New information on this topic. USDA’s General Manual, Title 420, Part 401.20 (D) states “…pursuant to 36 CFR Section 800.3(a)(1), NRCS has consulted with the Advisory Council on Historic Properties (ACHP) and determined that the technical assistance it provides to land users under the CTA Program results in the provision of nonbinding conservation planning information, recommendations, and advice that lacks the potential to cause effects to historic properties. Since NRCS is providing technical assistance that is advisory only, with no ability to control or require any user’s actions, NRCS has no further obligation under 54 U.S.C. Section 306108 of the NHPA for CTA Program activities…”
New question...Are the cultural reviews done by NRCS (archaeology, historic properties, T/E) under the umbrella of CTA? thanks.