Good Point re Sec 106. 36 CFR 800 rewrite requires a lot of public
involvement. I don't know what others are doing but federal agencies are
supposed to be notifying Native American interests (of course) as well as
the interested public. I am assuming we find these people by notifying
archaeological societies and professional organizations (personally, I don't
want to print the locations of significant sites in the local newspaper). I
know, some sites will still not get the attention they deserve and any 106
action results in at least some selectivity and lost data. The Advisory
Council and SHPOs deserve a lot of credit for putting so much emphasis on
communication in the new regs (despite the fact that it's more work for me).