scholarly journals An Intensive Cultural Resources Investigation for the Redbud Pump Station Transmission Water Line Project Collin County, Texas

Author(s):  
Karen Belvin

The City of McKinney (City) is proposing to construct and maintain 2.2 kilometers (km; 1.4 miles [mi]) of 42- inch (in) water transmission line for the Redbud Pump Station Transmission Water Line Project (Project) located within the City of McKinney, in west-central Collin County, Texas (Appendix A, Figure 1). On behalf of the City, BGE, Inc. (BGE) conducted an intensive pedestrian survey augmented by shovel testing of the Project. Because the proposed project is being contracted by the City of McKinney, a political subdivision of the state of Texas, the project sponsor is required under the Texas Antiquities Code and the Texas Natural Resources Code Chapter 26 ‘Rules of Practice and Procedure for the Antiquities Code of Texas’ to obtain a Texas Antiquities Permit to perform cultural resources investigations to assess whether cultural resources are present that may rise to the level of significance of State Antiquities Landmark (SAL) status. The Texas Historical Commission (THC) has assigned Antiquities Permit number 8763 to the Project. Furthermore, project construction designs minimize impacts to Waters of the United States (WOTUS) crossed by the project, not meeting the minimum threshhold established under Section 404 of the Clean Water Act (CWA) for the requirement of a Pre-Construction Notification (PCN) to the United States Army Corps of Engineers (USACE).

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):  
Tony Scott ◽  
Jacob Hilton

Gray & Pape, Inc. was contracted to conduct a cultural resources survey for a proposed pipeline project. The project is a 14-inch pipeline from Praxair Freeport Plant to the Phillips 66 Clemens Storage Cavern located near Freeport, Texas. The project route measures approximately 28.0 kilometers (17.4 miles). The project’s Area of Potential Effect is the entire alignment route within a survey corridor of 91.4 meters (300 feet). This amounts to approximately 252 hectares (622 acres). Subsequent workspace revisions resulted in an additional 25.7 hectares (63.4 acres) or 2.6 kilometers (1.6 miles) of workspace, documented in Appendix C of this final report. The pipeline will be collocated with several existing pipelines in a well-maintained corridor for the entire length. The Project is part of a Nationwide 12 permit for which the Lead Federal Agency is 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. Approximately 3.6 kilometers (2.25 miles) of the project length is located within property owned by the Texas Department of Criminal Justice, Clemens Prison Unit, which necessitated the procurement of a permit subject to the Antiquities Code of Texas. Permit Number 8666 was assigned to the project on December 4, 2018. As required under the provisions of Texas Antiquities Code Permit, all project records are housed at the Center for Archaeological Studies at Texas State University, San Marcos, Texas. The goals of this study were to assist the client, the Texas Historical Commission, and other relevant agencies in determining whether intact cultural resources were present within areas planned for construction, and if so to provide management recommendations for these resources. All work conducted by Gray & Pape, Inc. followed accepted guidelines and standards set forth by the Texas Historical Commission and the Council of Texas Archeologists. Prior to field investigation, site file research was used to develop a cultural context for the study. This research resulted in a listing of all archaeological sites and National Register properties within 1.6 kilometers (1 mile) of the project area, as well as a discussion of archaeological potential within the tract. Previous surveys conducted by HRA Gray & Pape, LLC and other firms overlap approximately 6.1 kilometers (3.8 miles) / 55.4 hectares (137 acres) of the current project’s corridor. These surveys were undertaken from between 2012 to 2013. These areas along with an additional 2.8 kilometers (2 miles) / 28.9 hectares (71.3 acres) of highly disturbed pipeline corridor were subjected to visual reconnaissance survey only. Another 3.0 kilometers (1.9 miles) / 27.5 hectares (68 acres) of the project is located within highly industrial areas of DOW property and was subjected to desktop assessment and determined to be of low potential for containing intact cultural materials. No further work is recommended for these areas. No new cultural resources were discovered during the survey. Gray & Pape, Inc. recommends no survey within these portions due to the highly disturbed conditions. Intensive pedestrian survey was completed on those portions of the current project that fall outside of the previous survey coverage or that have potential to impact previously unidentified sites. This amounts to 15.6 kilometers (9.7 miles) / 140 hectares (346 acres). As a result of survey efforts, one previously unrecorded archaeological site was identified during survey efforts. As currently mapped, the site is overlapped by an existing pipeline corridor and does not retain integrity within the project right-of-way. Gray & Pape, Inc. recommends that no further investigation be necessary within the surveyed portions of the project.


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.


1994 ◽  
Vol 26 (1) ◽  
pp. 80-89 ◽  
Author(s):  
Roy R. Carriker

AbstractThe federal government program for wetlands regulation is administered by the United States Army Corps of Engineers pursuant to Section 404 of the Clean Water Act. Proposals for amending and/or reforming the Section 404 program are included in Congressional deliberations regarding Clean Water Act reauthorization. Specific issues of public policy include the definition of “waters of the United States”, criteria for delineation of jurisdictional wetlands, definition of activities exempt from regulation, mitigation and classification of wetlands, and issues of property rights.


1967 ◽  
Vol 21 (4) ◽  
pp. 339-348
Author(s):  
A. J. Flatman

Two basic methods of surveying by satellite are possible: that of photographing a satellite against the star background and that of range measurements from ground stations to the satellite. The latter method, which is used by the United States Army Corps of Engineers in its SECOR program, is described in this paper. With the SECOR method, distances are measured simultaneously from four ground stations to a satellite equipped with a transponder system. Results of SECOR tests are given and sources of error are discussed.


Author(s):  
Steven Sarich ◽  
Josh Haefner

Schertz-Seguin Local Government Corporation (Client) is proposing to construct an 18-inch water main pipeline along the west side of State Highway (SH) Business 123 (Stockdale Highway/South Austin Street) crossing of the Guadalupe River in the City of Seguin, Guadalupe County, Texas (Project). According to current design plans, the proposed water line would be connected to an existing pipeline located approximately 75 feet (ft) [23 meters (m)] north of the Guadalupe River near the existing Max Starke Park Water Treatment Plant and an existing main pipeline located approximately 75 ft (23 m) south of the Guadalupe River along SH 123 in Seguin, Texas. The Area of Potential Effects (APE) consists of two work areas, one north and one south of the Guadalupe River. The northern work area consists of 0.20 acres (ac) and the southern work area consists of 0.15 ac. The APE is 0.35 ac in total. The Project is within the City of Seguin, a subdivision of the state , and thus triggers a review of cultural resources under the Antiquities Code of Texas (Section 191.0525). Additionally, due to Army Corps of Engineers (USACE) permitting requirements the Project falls under the regulations of Section 106 of the National Historic Preservation Act of 1966, as amended (U.S. Code 16, §470, et seq.). TRC archeologists conducted a limited desktop literature and archives review for the proposed Project to assess whether previously recorded cultural resources are within or adjacent to the APE or within a 1-mile (mi) (1.6-kilometer [km]) of the APE. This included a review of the THC’s Archeological and Historic Sites Atlas (Atlas) which provides information related to the location of previously conducted archeological surveys and recorded archeological sites, cemeteries, properties currently listed or eligible for listing on the National Register of Historic Places (NRHP), Recorded Texas Historic Landmarks (RTHLs), and State Antiquities Landmarks (SALs) that may be impacted by the proposed Project. According to the THC-Atlas, no previously conducted archeological surveys, archeological sites, cemeteries, historic properties, or historical markers intersect or are adjacent to the APE. Fieldwork was conducted by TRC archeologists on February 12, 2020 under Antiquities Permit Number 9263. The intensive archeological field survey included survey of 100 percent of the APE supplemented with shovel testing and visual inspection. Survey methods followed the guidelines and survey standards set forth by the THC and Council of Texas Archeologists (CTA). Review of the project plans showed that of the 155 m (509 ft) proposed water line only 27 m (89 ft) of the line to the north and 18 m (59 ft) of the line to the south will be buried with the remainder above ground and spanning the Austin Street bridge. Survey efforts were concentrated along the buried portions of the proposed water line. Due to the high degree of ground disturbance from existing utilities, bridge construction, and the presence of steep slope only a single shovel test could be excavated. Nine additional ‘No Dig’ observation points were recorded to document the areas of disturbance and slope. No cultural resources or historic structures were identified within the APE. No additional work is recommended.


1902 ◽  
Vol 2 (2) ◽  
pp. 101-119 ◽  
Author(s):  
Walter Reed

The efficient control of the spread of yellow fever is a matter of such vast practical importance, both from the hygienic and commercial point of view—not only for the countries where this disease prevails as an epidemic, but also for those in which, after importation, it may assume epidemic proportions—that it has seemed appropriate to bring together in this paper a summary of the work thus far accomplished by the United States Army Commission 1 on the Island of Cuba, during the years 1900 and 1901, in order that English and Colonial readers who have not, perhaps, had access to the original contributions published in different American journals, may be able to form an intelligent opinion concerning the permanent value of this work. It will also afford opportunity for recording the more recent confirmatory observations made by others concerning the mode of transmission of yellow fever discovered by the Commission, and for calling attention to the results already obtained by the U.S. Army Medical Department in the suppression of this disease, especially in the city of Havana, through the enforcement of sanitary measures based on these later researches.


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