scholarly journals Proposed Lake Arthur Detention Basin Expansion City of Port Arthur, Jefferson County, Texas

Author(s):  
Michael Hogan ◽  
Jennifer Kimbell

Terracon Consultants, Inc. (Terracon) was contracted by the City of Port Arthur (client) to conduct a cultural resources survey of an approximately 54-acre project area in Port Arthur, Jefferson County, Texas in advance of the proposed expansion of an existing detention basin. Since the proposed undertaking will occur on land owned or controlled by a political subdivision of the State of Texas, and because funding for this project will come, in part, from the Federal Emergency Management Agency (FEMA), this project required compliance with the Antiquities Code of Texas (Texas Natural Resources Code Chapter 191) and its implementing rules and regulations (Texas Administrative Code Chapter 26) and Section 106 of the National Historic Preservation Act (NHPA), (54 USC § 306101) and its implementing rules and regulations, 36 CFR 800. This project was conducted under Antiquities Permit #9109. The proposed project area comprises a 54-acre tract of land located between Texas State Highway 347 and U.S. Route 69 in Port Arthur, Texas. Terracon archeologists excavated a total of eleven (11) shovel tests to a depth of 80 centimeters (cm) below surface, or to sediments inferred to predate human occupation in the area. The removed sediment was passed through ¼-inch hardware mesh to screen for artifacts. No cultural materials were identified during the survey. Additionally, to comply with Section 106 of the NRHP, adjacent parcels were evaluated to determine whether historic properties might be present and subject to visual effects from the project. No such historic properties were identified. Fieldwork was conducted between October 15 and October 17, 2019 by Michael Hogan (Staff Archeologist) and Amani Bourji (Field Technician) under the supervision of Jenni Hatchett Kimbell (Principal Investigator). The report was authored by Michael Hogan and Jenni Hatchett Kimbell. Given the absence of known prehistoric or historical-period resources within the proposed project area, Terracon recommends that the expansion of the Lake Arthur detention basin proceed as planned. Should human remains, historic properties, or buried cultural materials be encountered during construction or disturbance activities, work should cease in the immediate vicinity and Terracon, the Texas Historical Commission (THC) Archeology Division, or other proper authorities should be contacted.

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):  
Michael Quennoz

On behalf of the City of Houston and the Memorial Park Conservancy, Gray & Pape, Inc. conducted intensive pedestrian surveys of three areas totaling 144.4 hectares (357.6 acres) of Memorial Park, City of Houston, Harris County, Texas. Fieldwork was carried out between April 1, 2018 and March 31, 2019, under Texas Antiquities Annual Permit Number 8465. The following report presents the results of site file and background research, survey methods, field results, and conclusions and recommendations for each of these surveys. The goals of the intensive pedestrian surveys were to assist the Memorial Park Conservancy in identifying the presence of cultural resources as they are defined by Section 106 of the National Historic Preservation Act of 1966, as amended (36 CFR 800), and provide management recommendations for identified resources. Survey methods, site identification and delineation, and reporting adhere to standards established by the Archeology Division of the Texas Historical Commission, the Council of Texas Archeologists, and the National Historic Preservation Act of 1966. At this time, the Memorial Park Conservancy plans to conduct standard park maintenance activities including low impact mechanical clearing of the invasive understory, spraying, and new plantings in each of the areas surveyed. Gray & Pape, Inc. focused particular attention on the State Antiquities Landmark-designated (#8200003264) Camp Logan archaeological site (41HR614) that encompasses large portions of Memorial Park. As a result of survey findings, the boundary for 41HR614 has been expanded to include the entirety of the former Camp Logan footprint as preserved within the boundaries of Memorial Park. The boundary of the previously recorded prehistoric site 41HR1217 was also extended. Four new prehistoric sites (41HR1226, 41HR1227, 41HR1229, 41HR1230) and one new multicomponent site (41HR1228) were also recorded. The 12.4-hectare (30.6-acre) Sports Complex survey resulted in the identification of five historic features considered part of 41HR614: the partial remains of a Camp Logan era road, segments of two Camp Logan era ditches, a Camp Logan concrete grease trap, and a concrete signpost from the 1940s. Gray & Pape recommends that the grease trap and signpost be avoided by Memorial Park Conservancy planned activities. The remaining features will not be impacted by current planned Memorial Park Conservancy activities. Based on the results of this survey, and with these protective measures in place, Gray & Pape recommends that the no further cultural resources work be required in the remaining portions of the Sports Complex project area and that the project be cleared to proceed as currently planned. The 76-hectare (189-acre) Bayou Wilds – East survey resulted in the identification of four new prehistoric sites (41HR1226, 41HR1227, 41HR1229, 41HR1230) and one new multicomponent site (41HR1228). The boundaries of the prehistoric site 41HR1217 and the historic site 41HR614 were extended A total of 14 new features were identified as associated with 41HR614, as well as two historic-age structures. Gray & Pape, Inc. recommends avoidance of the identified sites, features, and historic age structures. Based on the results of this survey, and with these protective measures in place, Gray & Pape, Inc. recommends no further cultural resources work be required in the remaining portion of the Bayou Wilds – East project area and that the project be cleared to proceed as planned. The 56-hectare (138-acre) Northwest Trails – North survey resulted in the identification of four historic-age structures, nearly identical footbridges constructed of irregular blocks and mortar that are part of the park’s active trail network; as well as a historical isolate. Based on the results of this survey, and with these protective measures in place, Gray & Pape, Inc. recommends that the no further cultural resources work be required in the remaining portions of the Northwest Trails – North project area and that the project be cleared to proceed as currently planned. As part of the Unanticipated Finds Plan developed by Gray & Pape, Inc. and the Memorial Park Conservancy, Gray & Pape, Inc. archaeologists identified and recorded nine cultural features (seven manholes, one grease trap, one segment of vitrified clay pipe) uncovered by activities undertaken by the Memorial Park Conservancy and their contractors. In each case ongoing work in the area of the newly encountered feature was halted until the feature was fully documented by a Gray & Pape, Inc. archaeologist, and potential impacts were coordinated between Gray & Pape, Inc., the Memorial Park Conservancy, and the Texas Historical Commission. Gray & Pape, Inc. also coordinated with the Texas Historical Commission on two occasions in relation to Memorial Park Conservancy projects for which no fieldwork was required. As a project permitted through the Texas Historical Commission, Gray & Pape, Inc. submitted project records to the Center of Archaeological Studies at Texas State University in San Marcos, Texas.


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):  
Anne Gibson ◽  
Karen Stone

This report documents the substantive findings and management recommendations of a cultural resources survey conducted by Integrated Environmental Solutions, LLC (IES) for the DPS Outdoor Bomb and Gun Range project located within the Dallas Fort Worth International Airport (DFW) property in Tarrant County, Texas. The proposed project pertains to improvements of the current facility within approximately 71.8 acres located between Texas State Highway (SH) 360 and West Airfield Drive. Approval from the Federal Aviation Administration (FAA) will be required to modify the Airport Layout Plan (ALP) to reflect the permanent alterations on the DFW property. Since the ALP is considered a federal action, the project will require compliance with the National Environmental Policy Act (NEPA) and Section 106 of the National Historic Preservation Act (NHPA). Additionally, as the DFW is a political subdivision of the State of Texas, the project will be subjected to the provisions of the Antiquities Code of Texas (ACT). The goal of the survey was to locate, identify, and assess any cultural resources that could be adversely affected by the proposed development, and to evaluate such resources for their potential eligibility for listing as a State Antiquities Landmark (SAL) and eligibility for listing in the National Register of Historic Places (NRHP). The cultural resources inventory survey was conducted on 16 December 2019 and 08 January 2020 by Project Archeologists Anne Gibson and Thomas Chapman, and Staff Archeologist Josh McCormick. All work conformed to 13 Texas Administrative Code 26, which outlines the regulations for implementing the ACT, and was conducted under Texas Antiquities Permit No. 9161. During the survey, one previously recorded historic-age archeological site (41TR87) was revisited within the APE. Based on the lack of association with historically important individuals or events, absence of significant architectural features, the degree of prior disturbance, and lack of contextual integrity, site 41TR87 is recommended to remain not eligible for listing in the NRHP or designation as a SAL. Although multi-component site 41TR18 was partially located within the APE, the site was not evaluated during the survey. However, the results from a previous IES investigation in 2015 indicate the site should remain ineligible for NRHP listing. Project records will be permanently curated at the Center for Archeological Research (CAR) at The University of Texas at San Antonio (UTSA). It is the recommendation of IES that the DPS Outdoor Bomb and Gun Range Project be permitted to continue without the need for further cultural resources investigations. However, if any cultural resources, other than those discussed in this report, are encountered during construction, the operators should stop construction activities in the vicinity of the inadvertent discovery, and immediately contact the project cultural resources representative to initiate coordination with the Texas Historical Commission (THC) prior to resuming construction activities.


Author(s):  
Brett Lang ◽  
Melissa Green

In March 2020, an intensive cultural resources survey of the proposed Moore Park athletic complex in Plano, Collin County, Texas was completed in order to inventory all cultural resources. The project parcel currently lies within an open field at the southwest corner of the intersection of Chaparral Road and Cottonwood Creek. It is bounded by Chaparral Road on the north, Cottonwood Creek to the east, Bright Star Way on the south, and Cloverhaven Way on the west in a densely residential developed area. A North Texas Municipal Water District building is located in the far northwestern corner near Cottonwood Creek. The archeological area of potential effects (APE) covers an area of approximately 103 acres (42 hectares). Because the project is owned and funded by the City of Plano, a political subdivision of the State of Texas, the project is subject to the Antiquities Code of Texas (9 Texas Natural Resources Code [TNRC] 191), which requires consideration of effects on properties designated as—or eligible to be designated as—State Antiquity Landmarks (SALs), which includes archeological resources. The survey was carried out for the City of Plano, Parks and Recreation under Texas Antiquities Permit 9334 by Brett Lang (Project Archeologist) of Cox|McLain Environmental Consulting, Inc. (CMEC). Melissa M. Green was the Principal Investigator. The parcel is situated on an upper terrace above Cottonwood Creek. From the western boundary, an unnamed tributary of Cottonwood Creek flows from the northwest corner to the southwest corner of the project parcel (as the terrace slopes southeastward) into Cottonwood Creek approximately 860 meters or 2821.5 feet away. Cottonwood Creek parallels the eastern boundary of the APE. Ground surfaces within the project area parcel were mostly covered in short, ankle-high prairie grasses used for active cattle grazing allowing for some limited visibility ranging from 20 to 50 percent. A densely wooded section was observed along the eastern boundary and along part of the tributary, allowing for 30 to 80 percent ground visibility. In all, 19 shovel test units were excavated judgmentally across the project area, of which none contained cultural materials. All materials (notes, photographs, administrative documents, and other project data) generated from this work will be housed at the Center for Archeological Studies at Texas State University at San Marcos, where they will be made permanently available to future researchers per 13 Texas Administrative Code 26.16-17. If any unanticipated cultural materials or deposits are found at any stage of clearing, preparation, or construction, the work should cease and Texas Historical Commission personnel should be notified immediately. The Texas Historical Commission concurred with the findings and recommendations of this report on 8 May 2020.


Author(s):  
Michael Hogan ◽  
Jennifer Kimbell

Terracon Consultants, Inc. (Terracon) was contracted by PNM Resources to conduct a Phase I archeological survey on lands owned by The University of Texas System in Ward County, Texas, the location of a proposed 12,000-foot-long power transmission line. Since the proposed undertaking will occur on land owned by a public institution of higher education, this project required compliance under the jurisdiction of the Antiquities Code of Texas (Natural Resources Code, Chapter 191) and its implementing rules (Texas Administrative Code, Title 13, Chapter 26). The proposed project area comprises an easement approximately 12,000 feet (2.27 miles) long and approximately 30 feet wide. The total area covered is approximately 8.26 acres. Terracon archeologists excavated a total of forty (40) shovel tests to a depth of 80 centimeters (cm) below surface (bs), or to sediments predating human occupation in the area. The removed sediment was passed through ¼” hardware mesh to recover artifacts. One prehistoric archeological site, 41WR139, was recorded during the survey. The portion of the site that is within the project area is not eligible for inclusion in the National Register of Historic Places (NRHP) or for designation as a State Antiquities Landmark (SAL). Jenni Hatchett Kimbell served as Principal Investigator under Texas Antiquities Permit No. 8996. Fieldwork was conducted between July 16 and July 17, 2019 by Michael Hogan (Staff Archeologist) and Edgar Vazquez (Staff Archeologist). The report was authored by Michael Hogan and Jenni Hatchett Kimbell. Project records will be curated at the Texas Archeological Research Laboratory (TARL) at the University of Texas at Austin. Given the absence of NRHP-eligible archeological sites within the proposed project area, Terracon recommends that the installation of the power transmission line proceed as planned. In the event that human remains, historic properties, or buried cultural materials are encountered during construction or disturbance activities, work should cease in the immediate area but can continue where no cultural materials are present. TNMP Environmental Services Department should be contacted.


Author(s):  
Christopher Shelton

On behalf of the City of Ingram, Texas, SWCA Environmental Consultants (SWCA) conducted an intensive cultural resources survey of the proposed Brushy Creek Sewer Line Project (Project) in Kerr County, Texas. The approximately 1-mile-long sewer main extension line is being developed by the City of Ingram, a political subdivision of the State of Texas; therefore, the Project requires compliance with the Antiquities Code of Texas (ACT). In addition, the Project will receive federal funds from the U.S. Department of Agriculture (USDA); therefore, the work was conducted to comply with requirements of Section 106 of the National Historic Preservation Act (NHPA). This cultural resources investigation was conducted under ACT Permit No. 9243. The Project begins just south of Winona Street West and terminates just south of Highway 27. The Project Area includes the proposed linear alignment situated within a 25-foot-wide corridor and lies on undeveloped land. Proposed impacts are expected to include widespread surficial modifications with deeper impacts in location of sewer lines. The cultural resources investigation consisted of a background and historical map review, followed by intensive pedestrian survey augmented by shovel testing conducted by SWCA archaeologists. SWCA’s background review determined that there are no known cultural resources within the Project area. SWCA also reviewed a 0.5-mile study area surrounding the proposed Project. This review determined there are a total of five previously conducted surveys and six previously recorded archaeological sites within 0.5 mile of the Project area. None of the six previously recorded sites have been recommended as eligible for listing on the National Register of Historic Places (NRHP). Additionally, no NRHP districts or properties, sites designated as State Antiquities Landmarks, historical markers, cemeteries, or local neighborhood surveys were identified within the Project area or the larger study area. During field investigations conducted on February 4, 2019, SWCA conducted an intensive archaeological pedestrian survey augmented with shovel testing of the Project area. For linear projects, the Texas Historical Commission (THC)/Council of Texas Archaeologists (CTA) survey standards require a minimum of 16 shovel tests per mile with thorough documentation of all exceptions noted (e.g., disturbance, slope, and impervious surfaces). Based on these standards, SWCA exceeded the requirements by excavating a total of 34 shovel tests within the 1-mile Project area. No cultural materials were identified on the ground surface or within any of the shovel tests excavated within the Project area. In accordance with the ACT and with Section 106 of the NHPA (36 Code of Federal Regulations [CFR] 800.4 (b)(1)), SWCA has made a reasonable and good faith effort to identify historic properties within the area of potential effects. SWCA recommends a finding of No Historic Properties Affected per 36 CFR 800. 5(b) and no further archaeological investigation of the current Project area is recommended. No artifacts or samples were collected during this survey. All survey-related documentation will be curated at the Center for Archaeological Research, University of Texas at San Antonio.


Author(s):  
John Rawls ◽  
Michael Tuttle ◽  
Jim Hughey ◽  
Michael Quennoz

Under contract to BIO-WEST, Inc., Gray & Pape, Inc., of Houston, Texas, conducted a Phase I marine archaeological survey for the proposed Webster to Seadrift Pipeline Project in Calhoun and Jackson counties, Texas. Enterprise Products Operating LLC sponsored the archaeological survey. All marine fieldwork and reporting activities were completed with reference to state law (Antiquities Code of Texas [Title 9, Chapter 191 of the Texas Natural Resources Code] and Texas State rules found in the Texas Administrative Code [Title 13, part 2, Chapters 26 and 28]) for cultural resources investigations. Work was completed under Texas Antiquities Permit Number 9004. The United States Army Corps of Engineers, Galveston District has been identified as the lead federal agency. All project records are curated at the Center for Archaeological Studies at Texas State University in San Marcos, Texas. The Phase I underwater archaeological investigation assessed the number, locations, cultural affiliations, components, spatial distribution, data potential, and other salient characteristics of potential submerged cultural resources within the proposed project area. The linear project area includes approximately 391 hectares (967 acres) of submerged land in Calhoun and Jackson counties, Texas. The investigation included a comprehensive magnetic and acoustic remote sensing survey and target analysis designed to determine the presence or absence of potentially significant remote sensing targets that might be affected by proposed project activity. Background research revealed that there are no previously recorded sites within the Area of Potential Effects and that there have been two previous cultural resource surveys (Pearson et al. 1993; Gearhart 2016), conducted between 1993 and 2016, partially within the project Area of Potential Effects. Research also revealed that the 50-meter (164-foot) avoidance areas, as mandated by Texas Administrative Code, Title 13, Part 2, Chapter 26, for three previously recorded magnetic anomalies (Mag 7–Mag 9) identified by Gearhart (2016) are partially located within the survey area. These three magnetic anomalies were recommended for avoidance as they represent potential cultural resources. The grid for the remote sensing survey within the open waters of Lavaca Bay consisted of a total of 19 track lines (Lines 1–16, 18,19, 37, and 38) at 20-meter (65.6-foot) line spacing oriented parallel to an existing pipeline right-of-way. The remaining portions of the project area within Lavaca River and Catfish Bayou were surveyed at 20-meter (65.6-foot) line spacing (Lines 0, 17, 22–35, and 39–43) oriented perpendicular to the survey corridor. The marine field investigations consisted of a magnetometer and side-scanning sonar investigation of the proposed project area in safely navigable waters between July 29 and 30, 2019, and required approximately 60-person hours to complete. A total of 284.6 kilometers (176.9 linear survey miles) were transected utilizing the magnetometer and side-scan sonar. Comprehensive analysis of the magnetic and acoustic data recorded for this project resulted in the identification of 127 discrete magnetic anomalies, with 80 meeting or exceeding the Pearson and Linden (2014) 50-gamma/65-foot criteria. A total of 43 of the 80 anomalies that meet or exceed the 50-gamma/65-foot criteria are associated with existing pipelines. While the remaining 37 anomalies, consisting of 22 magnetic targets, meet and/or exceed the 50-gamma/65-foot criteria, they do not meet Gearhart’s 2011 magnetic orientation and spatial criteria to be considered potentially significant. They are interpreted as relic oils wells, ferrous debris scatters associated with the oil and natural gas industries and recreational and commercial fishing activities, and miscellaneous debris from previous tropical storms and hurricanes. Review of the sonar record revealed two distinct acoustic targets (SST-1 and SST-2) consisting of the remnants of a subsequent exploratory oil well and a subsided pipeline trench. Based on the applied criteria, these magnetic and acoustic targets do not exhibit any characteristics associated with historic shipwrecks and/or other significant submerged cultural resources. As such, the recommended management action for magnetic targets, Numbers 1–22, as well as acoustic targets, SST-1 and SST-2, is no further archaeological investigations. One magnetic target, Number 23, situated outside of the Area of Potential Effects, is associated with previously recorded anomaly Mag 8, which was deemed as potential historic shipwreck remains. While it is located outside of the Area of Potential Effects, it was recorded within the 50-meter (164 foot) avoidance buffer of previously recorded anomaly Mag 8. No magnetic signatures were recorded within the portion of the avoidance buffer that is within the Area of Potential Effects. The lack of any residual magnetic signatures of the anomaly within the Area of Potential Effects indicate that no portions of the ferrous source objects for Mag 8 extend into the current survey area or the construction footprint; and therefore, the submerged target or its avoidance buffer will not be impacted by the proposed activities. Additionally, no magnetic signatures associated with previously recorded anomalies Mag 7 and Mag 9 were identified in the 50-meter (164-foot) avoidance buffers within the Area of Potential Effects. The lack of any residual magnetic signatures of anomalies (Mag 7 and Mag 9) within the Area of Potential Effects indicate that no portions of the ferrous source objects for these two magnetic anomalies extend into the current survey area or the construction footprint; and therefore, the submerged targets or their avoidance buffers will not impacted by the proposed activities. The recommended management action for the portions of the 50-meter (164-foot) avoidance buffers for Mag 7, Mag 8, and Mag 9 that extend partially into the current survey area is avoidance from any bottom disturbing activities. If bottom disturbing activities within the buffer buffers cannot be avoided, additional marine archaeological investigations in the form of diver-ground-truthing will be required to determine the nature and historical significance of the source magnetic objects.


1998 ◽  
Vol 20 (3) ◽  
pp. 5-8
Author(s):  
Gail Thompson

Proposed construction and development projects that require Federal permits are subject to review under Section 106 of the National Historic Preservation Act, which requires that the Federal decision-maker take into account the project's potential effects on cultural resources listed or eligible for listing in the National Register of Historic Places. Over the years and especially after 1990 when the National Park Service released Bulletin 38, Guidelines for Evaluating and Documenting Traditional Cultural Properties (TCPs), Section 106 review has increased the consideration of designating TCPs and consultation with the Indian tribal organizations that value them. Bulletin 38 defines TCPs as places that have been historically important in maintaining the cultural identify of a community.


Author(s):  
Josh Haefner ◽  
Steven Sarich

On behalf of the City of Lockhart (the City), TRC Environmental Corporation (TRC) recently conducted an intensive archeological survey for the City’s sidewalk improvements project located in Lockhart, Caldwell County, Texas. According to design plans, the project will entail the construction of a 10-foot (ft) wide by 2,220 ft long concrete sidewalk that will enhance connectivity and accessibility through Lockhart City Park (Figures 1-1 and 1-2). The Area of Potential Effects (APE) is 0.98 acres in size (Appendix A: Design Plans). Concrete path construction will cause disturbance of up to one foot below the existing grade along the alignment of the path. As the project will be located on lands under purview of an entity of the State of Texas, the project is subject to compliance with the Antiquities Code of Texas (ACT). During coordination with the Texas Historical Commission (THC) it was determined that the APE located east of State Highway (Hwy) 183 would require survey prior to construction (Appendix B: Regulatory Correspondence). Archeological survey was conducted on October 8, 2019 by Benjamin Johnson and Steven Sarich and on October 17, 2019 by Pollyanna Clark, Josh Haefner, Benjamin Johnson and Steven Sarich. During the survey, five shovel tests were excavated and four no dig locations were recorded. Due to the proximity of the APE to marked graves, the presence of the broken grave marker deposited downslope, and the inaccuracy of the currently mapped cemetery boundary on the THC Atlas, TRC recommended that the portion of the APE that coincides with the Lockhart Cemetery be subject to machine scraping. On November 5, 2019 the survey area was revisited to conduct mechanical scraping where the APE was noted to be in proximity to marked burials. No evidence of any cultural materials or grave shafts were encountered during monitoring of scraping.


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