of the project location prior to survey identified 62 previously recorded archaeological resources, one cemetery, one historic marker, and 22 previously conducted surveys within a 0.8-kilometer (0.5-mile) radius of the Loop 1 segment. Of those, 10 recorded archaeological resources and six previous surveys intersect anticipated permit areas. Fieldwork on Loop 1 was conducted in the Spring of 2019 with supplemental survey in July, August, and September 2019. Survey of Loop 1 required approximately 1,200 Gray & Pape, Inc. person-hours to complete and involved archaeological reconnaissance and shovel testing throughout anticipated permit areas within the project corridor. In total, approximately 664 shovel tests were excavated within permit areas, 25 of which were positive for cultural materials. An additional 122 shovel tests were conducted as part of resource delineation efforts. Field effort also included the excavation of a total of 13 deep tests. Nine previously recorded resources: 41NL6, 41NL313, 41NL314, 41NL315, 41NL316, 41NL320, 41NL321, 41NL323, and 41NL326; eight new previously unrecorded resources: 41HW142, 41MH128, 41MH130, 41NL377, 41NL378, 41NL379, 41NL380, and 41NL392; and four isolate finds were identified within Loop 1 permit areas. An additional 10 previously recorded resources: 41MD41, 41HW8, 41HW104, 41HW105, 41HW106, 41NL310, 41NL312, 41NL322, 41NL324, and 41NL325; and one newly identified resource, 41MH129, were identified within the Area of Potential Effects but outside of jurisdictional areas. These sites largely exhibited surface scatters of lithics which are typical for the area and were consistent with the resources identified within jurisdictional permit areas.


Author(s):  
Sophia Salgado ◽  
Zachary Overfield ◽  
Cody Roush

SWCA Environmental Consultants (SWCA) was retained by CrownQuest Operating, LLC, to complete an intensive cultural resources investigation for the proposed CrownQuest City of Midland Oil and Gas Project (Project). The Project includes newly proposed oil and gas well pads, crude oil pipeline, and associated access roads on City of Midland property in Midland and Glasscock Counties, Texas. These new components will be constructed within an existing upstream oil and gas system. The 149.9-acre (60.7-hectare) Project area is located approximately 15 miles southeast of Midland, Texas, immediately south of Highway 158, and is situated along and between Johnson and Pemberton Draws. The Project involves a political subdivision within the state of Texas (City of Midland). The Antiquities Code of Texas (ACT) applies because the Project’s activities occur on property owned by the City of Midland and will involve more than 5 acres / 5,000 cubic yards of land disturbance or may potentially affect known archaeological sites. It is SWCA’s understanding that the Project does not currently have a federal nexus, and it is not subject to Section 106 of the National Historic Preservation Act. The purpose of this investigation was to identify and assess any cultural resources, such as historic and prehistoric archaeological sites and historic buildings, structures, objects, and sites (such as cemeteries) that might be located within the boundaries of the proposed Project and evaluate their significance and eligibility for designation as a State Antiquities Landmark. The investigations included a background and historic map review of the Project area and immediately surrounding region followed by pedestrian survey with visual examination and shovel test excavations at proposed Project activity areas. All investigations were conducted in accordance with the ACT and standards and guidelines established by the THC and Council of Texas Archeologists. Following the review and acceptance of the final cultural resources report, all records and photographs will be curated with the Center for Archaeological Research at the University of Texas at San Antonio, per requirements of the ACT in accordance with the CTA guidelines. The cultural resources investigation was conducted under ACT Permit No. 8506. Fieldwork was performed from July 30 to August 4, 2018. The Project setting was mainly eroded and heavily disturbed uplands with occasional exposures of bedrock and caliche. Pedestrian survey was augmented by hand excavating 253 shovel tests and seven auger tests, which were terminated at the maximum reachable depth or at soils likely predating human occupation, typically around 45 cm below surface. The most pervasive land disturbance observed was related to petroleum exploration and extraction activities that have generally impacted ground surface integrity. During the investigation SWCA archaeologists did not observe any prehistoric or historic cultural resources within the Project area. The location near site 41MD4, identified during the background review, could not be visited by SWCA survey staff due to a fire in the facility. The site boundary defined does not extend into a proposed Project activity area and the closest associated Project item is already disturbed. On that basis it is not considered to be a Project concern. Based on the negative findings of the intensive cultural resources survey, SWCA recommends that no further archaeological investigations are warranted within the assessed portions of the CrownQuest City of Midland Oil and Gas Project area.


This report presents the results of cultural resources monitoring and survey activities connected with a Department of Defense (DOD) Joint Task Force Six (JTF-6) project in southern Hudspeth and Culberson, western Jeff Davis, and northern Presidio Counties, Texas. These cultural resource activities were prompted by road improvement activities initiated by the U.S. Border Patrol. The road improvement activities were designed to aid the U.S. Border Patrol in their battle against illegal drug trade and smuggling operations along the U.S.-Mexico border. Geo-Marine, Inc. conducted the survey as part of an indefinite delivery contract with the Fort Worth District of the U.S. Army Corps of Engineers. The survey and monitoring were tailored to focus only on those areas to be disturbed by road repair activities and to identify cultural resource sites which were to be avoided during such activities.


Sign in / Sign up

Export Citation Format

Share Document