Library Highlights

Top Resources

The following digital library section contains great introductory information and general resources for the Section 106 Process.
  1. Guidance Document
  2. Guidance Document
    There can be some confusion about agreements among Section 106 participants. The ACHP offers this guidance to clarify the different types of agreements mentioned in the ACHP’s regulations at 36 CFR Part 800 and when it is appropriate to use them.
  3. Publication
    The Office of Native American Affairs (ONAA) works with federal agencies, Indian tribes, and Native Hawaiian organizations to address critical consultation issues.
  4. Guidance Document
      The Relationship Between Executive Order 13007 Regarding Indian Sacred Sites and Section 106 Introduction
  5. Public Resources
    The 1992 amendments to the National Historic Preservation Act recognized and expanded the role of Indian tribes and Native Hawaiian organizations in the national preservation program. In response to these changes, the Advisory Council on Historic Preservation (ACHP) revised its regulations to clarify their role in the Section 106 process.

Consultation with Indian Tribes

The following digital library section contains great introductory information and general resources for the Section 106 Process.
  1. Guidance Document
    There can be some confusion about agreements among Section 106 participants. The ACHP offers this guidance to clarify the different types of agreements mentioned in the ACHP’s regulations at 36 CFR Part 800 and when it is appropriate to use them.
  2. Guidance Document
      The Relationship Between Executive Order 13007 Regarding Indian Sacred Sites and Section 106 Introduction
  3. Guidance Document
    The consideration of Native American traditional cultural landscapes in Section 106 reviews has challenged federal agencies, Indian tribes, and Native Hawaiian organizations for some time. There has been confusion regarding what makes a place a traditional cultural landscape, whether they can be considered historic properties, and whether the size of such places influences their consideration under the National Historic Preservation Act.
  4. Guidance Document
    Since 1992, when Congress amended the National Historic Preservation Act to clarify that historic properties of religious and cultural significance to Indian tribes and Native Hawaiian organizations (NHOs) may be eligible for the National Register of Historic Places (National Register), the ACHP has seen a steady increase in the number of Section 106 reviews involving such historic properties. Improvements in federal agency consultation with Indian tribes and NHOs and greater recognition of their expertise in identifying historic properties of significance to them have likely contributed to this increase. It is equally likely that there have also been increasing development pressures in places not previously developed. An early 2011 Tribal Summit co-hosted by the ACHP in Palm Springs, California, underscored the fact that the nation’s renewed emphasis on the development and transmission of renewable energy, as well as the continued focus on conventional energy, is placing additional pressures on landscapes throughout the country, and particularly in the west.
  5. Publication
    This handbook presents recommendations for federal agencies, applicants, and Indian tribes to work together in pre-application information gathering or prior to initiating the Section 106 process.

Consultation with Native Hawaiian Organizations

Consultation with Indian Tribes & Native Hawaiian Organizations

The following digital library section contains great introductory information and general resources for the Section 106 Process.
  1. Guidance Document
      The Relationship Between Executive Order 13007 Regarding Indian Sacred Sites and Section 106 Introduction
  2. Guidance Document
    There can be some confusion about agreements among Section 106 participants. The ACHP offers this guidance to clarify the different types of agreements mentioned in the ACHP’s regulations at 36 CFR Part 800 and when it is appropriate to use them.
  3. Guidance Document
    The consideration of Native American traditional cultural landscapes in Section 106 reviews has challenged federal agencies, Indian tribes, and Native Hawaiian organizations for some time. There has been confusion regarding what makes a place a traditional cultural landscape, whether they can be considered historic properties, and whether the size of such places influences their consideration under the National Historic Preservation Act.
  4. Guidance Document
    Since 1992, when Congress amended the National Historic Preservation Act to clarify that historic properties of religious and cultural significance to Indian tribes and Native Hawaiian organizations (NHOs) may be eligible for the National Register of Historic Places (National Register), the ACHP has seen a steady increase in the number of Section 106 reviews involving such historic properties. Improvements in federal agency consultation with Indian tribes and NHOs and greater recognition of their expertise in identifying historic properties of significance to them have likely contributed to this increase. It is equally likely that there have also been increasing development pressures in places not previously developed. An early 2011 Tribal Summit co-hosted by the ACHP in Palm Springs, California, underscored the fact that the nation’s renewed emphasis on the development and transmission of renewable energy, as well as the continued focus on conventional energy, is placing additional pressures on landscapes throughout the country, and particularly in the west.
  5. Guidance Document
    Section 106 requires each federal agency to identify and assess the effects of its undertakings on historic properties. It applies when two thresholds are met: there is a federal, federally assisted, or federally licensed activity; and that activity has the potential to affect properties listed in or eligible for listing in the National Register of Historic Places.

ACHP's Government to Government Consultation