scholarly journals Intensive Cultural Resources Survey of the Brushy Creek Sewer Line Phase 3 Project in the City of Ingram, Kerr County, Texas

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):  
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.


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):  
Sophia Salgado ◽  
Laura Clark

At the request of TriLeaf Corporation (TriLeaf), SWCA Environmental Consultants (SWCA) conducted a cultural resources investigation for the University of Texas Health Science Center at San Antonio (UTHSCSA) Project (Project) located in Bexar County, Texas. The Project involves the installation of a 432-foot-long (132-meter [m]-long) fiber-optic communication line directly south of Floyd Curl Drive in northwest San Antonio, Texas. The total disturbance of the proposed Project area measures approximately 0.28 acre (0.1 hectare [ha]) in size. The Project area is situated on the grounds of UTHSCSA and located approximately 8.48 miles (13.65 kilometers [km]) from downtown San Antonio. At its nearest, Zarzamora Creek is 40 feet (12 m) northwest of the Project area. The proposed Project includes property owned by the UTHSCSA, a political subdivision of the state of Texas, and is therefore subject to review by the Texas Historical Commission (THC) under the Antiquities Code of Texas (ACT) and the City of San Antonio Office of Historic Preservation (SA-OHP) under the Historic Preservation and Design Sections of the City of San Antonio’s Unified Development Code (UDC) (Article VI 35-606). SWCA conducted all work in accordance with the standards and guidelines set forth by the THC and the Council of Texas Archaeologists under ACT Permit No. 9311. The purpose of the 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 area and evaluate the significance of these cultural resources. Investigations consisted of a background literature and historical map review and monitoring of mechanical trench excavations within the Project area. SWCA conducted all investigations in accordance with the standards and guidelines established by the THC and the Council of Texas Archeologists. The background review determined that the Project area has not been previously surveyed for cultural resources, and three cultural resources investigations and three previously recorded cultural resources occurred within a 1.0-mile (1.6-km) radius of the Project area. SWCA’s intensive archaeological monitoring was performed during construction activities that occurred on April 7–14, 2020. All work within the Project area was conducted within moderately disturbed deposits. SWCA observed no subsurface cultural materials and no cultural features or temporally diagnostic artifacts were encountered. In accordance with the City of San Antonio UDC and the ACT, SWCA has made a reasonable and good faith effort to identify cultural resources properties within the Project area. No properties were identified within the Project area that may meet the criteria for listing as a State Antiquities Landmark, nor as a Historic Landmark or District according to the UDC. Therefore, SWCA recommends that no additional cultural resources investigations are warranted within the UTHSCSA Project Area, as currently defined. 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.


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):  
Chris Matthews ◽  
Lindy Martinez

Raba Kistner, Inc. (RKI) was contracted by K-Friese + Associates (CLIENT), on behalf of San Antonio Water Systems (SAWS) to conduct archaeological monitoring for emergency repairs to a collapsed sewer lateral within West Houston Street in downtown San Antonio, Bexar County, Texas. The project involved the excavation of the area around the collapsed portion of the sewer lateral and the replacement of the damaged line. The project is located within the boundaries of a Catholic Cemetery and is between Milam Square (41BX991), which is a historic cemetery, and an area of the Children’s Hospital of San Antonio where the first City Cemeteries have been documented. As such, the City of San Antonio Office of Historic Preservation (COSA OHP) required the monitoring of the excavation activities. The proposed project is located on lands controlled by the City of San Antonio and work was conducted by SAWS, both entities of the State of Texas. As such, the project falls under the Antiquities Code of Texas (ACT) (Texas Natural Resource Code, Title 9, Chapter 191). Furthermore, the project was also subject to review under Chapter 35 of the City of San Antonio’s Unified Development Code (UDC) (Article VI, Historic Preservation and Urban Design). All work was conducted in accordance with the Archeological Survey Standards for Texas as set forth by the Council of Texas Archeologists (CTA) and the THC under Texas Antiquities Committee Permit Number 9209. A desktop review was conducted to determine if any previously conducted archaeological investigations or any cultural resources had been documented within the APE. Review of the Texas Archeological Sites Atlas (Atlas), revealed that no previous archaeological surveys have been conducted within the APE and that no previously recorded archaeological sites have been documented within the APE. Cultural resources monitoring investigations for the project were conducted on December 21 and 22, 2019, and January 14, 2020. Antonio Padilla served as Project Manager and Principal Investigator, and all field work was conducted by Lindy Martinez and Susan Sincerbox. The undertaking involved the excavation of an approximately 34-foot-long (10 meter [m]-) north-south, 2.5–to–9-foot-wide east-west (0.5–to–2.74 m-) trench that extended from the sewer main located near the center of West Houston Street to the clean out located under the sidewalk north of West Houston Street. For archaeological purposes the Area of Potential Effects (APE) consisted of approximately 800 square feet or 0.018 acres. The depths of impacts reached a depth of 6 feet (1.8 m) below surface. During the investigations, it was discovered that the entire APE has been heavily impacted by previous construction events and the installation of utilities. Throughout the excavations, construction gravels reaching a depth of 6 feet (1.8 m) below surface were observed within the entire APE, and several utilities were encountered. No intact soils were present within the trench. It appears that previous construction events and installation of utilities have removed all intact soils to the depth reached by the trench. Due to the absence of intact soils, no soils were screened. Additionally, no cultural materials or cultural features were observed during the monitoring of the excavations. RKI has made a reasonable and good faith effort identifying cultural resources within the APE. No significant deposits or features were identified during cultural resource monitoring. As a result, RKI does not recommend further archaeological investigations within the APE. However, should changes be made to the APE, further work may be required. No diagnostic artifacts were collected during the course of the investigations, thus, no artifacts will be curated at the completion of the project. All field records generated during this project will be permanently curated at the Center for Archaeological Research at the University of Texas at San Antonio.


Author(s):  
Steve Carpenter ◽  
Christina Nielsen ◽  
Jessica Ulmer ◽  
Mercedes Cody ◽  
Janaka Greene

On behalf of Ecology and Environment, Inc. (E & E), Rio Grande LNG, LLC, and Rio Bravo Pipeline Company, LLC (RB Pipeline), SWCA Environmental Consultants (SWCA) conducted cultural resources surveys of portions of the Rio Bravo Pipeline on lands owned or controlled by the Port of Brownsville in Cameron County, Texas. Rio Grande LNG, LLC proposes to construct a natural gas liquefaction facility and liquefied natural gas (LNG) export terminal (Terminal) in Cameron County, Texas, along the north embankment of the Brownsville Ship Channel. In concert with the Terminal, RB Pipeline proposes to construct an associated pipeline system (Pipeline System/Project) within Cameron, Willacy, Kenedy, Kleberg, and Jim Wells Counties, Texas to allow for interconnection with a network of existing pipelines that traverse the northern end of Kleberg County and Jim Wells County. The proposed Pipeline System/Project will collect and transport natural gas to the Terminal site. In compliance with the Federal Energy Regulatory Commission and U.S. Army Corps of Engineers permitting requirements and oversight, SWCA conducted cultural resources investigations in compliance with Section 106 of the National Historic Preservation Act (NHPA) (54 U.S.C. 306108) and its implementing regulations in 36 Code of Federal Regulations 800. Although the entire Project is subject to compliance with Section 106 of the NHPA, this stand-alone report specifically addresses portions of the alignment that will be located on lands owned by the Port of Brownsville (Port). Since the Port is a political subdivision of the state, investigations were conducted in compliance with the Antiquities Code of Texas (ACT) under ACT Permit No. 8588 administered by the Texas Historical Commission (THC). The data in this report is also presented in Addendum IV (Carpenter et al., 2020) to the final report (Nielsen et al., 2016) of the overall investigations. The investigations covered 0.58 mile (0.93 kilometers [km]) of proposed pipeline corridor within a 200-foot-wide (60.96-meter [m]-wide) pipeline survey corridor, and 0.31 mile (0.50 km) of proposed access roads within a 50-foot-wide (15.24-m-wide) access roads survey corridor, for a Project Area total of approximately 15.8 acres within Port property. The cultural resources investigations included a background and historical map review, and an intensive pedestrian survey with subsurface testing. The background review identified nine previously conducted archaeological surveys within a 1-mile radius of the Project Area, three of which intersect the current Project Area. The background review identified no previously recorded archaeological sites within the Project Area; however, seven archaeological sites are within a 1-mile radius none of which are immediately adjacent (within 300 feet [91.44 m]) to the Project Area. In addition, a review of historical maps determined that there are no historic-age structures or features mapped within or immediately adjacent to the Project Area. SWCA archaeologists conducted the cultural resources intensive pedestrian survey on October 22, 2018. The investigation revealed an extensively disturbed setting due to historic & modern development in the area mainly associated with the Port. SWCA archaeologists excavated a total of nine shovel tests within the Project Area all negative for cultural materials. No cultural materials or features or historic-age structures were identified within the Project Area during the field survey. In accordance with the ACT and Section 106 of the NHPA, SWCA has made a reasonable and good faith effort to identify cultural resources within the Project Area of Potential Effects (APE). No cultural resources were identified within the Project Area during the current investigations. Accordingly, no further investigation is recommended for the assessed sections of the Project Area. The THC concurred with these findings and recommendations on January 14, 2020. No artifacts were recovered; documentation will be curated at the Texas Archeological Research Laboratory of The University of Texas at Austin.


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):  
Jason Whitaker

Raba Kistner, Inc. (RKI), was contracted by K Friese + Associates (CLIENT) to conduct cultural resources monitoring investigations for the San Antonio Water Systems (SAWS) Silverhorn Rehabilitation Project in northern San Antonio, Bexar County, Texas. The project involved rehabilitating 3,690 linear feet of existing sewer line within the Silverhorn Golf Club, which is within the Walker Ranch National Register District. The majority of the proposed undertaking was conducted by non-invasive methods (i.e., cured-in-place-pipe (CIPP)); however, point repairs involving excavations were conducted in areas where broken pipe was encountered. Given that the proposed undertaking is located on lands owned by the City of San Antonio (COSA), and because COSA is a political subdivision of the State of Texas, the project falls under the jurisdiction of Chapter 35 of the Unified Development Code (UDC) of the City of San Antonio, as well as the Antiquities Code of Texas (ACT). The UDC is regulated by the COSA Office of Historic Preservation (OHP), while the ACT is administered by the Texas Historical Commission (THC). Cultural resources investigations for the project were conducted on January 11, 12, and 24, 2020. Jason M. Whitaker served as Principal Investigator and Project Manager for the duration of the project, and all fieldwork was completed by Jason M. Whitaker and Christopher Matthews. All work was conducted in accordance with the standards set forth by the Council of Texas Archeologists and adopted by the Texas Historical Commission, under Texas Antiquities Committee Permit Number 9220. The overall undertaking consisted of the rehabilitation of approximately 3,690 linear feet of existing sewer line within the Silverhorn Golf Club. The majority of the project area was rehabilitated through the use of cured-in-place-pipe (CIPP) with no subsurface impacts. However, four areas along the 3,960 sewer line alignment were in need of point repairs which required subsurface excavations. For archaeological purposes, the Area of Potential Effects (APE) was comprised of four areas where subsurface excavations were conducted. Excavation within the APE areas were comprised of a single backhoe trench measuring approximately 22.3 by 13.1 feet (6.8 meters [m] by 4.0 m) and three 5-inch diameter boreholes. The combined area of impact of the APE areas measured approximately 0.007 acres. Depths of impacts reached 10.33 feet below surface within the trench, and a depth of 5.5 feet below surface. Disturbances within the APE included the existing sewer line, golf course construction, and various associated utilities. The APE was located entirely within areas impacted by the installation of the existing sewer line and was evident during the monitoring of the excavations. Evidence of previous disturbances was observed during the monitoring of the point repairs. No cultural deposits or features were documented during monitoring excavations of the SAWS Silverhorn Rehabilitation Project. Additionally, no evidence of unmarked burials or human remains were observed. Given that excavations occurred over a previously excavated areas and no cultural materials were identified, RKI recommends no further archaeological investigations for the current APE. However, should additional point repairs along the existing sewer line be required, it is recommended that additional monitoring be conducted. All field records generated by this project will be permanently curated at the Center for Archaeological Research at the University of Texas at San Antonio.


Author(s):  
Christopher Shelton ◽  
Victoria Myers

On behalf of the City of Florence, Texas, SWCA Environmental Consultants (SWCA) conducted an intensive cultural resources survey of the proposed City of Florence Municipal Facilities Complex (Project) in Williamson County, Texas. The 1.2-acre parcel scheduled for redevelopment is located on land owned and managed by the City of Florence, 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 the National Historic Preservation Act (NHPA). This cultural resources investigation was conducted under ACT Permit No. 9142. On behalf of the USDA, SWCA has also issued engagement letters to the six Tribes identified by the U.S. Department of Housing and Urban Development (HUD) as having overlapping interest with the Project area. To date, SWCA has yet to receive comments from the identified Tribes. The parcel on which the Project is proposed contains four extant buildings/structures: the Florence City Hall, the Chamber of Commerce, a large Veteran’s Memorial, and a thrift store. As part of the Project, all but the Veteran’s Memorial are scheduled for demolition and a larger municipal complex is expected to be constructed in their stead. Impacts are expected to include widespread surficial modifications with deeper impacts in locations of foundations and utilities. The cultural resources investigation consisted of a background and historical map review followed by intensive pedestrian survey augmented by shovel testing conducted by an archaeologist, and an assessment of the extant buildings conducted by an architectural historian. SWCA’s background review determined that there are no known cultural resources within the Project area. Additionally, the historical map review identified only two potential historical structures within the Project area. During field investigations on September 25 and November 5, 2019, SWCA confirmed that the four extant buildings/structures on the subject property are of modern construction, and therefore, are not eligible for the National Register of Historic Places (NRHP) and are not considered eligible for designation as a State Antiquities Landmark (SAL). In addition, the two potential historical structures identified during the historical map review within the Project area are not extant. SWCA excavated a total of 12 shovel tests within the Project area, three of which were positive for cultural materials. The cultural material includes an axe head, an unidentifiable metal fragment, a round nail, and a white-bodied earthenware sherd. The artifacts found within the shovel tests cannot be securely identified as being from a historic origin and were found with, or near the same depth as, modern plastic fragments. Furthermore, the soils within the Project area exhibited a high degree of disturbance due to decades of construction, landscaping, and tree planting, as well as buried utilities. Due to the lack of soil integrity and the lack of artifacts that can securely be attributed to a historic origin, SWCA finds the three positive shovel tests as constituting an isolated find and does not rise to the level of an archaeological site. As such, the isolated finds do not meet the criteria for NRHP listing nor SAL designation. No other cultural resources were identified 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 Studies, Texas State University, San Marcos, Texas.


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