Social Exclusion in the UK—The Lived Experience Mel Hughes (ed.)
In: The British journal of social work, Band 53, Heft 8, S. 4030-4032
ISSN: 1468-263X
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In: The British journal of social work, Band 53, Heft 8, S. 4030-4032
ISSN: 1468-263X
In: Practice: social work in action, Band 31, Heft 2, S. 83-96
ISSN: 1742-4909
This report documents the substantive findings and management recommendations of the archeological survey conducted by Integrated Environmental Solutions, LLC (IES) for the Cottonwood Creek Trail Extension Project (CSJ: 0918-24-214), City of Plano, Collin County, Texas. As the City of Plano is a political subdivision of the State of Texas, the proposed project will require coordination with the Texas Historical Commission (THC) prior to construction, per the provisions of the Antiquities Code of Texas (ACT). In addition, as the project will require a Section 404 of the Clean Water Act (CWA) Nationwide Permit (NWP) 14 from the U.S. Army Corps of Engineers (USACE), portions of the project will be subject to the provisions of the National Historic Preservation Act (NHPA) of 1966, as amended. All work conformed to 36 Code of Federal Regulations (CFR) Part 800, and 13 Texas Administrative Code (TAC) 26, which outline the regulations for implementing Section 106 of the NHPA and the ACT, respectively. The goal of the survey was to locate, identify, and assess any archeological sites that could be adversely affected by the proposed development, and to evaluate such resources for their potential eligibility for listing as a State Antiquities Landmark (SAL) or eligibility for listing in the National Register of Historic Places (NRHP). The archeological survey was conducted by archeologists Thomas Chapman and Kevin Stone on 05 July 2017, under Texas Antiquities Permit No. 8091. During the IES survey, no archeological sites were encountered within the 2.31-mile Area of Potential Effects (APE). No artifacts were collected as part of this survey. All records will be temporarily curated at the IES McKinney office and permanently curated at the Texas Archeological Research Laboratory (TARL). No further work is warranted. However, if any archeological sites, other than those documented within this report, are unearthed during construction, the operators should stop construction activities, and immediately contact the project environment representative to initiate coordination with the THC prior to resuming any construction activities.
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The Best Interests Assessor (BIA) Practice Handbook is firmly grounded in real-life practice and remains the only textbook focusing directly on the BIA role. Offering clear and practical advice on the legal elements of the role, and the values and practice elements of working within the Deprivation of Liberty Safeguards (DoLS) framework, this is essential reading for BIA students and practitioners. This fully-updated edition takes account of recent legislative changes, including the planned changes from the Liberty Protection Safeguards (LPS), recent case law and the impact of the COVID-19 pandemic on BIA practice. Packed with advice on delivering effective, person-centred, rights-driven practice, it includes: • case studies; • legal summaries; • decision-making activities; • CPD support; • examples of new case law in practice. Looking forward, the book considers the new context for practice in the Approved Mental Capacity Professional (AMCP) role within the LPS and the potential roles that BIAs might fulfil in this new framework in the future
This report presents the substantive findings of a cultural resources survey for the Granbury East Wastewater Treatment Plant (WWTP) Project, which is a component to the Wastewater Phase I Improvements Project reviewed by the Texas Water Development Board [TWDB] under Project No. 73813. The proposed Granbury East WWTP is located within a 10.6-acre (ac) property located at 3121 Old Granbury Road in the City of Granbury, Hood County, Texas. As the City of Granbury is a political entity of the State of Texas, the City is required to comply with the Antiquities Code of Texas (ACT). In addition, as the project will require federal funding from the Environmental Protection Agency through the TWDB Clean Water State Revolving Fund (CWSRF) the project must comply with the National Environmental Policy Act (NEPA), which requires compliance with the National Historic Preservation Act (NHPA). The goal of the survey was to locate, identify, and document any cultural resources, which include architectural features and archeological sites, and to evaluate such resources for their potential eligibility for inclusion in the National Register of Historic Places (NRHP). The cultural resources survey was conducted by Project Archeologist Thomas Chapman on 30 April 2020 within an approximate 10.6-ac project area or Area of Potential Effects (APE). All work conformed to 13 Texas Administrative Code 26 (13 TAC 26), which outlines the regulations for implementing the ACT, and was conducted under Antiquities Permit No. 9401. During the survey, the site boundaries for one previously recorded archeological site (41HD96), were expanded to include a portion of the current APE. Based on the lack of association with historically important individuals or events, absence of significant architectural features, and the limited archeological data potential of the site, it is the recommendation of IES that 41HD96 be considered not eligible for listing in the NRHP or designation as a SAL. Based on the findings of this cultural resources survey, IES is requesting concurrence for the APE and a "no historic properties affected" determination per 36 Code of Federal Regulations 800.4(d)(1). It is the recommendation of IES that the Texas Historical Commission (THC) concur with these findings and the Granbury East WWTP (TWDB Project No. 73813) be permitted to continue without the need for further cultural resources investigations. However, if any cultural resources (other than those documented within this report) are encountered during construction, the operators should immediately cease work in the area of the inadvertent discovery. The project cultural resources consultant should then be contacted to initiate further consultation with the THC prior to resuming construction activities. All project records generated by this project will be permanently stored at the IES office in McKinney, Texas.
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This report presents the substantive findings of a cultural resources survey for the Granbury East Wastewater Treatment Plant (WWTP) Project, which is a component to the Wastewater Phase I Improvements Project reviewed by the Texas Water Development Board [TWDB] under Project No. 73813. The proposed Granbury East WWTP is located within a 10.6-acre (ac) property located at 3121 Old Granbury Road in the City of Granbury, Hood County, Texas. As the City of Granbury is a political entity of the State of Texas, the City is required to comply with the Antiquities Code of Texas (ACT). In addition, as the project will require federal funding from the Environmental Protection Agency through the TWDB Clean Water State Revolving Fund (CWSRF) the project must comply with the National Environmental Policy Act (NEPA), which requires compliance with the National Historic Preservation Act (NHPA). The goal of the survey was to locate, identify, and document any cultural resources, which include architectural features and archeological sites, and to evaluate such resources for their potential eligibility for inclusion in the National Register of Historic Places (NRHP). The cultural resources survey was conducted by Project Archeologist Thomas Chapman on 30 April 2020 within an approximate 10.6-ac project area or Area of Potential Effects (APE). All work conformed to 13 Texas Administrative Code 26 (13 TAC 26), which outlines the regulations for implementing the ACT, and was conducted under Antiquities Permit No. 9401. During the survey, the site boundaries for one previously recorded archeological site (41HD96), were expanded to include a portion of the current APE. Based on the lack of association with historically important individuals or events, absence of significant architectural features, and the limited archeological data potential of the site, it is the recommendation of IES that 41HD96 be considered not eligible for listing in the NRHP or designation as a SAL. Based on the findings of this cultural resources survey, IES is requesting concurrence for the APE and a "no historic properties affected" determination per 36 Code of Federal Regulations 800.4(d)(1). It is the recommendation of IES that the Texas Historical Commission (THC) concur with these findings and the Granbury East WWTP (TWDB Project No. 73813) be permitted to continue without the need for further cultural resources investigations. However, if any cultural resources (other than those documented within this report) are encountered during construction, the operators should immediately cease work in the area of the inadvertent discovery. The project cultural resources consultant should then be contacted to initiate further consultation with the THC prior to resuming construction activities. All project records generated by this project will be permanently stored at the IES office in McKinney, Texas.
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This report presents the substantive findings of a cultural resources survey for the Granbury East Wastewater Treatment Plant (WWTP) Project, which is a component to the Wastewater Phase I Improvements Project reviewed by the Texas Water Development Board [TWDB] under Project No. 73813. The proposed Granbury East WWTP is located within a 10.6-acre (ac) property located at 3121 Old Granbury Road in the City of Granbury, Hood County, Texas. As the City of Granbury is a political entity of the State of Texas, the City is required to comply with the Antiquities Code of Texas (ACT). In addition, as the project will require federal funding from the Environmental Protection Agency through the TWDB Clean Water State Revolving Fund (CWSRF) the project must comply with the National Environmental Policy Act (NEPA), which requires compliance with the National Historic Preservation Act (NHPA). The goal of the survey was to locate, identify, and document any cultural resources, which include architectural features and archeological sites, and to evaluate such resources for their potential eligibility for inclusion in the National Register of Historic Places (NRHP). The cultural resources survey was conducted by Project Archeologist Thomas Chapman on 30 April 2020 within an approximate 10.6-ac project area or Area of Potential Effects (APE). All work conformed to 13 Texas Administrative Code 26 (13 TAC 26), which outlines the regulations for implementing the ACT, and was conducted under Antiquities Permit No. 9401. During the survey, the site boundaries for one previously recorded archeological site (41HD96), were expanded to include a portion of the current APE. Based on the lack of association with historically important individuals or events, absence of significant architectural features, and the limited archeological data potential of the site, it is the recommendation of IES that 41HD96 be considered not eligible for listing in the NRHP or designation as a SAL. Based on the findings of this cultural resources survey, IES is requesting concurrence for the APE and a "no historic properties affected" determination per 36 Code of Federal Regulations 800.4(d)(1). It is the recommendation of IES that the Texas Historical Commission (THC) concur with these findings and the Granbury East WWTP (TWDB Project No. 73813) be permitted to continue without the need for further cultural resources investigations. However, if any cultural resources (other than those documented within this report) are encountered during construction, the operators should immediately cease work in the area of the inadvertent discovery. The project cultural resources consultant should then be contacted to initiate further consultation with the THC prior to resuming construction activities. All project records generated by this project will be permanently stored at the IES office in McKinney, Texas.
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This report documents the substantive findings and management recommendations of a cultural resource inventory conducted by Integrated Environmental Solutions, LLC (IES) for the Lebow Drainage Improvement Project in Fort Worth, Tarrant County, Texas. As the City of Fort Worth is a political subdivision of the State of Texas, the proposed project will require coordination with the Texas Historical Commission (THC) prior to construction, per the provisions of the Antiquities Code of Texas (ACT). In addition, as the project will require a Section 404 of the Clean Water Act (CWA) permit from the U.S. Army Corps of Engineers (USACE), it will also be subject to the provisions of the National Historic Preservation Act (NHPA) of 1966, as amended. All work conformed to 36 Code of Federal Regulations (CFR) Part 800, and 13 Texas Administrative Code (TAC) 26, which outline the regulations for implementing Section 106 of the NHPA and the ACT, respectively. The goal of the survey was to locate, identify, and assess any cultural resources, which include standing structures and archeological sites that could be adversely affected by the proposed development, and to evaluate such resources for their potential eligibility for listing as a State Antiquities Landmark (SAL) or eligibility for listing in the National Register of Historic Places (NRHP). The cultural resources inventory was conducted by archeologists Kevin Stone and Joshua Hamilton on 04 June 2015, under Texas Antiquities Permit No. 7291. Proposed construction consists of an approximately 61.95-acre project corridor that extends along an unnamed tributary of the West Fork Trinity River. Although the project is still in the development stage, current designs call for the enhancement of Lebow Channel through regrading and reinforcement of the channel and the creation of several water retention/detention areas Although four historic-period sites (41TR279, 41TR280, 41TR281, and 41TR282) were documented during the field survey, based on the degree of disturbance and general nature of each site, they were deemed ineligible for listing on the NRHP or as a SAL. No artifacts were collected as part of this survey. All records will be curated at the Texas Archeological Research Laboratory (TARL). No further work is warranted. However, if any cultural resources, other than those documented within this report, are unearthed during construction, the operators should stop construction activities, and immediately contact the project environmental representative to initiate coordination with the THC prior to resuming any construction activities.
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This report documents the substantive findings and management recommendations of a cultural resource inventory conducted by Integrated Environmental Solutions, LLC (IES) for the Bonnie Wenk Park Phase II project in McKinney, Collin County, Texas. As the City of McKinney is a political subdivision of the State of Texas, the proposed project will require coordination with the Texas Historical Commission (THC) prior to construction, per the provisions of the Antiquities Code of Texas (ACT). In addition, as the project will require a Section 404 of the Clean Water Act (CWA) permit from the U.S. Army Corps of Engineers (USACE), it will also be subject to the provisions of the National Historic Preservation Act (NHPA) of 1966, as amended. The goal of the survey was to locate, identify, and assess any cultural resources, which include standing structures and archeological sites that could be adversely affected by the proposed development, and to evaluate such resources for their potential eligibility for listing as a State Antiquities Landmark (SAL) or eligibility for listing in the National Register of Historic Places (NRHP). All work conformed to 36 Code of Federal Regulations (CFR) Part 800, and 13 Texas Administrative Code (TAC) 26, which outline the regulations for implementing Section 106 of the NHPA and the ACT, respectively. The cultural resources inventory was conducted on the 23 and 26 March 2015, under Texas Antiquities Permit No. 7217. During the IES survey, no cultural resources were documented within APE. No further work is warranted. However, if any cultural resources are unearthed during construction, the operators should cease work immediately in that area, and the THC/SHPO should be prior to resuming any construction activities.
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This report documents the substantive findings and management recommendations of a cultural resource inventory conducted by Integrated Environmental Solutions, LLC (IES) for the Bear Creek Industrial Phase I project in Euless, Tarrant County, Texas. As the project will occur on the Dallas/Fort Worth (DFW) International Airport property, the DFW International Airport will need approval from the Federal Aviation Administration to modify their Airport Layout Plan (ALP) to reflect the permanent alterations. This is considered a federal action and will subsequently require compliance with the National Environmental Policy Act (NEPA) and Section 106 of the National Historic Preservation Act (NHPA). In addition, as the DFW International Airport is a political subdivision of the State of Texas the project will be subjected to the provisions of the Antiquities Code of Texas (ACT). The goal of the survey was to locate, identify, and assess any cultural resources, which include standing structures and archeological sites that could be adversely affected by the proposed development, and to evaluate such resources for their potential eligibility for listing as a State Antiquities Landmark (SAL) or eligibility for listing in the National Register of Historic Places (NRHP). All work conformed to 13 Texas Administrative Code (TAC) 26, which outline the regulations for implementing the ACT. The cultural resources inventory was conducted by archeologists Kevin Stone and Joshua Hamilton on 21 and 23 January 2015, under Texas Antiquities Permit No. 7126. Prior to IES's pedestrian survey, several areas along South 20th Avenue and within the north-central portion of the project area or Area of Potential Effects (APE) that could potential contain historic-period cultural features and/or deposits were identified. During the IES survey, three archeological sites (41TR273, 41TR274, and 41TR275) were documented within APE. Through the subsequent analysis, all three sites were determined to be ineligible for listing on the NRHP or as a SAL. No further work is warranted. However, if any cultural resources, other than those documented within this report, are unearthed during construction, the operators should stop construction activities, and immediately contact the project environmental representative to initiate coordination with the Texas Historical Commission (THC) prior to resuming any construction activities.
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In: The British journal of social work, Band 52, Heft 7, S. 3783-3801
ISSN: 1468-263X
Abstract
Research shows that tensions between family carers and professionals become acute where the issue of compulsory admission to hospital is at stake. In England and Wales, a specific family member is appointed to safeguard the interests of a person assessed under the Mental Health Act 1983. This currently occurs through the Nearest Relative (NR) role. The Government is proposing to replace this with a Nominated Person role, chosen by the service user. Drawing on the concept of carer burden, this study reports on the views of nineteen NRs in England to discover their experiences of being involved in a Mental Health Act assessment. Participants identified that they undertook the role due to a sense of duty. Their experiences were mixed with participants highlighting both feelings of distress during the assessment and feelings of relief once their relative had been detained. Participants reported feeling conflicted when their relative was detained and feelings of frustration towards mental health services. The findings have implications for proposals to reform the Mental Health Act 1983. They show that education and support programmes should be created for NRs/Nominated Persons and that research is needed to assess whether such support is effective at reducing carer burden.
This report documents the substantive findings and management recommendations of a cultural resources survey conducted by Integrated Environmental Solutions, LLC (IES) for the proposed Fort Griffin Special Utility District (SUD) Waterline Improvements Project located in the City of Breckenridge, Stephens County, Texas. The proposed project will include the installation of a water supply line within a 39.45-acre (ac) Area of Potential Affects (APE). As the Fort Griffin SUD is a political subdivision of the State of Texas, the project is subject to the provisions of the Antiquities Code of Texas (ACT). Additionally, as the project will be partially funded by the U.S. Environmental Protection Agency (USEPA) through the Clean Water State Revolving Funds (CWSRF) and Drinking Water State Revolving Funds (DWSRF), the proposed project will be required to comply with Section 106 of the National Historic Preservation Act (NHPA). The goal of this survey was to locate cultural resources that could be adversely affected by the proposed project, and to provide an evaluation of the eligibility potential of each identified resource for listing in the National Register of Historic Places (NRHP) or for designation as a State Antiquities Landmark (SAL). This cultural resources survey was conducted by Project Archeologist Anne Gibson and Archaeological Technician Trey Lyon on 28 through 30 April 2020. All work conformed to 13 Texas Administrative Code 26 (13 TAC 26), which outlines the regulations for implementing the ACT, and was conducted under Texas Antiquities Permit No. 9373. During the survey, one newly recorded historic-age archeological site (41SE347) was encountered within the APE. Based on the lack of association with historically important individuals or events, absence of significant architectural features, the degree of prior disturbance, and lack of contextual integrity, site 41SE347 is recommended not eligible for listing in the NRHP or designation as a SAL. All project-related records and field data will be temporarily stored at the IES McKinney office and permanently curated at the Center for Archeological Research (CAR) at the University of Texas at San Antonio (UTSA). No further work is warranted. However, if any cultural resources are encountered during construction, the operators should stop construction activities and immediately contact the project environmental representative to initiate coordination with the Texas Historical Commission (THC) prior to resuming any construction activities.
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This report documents the substantive findings and management recommendations of a cultural resources survey conducted by Integrated Environmental Solutions, LLC (IES) for the proposed Loop at Johnson Creek project. The proposed project pertains to a recreational park development within a 6.9-acre Area of Potential Effects (APE) located along Johnson Creek between East Randol Mill Road and Cowboys Way in the City of Arlington, Tarrant County, Texas. As the project will require compliance with a Section 404 of the Clean Water Act Nationwide Permit from the U.S. Army Corps of Engineers (USACE), portions of the project will be subjected to the provisions of the National Historic Preservation Act (NHPA) of 1966, as amended. Additionally, as the City of Arlington is a political subdivision of the State of Texas, the project is subject to the provisions of the Antiquities Code of Texas (ACT). The goal of this survey was to locate cultural resources that could be adversely affected by the proposed development, and to provide an evaluation of the eligibility potential of each identified resource for listing in the National Register of Historic Places (NRHP) or for designation as a State Antiquities Landmark (SAL). This cultural resources survey was conducted by Principal Investigator Christopher Goodmaster and Field Technician Josh McCormick on 05 February 2019. All work conformed to 13 Texas Administrative Code 26, which outlines the regulations for implementing the ACT, and was conducted under Antiquities Permit No. 8738. No archeological sites and no historic-age architectural resources were identified within the APE during this survey. No artifacts were collected as part of this survey. All project-related records and field data will be temporarily stored at the IES McKinney office and permanently curated at the Center for Archeological Research (CAR) at The University of Texas at San Antonio. No further cultural resources investigation or evaluation of the APE is recommended. However, if any cultural resources are encountered during construction, the operators should stop construction activities in the vicinity of the inadvertent discovery, and immediately contact the project cultural resources consultant to initiate coordination with the USACE and Texas Historical Commission (THC) prior to resuming construction activities.
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This report documents the substantive findings and management recommendations of the cultural resources survey conducted by Integrated Environmental Solutions, LLC (IES) for the proposed Trinity Skyline Trail Phase II Project in the City of Dallas, Dallas County, Texas. The proposed project pertains to the construction of a 4.9-mile (9.6 acre) trail system within the Dallas Floodway from the Sylvan Avenue/Wycliff Avenue bridge to the Campion Trail within Trinity View Park. As the proposed project will be constructed within federal property regulated by the U.S. Army Corps of Engineers (USACE), the project is subject to the provisions of the National Historic Preservation Act of 1966 (NHPA), as amended. In addition, as the City of Dallas is a political subdivision of the State of Texas, the project must comply with the provisions of the Antiquities Code of Texas (ACT). The goal of this survey was to locate archeological resources that could be adversely affected by the proposed construction and to provide an evaluation of the eligibility potential of each identified resource for listing in the National Register of Historic Places (NRHP) or for designation as a State Antiquities Landmark (SAL). All work conformed to 13 Texas Administrative Code 26, which outlines the regulations for implementing the ACT, and was conducted under Antiquities Permit No. 8865. During the survey, no archeological resources were identified. No artifacts were collected as part of this survey. All project-related records and field data will be temporarily stored at the IES McKinney office and permanently curated at the Center for Archeological Research (CAR) at The University of Texas at San Antonio. No further archeological investigation or evaluation of the APE is recommended. However, if any archeological deposits are encountered during construction, the operators should stop construction activities in the vicinity of the inadvertent discovery, and immediately contact the project cultural resources consultant to initiate coordination with the USACE and Texas Historical Commission (THC) prior to resuming construction activities.
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This report documents the substantive findings and management recommendations of a cultural resources survey conducted by Integrated Environmental Solutions, LLC (IES) for the proposed Riverside Drive improvements project. The proposed project pertains to the improvement of Riverside Drive from Golden Triangle Boulevard to Keller Hicks Road, in the City of Fort Worth, Tarrant County, Texas. As the project will require compliance with Section 404 of the Clean Water Act through the use of a Nationwide Permit from the U.S. Army Corps of Engineers (USACE), portions of the project will be subjected to the provisions of the National Historic Preservation Act (NHPA) of 1966, as amended. Additionally, as the City of Fort Worth is a political subdivision of the State of Texas, the project is subject to the provisions of the Antiquities Code of Texas (ACT). The goal of this survey was to locate cultural resources that could be adversely affected by the proposed development, and to provide an evaluation of the eligibility potential of each identified resource for listing in the National Register of Historic Places (NRHP) or for designation as a State Antiquities Landmark (SAL). This cultural resources survey was conducted on 30 July 2019. All work conformed to 13 Texas Administrative Code 26, which outlines the regulations for implementing the ACT, and was conducted under Antiquities Permit No. 8972. During the survey, no cultural resources were encountered within the APE. No artifacts were collected as part of this survey. All project-related records and field data will be temporarily stored at the IES McKinney office and permanently curated at the Center for Archeological Research at The University of Texas at San Antonio. No further cultural resources investigation or evaluation of the APE is recommended. However, if any cultural resources are encountered during construction, the operators should stop construction activities in the vicinity of the inadvertent discovery, and immediately contact the project cultural resources consultant to initiate coordination with the USACE and Texas Historical Commission (THC) prior to resuming construction activities.
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