Every public comment on the proposed rescission of the Roadless Rule, sorted by what it talks about. Pick a topic, then narrow by position, by how hard the comment is for the agency to set aside, or by how substantive it is. Each comment is shown in full, as filed. How comments are classified and scored is explained in the Comment Analysis.
Opposes rescissionA1 strongSubstance 14/24Owed an answerAug 31, 2026FS-2025-0001-289605
PLACESTANDDOCGAPEVIDASKALTLAW
Dear USDA Leadership:
Spending time on public land teaches you things maps don't show. Roadless character is one of them.
Growing up in this wilderness area meant a deeper understanding of community, a sense of purpose and care for my land and food systems. Protecting our natural spaces has to be highest priority for Americans to keep our home beautiful.
Among many days in these forests, one has stayed with me.
Every year my father and I put aside work and life stress and come together to camp and hike together and get lost in the wilderness. It brings us closer but also brings us peace, reminders of our responsibilities for our natural world, and builds confidence as we navigate unfamilar territory.
The considerations above inform the position set out in the remainder of this comment.
Regarding the Tuolumne River in the Stanislaus National Forest, California:
The Tuolumne River IRA, Stanislaus National Forest, encompasses jurisdictional waters of the United States protected under the Clean Water Act, including stream channels and associated wetlands subject to Section 404 permitting requirements.
Every stream crossing required for road construction in the Tuolumne River IRA, Stanislaus National Forest, involves placement of fill material — culverts, bridge footings, approach fills — into jurisdictional waters, constituting discharge under Clean Water Act Section 404.
For the Tuolumne River IRA, Stanislaus National Forest, the DEIS must disclose the number and location of jurisdictional waters, quantify fill material discharges at each potential stream crossing, and document the Section 404 permitting pathway for each discharge point.
"In a study in three headwater watersheds in the mountains of central Idaho, 70 percent of sediment deposition from roads constructed on the watersheds, where the slope ranged from 15 to 40 percent, occurred during the first year after construction, and one-fourth of this deposition occurred during road construction (Ketcheson and Megahan, 1996). Sediment generally traveled less than 100 m from its source. Average sediment travel distances from fills, rock drains, berm drains, and landings were between 4 m and 20 m, while that from cross drains was 50 m. The maximum travel distance from some cross drains was more than 250 m."
— U.S. Environmental Protection Agency
“Just as development and approval of forest plans must conform to existing laws and regulations, new laws or regulations, including this rule, can supersede existing forest plan management direction. This rulemaking process does not require amendments or revisions to forest plans. The NFMA reaffirmed multiple-use and sustained-yield as the guiding principles for land management planning of National Forest System lands (16 U.S.C. 1600, 1604). Together with other applicable laws, the NFMA authorizes the Secretary of Agriculture to promulgate regulations governing the administration and management of the National Forest Transportation System (16 U.S.C. 1608). — USDA Forest Service (https://www.federalregister.gov/documents/2001/01/12/01-726/special-areas-roadless-area-conservation)”
Retention, not rescission, is the decision the record supports.
With urgency,
Ellie
CommentID: RLC-20260830-P1BKRN
Opposes rescissionA1 strongSubstance 11/24Owed an answerAug 28, 2026FS-2025-0001-279007
PLACESTANDDOCGAPEVIDASKALTLAW
Dear Secretary Brooke L. Rollins,
Outfitters and guides operating in roadless country under Forest Service permits constitute a regulated community whose interests have not, in my reading, been adequately addressed in the rationale for rescission.
I spend ample time working, living, and recreating in areas around the Tuolumne river. This is beautiful country with an abundance of wildlife and opportunities for recreation. A recission of the roadless rule would not protect the forest in any way, but rather cause damage to habitat and potentially degrade this very important watershed.
The Department is urged to retain the Roadless Area Conservation Rule in recognition of the public interest that connections of this kind represent — an interest that rescission would permanently diminish.
Regarding the Tuolumne River in the Stanislaus National Forest, California:
The aquatic ecosystems of the Tuolumne River IRA, Stanislaus National Forest, depend on the absence of road-generated fine sediment. Clean gravel substrates support macroinvertebrate production and fish reproduction. Intact riparian canopy maintains the cold water temperatures that govern dissolved oxygen levels and species composition. Roads eliminate both conditions.
The roadless condition of the Tuolumne River IRA, Stanislaus National Forest, maintains the natural infiltration capacity of the forest floor, intact subsurface drainage pathways, continuous riparian canopy over streams, and undisturbed channel morphology. Road construction disrupts every one of these functions simultaneously — no mitigation measure restores them to pre-disturbance condition.
The Clean Water Act requires the Forest Service to comply with state water quality standards in the Tuolumne River IRA, Stanislaus National Forest. The DEIS must demonstrate, with quantified analysis, that road construction in this watershed will not cause or contribute to violations of applicable sediment, turbidity, and temperature standards for all affected stream segments.
"Road networks interact with stream networks at the landscape scale. Road networks appear to affect floods and debris flows and thus modify disturbance patch dynamics in stream and riparian networks in mountain landscapes. Road cutbanks intercept slower moving subsurface water, transforming it to surface flow that is 10 to 10,000 times faster and rerouting it along roadside ditches, thereby increasing surface runoff."
— WildEarth Guardians, Forest Roads in California report (citing Jones et al. 2000 and Dunne 1978), 2000
“Road networks interact with stream networks at the landscape scale. Road networks appear to affect floods and debris flows and thus modify disturbance patch dynamics in stream and riparian networks in mountain landscapes. Road cutbanks intercept slower moving subsurface water, transforming it to surface flow that is 10 to 10,000 times faster and rerouting it along roadside ditches, thereby increasing surface runoff. — WildEarth Guardians, Forest Roads in California report (citing Jones et al. 2000 and Dunne 1978), 2000 (https://doi.org/10.1046/j.1523-1739.2000.99083.x)”
“In a study in three headwater watersheds in the mountains of central Idaho, 70 percent of sediment deposition from roads constructed on the watersheds, where the slope ranged from 15 to 40 percent, occurred during the first year after construction, and one-fourth of this deposition occurred during road construction (Ketcheson and Megahan, 1996). Sediment generally traveled less than 100 m from its source. Average sediment travel distances from fills, rock drains, berm drains, and landings were between 4 m and 20 m, while that from cross drains was 50 m. The maximum travel distance from some cross drains was more than 250 m. — U.S. Environmental Protection Agency (https://www.epa.gov/sites/default/files/2015-10/documents/ch3c.pdf)”
“Just as development and approval of forest plans must conform to existing laws and regulations, new laws or regulations, including this rule, can supersede existing forest plan management direction. This rulemaking process does not require amendments or revisions to forest plans. The NFMA reaffirmed multiple-use and sustained-yield as the guiding principles for land management planning of National Forest System lands (16 U.S.C. 1600, 1604). Together with other applicable laws, the NFMA authorizes the Secretary of Agriculture to promulgate regulations governing the administration and management of the National Forest Transportation System (16 U.S.C. 1608). — USDA Forest Service (https://www.federalregister.gov/documents/2001/01/12/01-726/special-areas-roadless-area-conservation)”
My opposition to the proposed rescission is respectfully entered into the record.
Yours in conservation,
CommentID: RLC-20260827-FE6TX7
Opposes rescissionA1 strongSubstance 12/24Owed an answerAug 26, 2026FS-2025-0001-272189
PLACESTANDDOCGAPEVIDASKALTLAW
To the U.S. Department of Agriculture:
In my work as an expedition guide, I have spoken with enough guests to know that what they come to Alaska and pristine quiet places for is precisely the character of land that the 2001 Rule has protected.
I have spent the past 5 years up in Alaska taking clients to see the beauty and the productivity of an isolated roadless place. I have passed bears and other animals on the trail who do not threaten me because they have an abundance of food and nutrients and we are just passing by together.
One visit made that connection concrete.
Just last week, we were taking guests along a river bed near Port Althorp and getting to show them what a productive salmon run looks like. We showed them how the dead salmon end up in the forest and return nutrients back to the forest from the water. We passed a bear who was readily on their way to the salmon, wanting nothing to do with us. These guests came back with countless stories and pictures and an understanding of what the world looks like when it is untouched and protected. This is exactly the experience they come looking for when they come travel here.
The story recounted and the relationship underlying it are both, in the relevant sense, products of what twenty-five years of roadless protection has made possible; rescission would begin to unwind both.
Regarding the Chichagof in the Tongass National Forest, Alaska:
Headwater Networks Supporting Pacific Salmon Fisheries — The Chichagof IRA contains the headwaters of the Pelican Creek, Lisianski River, Kadashan River, Neka River, and other major drainages that support world-class salmon populations. These watersheds are classified as "Properly Functioning".
Roads authorized by rescission in the Chichagof IRA, Tongass National Forest, alter natural drainage patterns by concentrating and redirecting surface flows, increasing runoff velocity, and delivering higher peak discharges to downstream flood-prone areas.
The DEIS must evaluate the flood hazard potential of road construction in the Chichagof IRA, Tongass National Forest, as required by Executive Order 11988, including analysis of increased impervious surface, altered runoff patterns, and downstream flood risk.
"Just as development and approval of forest plans must conform to existing laws and regulations, new laws or regulations, including this rule, can supersede existing forest plan management direction. This rulemaking process does not require amendments or revisions to forest plans. The NFMA reaffirmed multiple-use and sustained-yield as the guiding principles for land management planning of National Forest System lands (16 U.S.C. 1600, 1604). Together with other applicable laws, the NFMA authorizes the Secretary of Agriculture to promulgate regulations governing the administration and management of the National Forest Transportation System (16 U.S.C. 1608)."
— USDA Forest Service
This comment joins the record in opposition to the proposed rescission action.
With concern,
CommentID: RLC-20260824-UUV9QX
Opposes rescissionA1 strongSubstance 12/24Owed an answerAug 24, 2026FS-2025-0001-267206
PLACESTANDDOCGAPEVIDASKALTLAW
To the U.S. Department of Agriculture:
In my work as an expedition guide, I have spoken with enough guests to know that what they come to Alaska and pristine quiet places for is precisely the character of land that the 2001 Rule has protected.
I have spent the past 5 years up in Alaska taking clients to see the beauty and the productivity of an isolated roadless place. I have passed bears and other animals on the trail who do not threaten me because they have an abundance of food and nutrients and we are just passing by together.
Just last week, we were taking guests along a river bed near Port Althorp and getting to show them what a productive salmon run looks like. We showed them how the dead salmon end up in the forest and return nutrients back to the forest from the water. We passed a bear who was readily on their way to the salmon, wanting nothing to do with us. These guests came back with countless stories and pictures and an understanding of what the world looks like when it is untouched and protected. This is exactly the experience they come looking for when they come travel here.
The story recounted and the relationship underlying it are both, in the relevant sense, products of what twenty-five years of roadless protection has made possible; rescission would begin to unwind both.
Regarding the Chichagof in the Tongass National Forest, Alaska:
Headwater Networks Supporting Pacific Salmon Fisheries — The Chichagof IRA contains the headwaters of the Pelican Creek, Lisianski River, Kadashan River, Neka River, and other major drainages that support world-class salmon populations. These watersheds are classified as "Properly Functioning".
Roads authorized by rescission in the Chichagof IRA, Tongass National Forest, alter natural drainage patterns by concentrating and redirecting surface flows, increasing runoff velocity, and delivering higher peak discharges to downstream flood-prone areas.
The DEIS must evaluate the flood hazard potential of road construction in the Chichagof IRA, Tongass National Forest, as required by Executive Order 11988, including analysis of increased impervious surface, altered runoff patterns, and downstream flood risk.
"Just as development and approval of forest plans must conform to existing laws and regulations, new laws or regulations, including this rule, can supersede existing forest plan management direction. This rulemaking process does not require amendments or revisions to forest plans. The NFMA reaffirmed multiple-use and sustained-yield as the guiding principles for land management planning of National Forest System lands (16 U.S.C. 1600, 1604). Together with other applicable laws, the NFMA authorizes the Secretary of Agriculture to promulgate regulations governing the administration and management of the National Forest Transportation System (16 U.S.C. 1608)."
— USDA Forest Service
This comment joins the record in opposition to the proposed rescission action.
With concern,
CommentID: RLC-20260824-UUV9QX