Cultural Resource Laws & PracticeAltaMira Press, 2008 - 428 pages In this third edition of Cultural Resource Laws and Practice, Thomas F. King presents clear, practical information for those who need to navigate the labyrinth of cultural resource management (CRM). He discusses the various federal, state, and local laws governing the protection of resources, how they have been interpreted, how they operate in practice, and even how they are sometimes in contradiction with each other. He provides helpful advice on how to ensure regulatory compliance in dealing with archaeological sites, historic buildings, urban districts, sacred sites and objects, shipwrecks, and archives. King also offers careful guidance through the confusing array of federal, state, and tribal offices concerned with cultural resource management. --from publisher description. |
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Page 114
... Consultation Almost uniquely among federal regulatory processes , the sec- tion 106 process is based on consultation among concerned parties . Other review systems - under NEPA , for example - provide for notifying people of what's ...
... Consultation Almost uniquely among federal regulatory processes , the sec- tion 106 process is based on consultation among concerned parties . Other review systems - under NEPA , for example - provide for notifying people of what's ...
Page 165
... consultation , everybody consults ; if it doesn't , everybody but the ACHP consults and the resulting Memorandum of Agreement ( see below ) is filed with the ACHP . The regulations require the agency to provide the consulting parties ...
... consultation , everybody consults ; if it doesn't , everybody but the ACHP consults and the resulting Memorandum of Agreement ( see below ) is filed with the ACHP . The regulations require the agency to provide the consulting parties ...
Page 168
... Consultation Done ? Some Process Suggestions In stressing the need for substance , I don't mean to denigrate process . A colleague in the Department of the Interior commented to me once that the older he got , and the longer he spent in ...
... Consultation Done ? Some Process Suggestions In stressing the need for substance , I don't mean to denigrate process . A colleague in the Department of the Interior commented to me once that the older he got , and the longer he spent in ...
Contents
Practice | 55 |
More About Historic Places | 207 |
Cultural Resources in of and from the Land | 251 |
Copyright | |
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accessed December 28 accessed January ACHP action adverse effect agency's alternative American cultural items analysis archeological resources archeological sites archeologists architectural ARPA CATEX compliance Congress consider consulting parties context CRMP cultural resource laws cultural resource management data recovery deal December 28 determination documents eligible environment environmental impact Executive Order Executive Order 12898 federal agencies Forest Service going Guidelines and Principles Heritage historic buildings Historic Places historic properties identify implementation important Indian tribes interests issues kind landscapes ment mitigation NAGPRA National Register Native American Native American cultural Native Hawaiian NEPA NHPA practice practitioners procedures programs religious require responsible salvage section 106 process section 106 regulations section 106 review SHPO SHPO/THPO significant Social Impact Assessment structure there's things THPO tion toric Traditional Cultural Properties tribal tural UNESCO what's