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Section 106 Review TCNS ID 194162 Proposed 270-Foot Tall Self-Supporting Lattice Telecommunications Structure AT&T Site GSL05087 (FA# 15027964) 1629 J Frank Culpepper Road Lake Park, Echols County, Georgia ECA Project No. V3094

Report Number
13848
Year of Publication
2020
Abstract

Environmental Corporation of America’s (ECA) client, AT&T Mobility, LLC is proposing to construct a telecommunications facility as described in the following FCC Form 620, New Tower (NT) Submission Packet. ECA understands that AT&T Mobility, LLC plans to construct a 270-foot overall height self-supporting lattice telecommunications structure within a 100-foot by 100-foot (30m by 30m) lease area. The proposed lease area would be accessible by a proposed approximate 3,342-foot long by 30-foot wide (1,019m by 9m) access/utility easement. ECA has identified and evaluated Historic Properties, if any, within the Area of Potential Effect (APE) for visual and direct effects as directed in Section VI.D.1 and 2 of the Nationwide Programmatic Agreement, effective on March 7, 2005. We have found no Historic Properties listed in the National Register of Historic Places (NRHP) within either APE. Based on our review of the files at the Georgia Historic Preservation Office (GA HPD), we identified no Historic Properties within the ¾-mile APE for visual effects. An Archaeological Assessment was conducted within the APE for direct effects. During our database research, we found no previously identified archaeological sites or surveys within our standard 1-mile background research radius. Based on our findings, we recommend no further consultation under Section 106 Review of the National Historic Preservation Act for this proposed undertaking. Based on this documentation, prepared in accordance with the Nationwide Programmatic Agreement effective March 7, 2005, ECA believes that this proposed facility would have no effect on any Historic Properties identified in accordance with the NPA. Therefore, we recommend a finding of "No Effect" for the proposed undertaking. We are submitting this letter on behalf of AT&T Mobility, LLC to seek concurrence with this finding and to comply with Federal Communications Commission (FCC) requirements as identified in 47 CFR 1.1307. We request your concurrence with our finding. Please contact our office with any questions or comments.