The Public Record · Docket FS-2025-0001

Read the comments.

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.

1 unique comments12,177 submissions
Position
  • Opposes rescission 100.0%
Answerability
  • A1 strong 0
  • A2 moderate 0
  • A3 weak 0
  • A0 none 1
Substance /24
Median 10middle half 10–10 · 1 scored
Topics raised
Count
Position
Answerability
Substance /24
Order
12,177 submissions in this letter's group · showing 1–20Clear all filters
  1. Opposes rescissionA0 noneSubstance 9/24Oct 7, 2026FS-2025-0001-600102
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. For nearly 25 years, the Roadless Rule has protected some of America's most important remaining wild forests from road construction, logging, and other forms of industrial development. Rescinding the rule would remove protections from nearly 45 million acres of national forest lands, opening intact wildlife habitat to fragmentation and degradation. Roadless areas are essential for the recovery and long-term survival of many imperiled species. The Forest Services preliminary biological assessment determined that rescinding the Roadless Rule is likely to adversely affect 327 threatened and endangered species and 71 designated critical habitats (p. 25, 161162). In the Northern Rockies, these lands provide some of the highest-value habitat connections for grizzly bears. Approximately 7.7 million acres of Roadless Areas fall within the most important connectivity pathways for female grizzly bears, and 6.7 million acres fall within the highest-value pathways for male bears. These areas represent nearly half of the habitat needed to reconnect isolated grizzly bear populations and support their continued recovery. In the Southern Appalachians, roadless forests help protect the clean, cold streams required by eastern hellbenders. The U.S. Fish and Wildlife Service has identified sedimentation from human activities as a primary threat to hellbender populations. Intact forest cover helps prevent erosion, maintain water quality, and preserve the rocky stream habitat hellbenders depend on. The Pisgah and Nantahala National Forests support some of the strongest remaining hellbender populations, demonstrating the importance of protecting these largely undeveloped public lands. The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. Once roads are built, habitat fragmentation and ecosystem impacts can persist for decades. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule. References: U.S. Forest Service. Roadless Areas. https://www.fs.usda.gov/managing-land/planning/roadless U.S. Forest Service. Draft EIS. https://usfs-public.app.box.com/s/gomzq6rruwsds8rw50o3j3g429utj8f6/file/2415112742244 Bears Belong. The Roadless Rule: How rescinding the Roadless Rule will negatively impact grizzlies. https://www.bearsbelong.com/roadless-rule U.S. Fish and Wildlife Service. Species Status Assessment Report for the Eastern Hellbender (Cryptobranchus alleganiensis alleganiensis), Version 2.1, 2024. https://iris.fws.gov/APPS/ServCat/DownloadFile/263350 U.S. Forest Service. Becoming the Hellbender. National Forests in North Carolina, March 18, 2025. https://www.fs.usda.gov/r08/northcarolina/newsroom/stories/becoming-hellbender Belote, R.T., et al. (2026). Human access and wildfire ignition patterns in roaded and roadless forests. Fire Ecology, 22. https://link.springer.com/article/10.1186/s42408-026-00450-2
    Full analysis of this comment →
  2. Opposes rescissionA0 noneSubstance 9/24Oct 7, 2026FS-2025-0001-601820
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule.
    Full analysis of this comment →
  3. Opposes rescissionA0 noneSubstance 9/24Oct 7, 2026FS-2025-0001-608393
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. I am a resident of North Carolina and I deeply cherish our National Forest lands and native wildlife. The beauty and recreational value of these lands is in part due to the minimization of habitat fragmentation that the Roadless Rule allows. I do not want to see our public lands diminished in value by additional roads and timber harvest. For nearly 25 years, the Roadless Rule has protected some of America's most important remaining wild forests from road construction, logging, and other forms of industrial development. Rescinding the rule would remove protections from nearly 45 million acres of national forest lands. Roadless areas are essential for the recovery and long-term survival of many imperiled species. The Forest Services preliminary biological assessment determined that rescinding the Roadless Rule is likely to adversely affect 327 threatened and endangered species and 71 designated critical habitats (p. 25, 161162). The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule. References: U.S. Forest Service. Roadless Areas. https://www.fs.usda.gov/managing-land/planning/roadless U.S. Forest Service. Draft EIS. https://usfs-public.app.box.com/s/gomzq6rruwsds8rw50o3j3g429utj8f6/file/2415112742244 U.S. Forest Service. Becoming the Hellbender. National Forests in North Carolina, March 18, 2025. https://www.fs.usda.gov/r08/northcarolina/newsroom/stories/becoming-hellbender Belote, R.T., et al. (2026). Human access and wildfire ignition patterns in roaded and roadless forests. Fire Ecology, 22. https://link.springer.com/article/10.1186/s42408-026-00450-2
    Full analysis of this comment →
  4. Opposes rescissionA0 noneSubstance 9/24Oct 7, 2026FS-2025-0001-610522
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. For nearly 25 years, the Roadless Rule has protected some of America's most important remaining wild forests from road construction - we don't need more roads, we need to protect our natural environment.
    Full analysis of this comment →
  5. Opposes rescissionA0 noneSubstance 9/24Oct 7, 2026FS-2025-0001-611596
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. For nearly 25 years, the Roadless Rule has protected some of America's most important remaining wild forests from road construction, logging, and other forms of industrial development. Rescinding the rule would remove protections from nearly 45 million acres of national forest lands, opening intact wildlife habitat to fragmentation and degradation. Roadless areas are essential for the recovery and long-term survival of many imperiled species. The Forest Services preliminary biological assessment determined that rescinding the Roadless Rule is likely to adversely affect 327 threatened and endangered species and 71 designated critical habitats (p. 25, 161162). In the Northern Rockies, these lands provide some of the highest-value habitat connections for grizzly bears. Approximately 7.7 million acres of Roadless Areas fall within the most important connectivity pathways for female grizzly bears, and 6.7 million acres fall within the highest-value pathways for male bears. These areas represent nearly half of the habitat needed to reconnect isolated grizzly bear populations and support their continued recovery. In the Southern Appalachians, roadless forests help protect the clean, cold streams required by eastern hellbenders. The U.S. Fish and Wildlife Service has identified sedimentation from human activities as a primary threat to hellbender populations. Intact forest cover helps prevent erosion, maintain water quality, and preserve the rocky stream habitat hellbenders depend on. The Pisgah and Nantahala National Forests support some of the strongest remaining hellbender populations, demonstrating the importance of protecting these largely undeveloped public lands. The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. Once roads are built, habitat fragmentation and ecosystem impacts can persist for decades. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule. Very Respectfully, Matthew Maglin
    Full analysis of this comment →
  6. Opposes rescissionA0 noneSubstance 9/24Oct 6, 2026FS-2025-0001-570839
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. For nearly 25 years, the Roadless Rule has protected some of America's most important remaining wild forests from road construction, logging, and other forms of industrial development. Rescinding the rule would remove protections from nearly 45 million acres of national forest lands, opening intact wildlife habitat to fragmentation and degradation. Roadless areas are essential for the recovery and long-term survival of many imperiled species. The Forest Services preliminary biological assessment determined that rescinding the Roadless Rule is likely to adversely affect 327 threatened and endangered species and 71 designated critical habitats (p. 25, 161162). In the Northern Rockies, these lands provide some of the highest-value habitat connections for grizzly bears. Approximately 7.7 million acres of Roadless Areas fall within the most important connectivity pathways for female grizzly bears, and 6.7 million acres fall within the highest-value pathways for male bears. These areas represent nearly half of the habitat needed to reconnect isolated grizzly bear populations and support their continued recovery. In the Southern Appalachians, roadless forests help protect the clean, cold streams required by eastern hellbenders. The U.S. Fish and Wildlife Service has identified sedimentation from human activities as a primary threat to hellbender populations. Intact forest cover helps prevent erosion, maintain water quality, and preserve the rocky stream habitat hellbenders depend on. The Pisgah and Nantahala National Forests support some of the strongest remaining hellbender populations, demonstrating the importance of protecting these largely undeveloped public lands. The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. Once roads are built, habitat fragmentation and ecosystem impacts can persist for decades. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule. References: U.S. Forest Service. Roadless Areas. https://www.fs.usda.gov/managing-land/planning/roadless U.S. Forest Service. Draft EIS. https://usfs-public.app.box.com/s/gomzq6rruwsds8rw50o3j3g429utj8f6/file/2415112742244 Bears Belong. The Roadless Rule: How rescinding the Roadless Rule will negatively impact grizzlies. https://www.bearsbelong.com/roadless-rule U.S. Fish and Wildlife Service. Species Status Assessment Report for the Eastern Hellbender (Cryptobranchus alleganiensis alleganiensis), Version 2.1, 2024. https://iris.fws.gov/APPS/ServCat/DownloadFile/263350 U.S. Forest Service. Becoming the Hellbender. National Forests in North Carolina, March 18, 2025. https://www.fs.usda.gov/r08/northcarolina/newsroom/stories/becoming-hellbender Belote, R.T., et al. (2026). Human access and wildfire ignition patterns in roaded and roadless forests. Fire Ecology, 22. https://link.springer.com/article/10.1186/s42408-026-00450-2
    Full analysis of this comment →
  7. Opposes rescissionA0 noneSubstance 9/24Oct 6, 2026FS-2025-0001-571245
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule.
    Full analysis of this comment →
  8. Opposes rescissionA0 noneSubstance 9/24Oct 6, 2026FS-2025-0001-572463
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. For nearly 25 years, the Roadless Rule has protected some of America's most important remaining wild forests from road construction, logging, and other forms of industrial development. Rescinding the rule would remove protections from nearly 45 million acres of national forest lands, opening intact wildlife habitat to fragmentation and degradation. Roadless areas are essential for the recovery and long-term survival of many imperiled species. The Forest Services preliminary biological assessment determined that rescinding the Roadless Rule is likely to adversely affect 327 threatened and endangered species and 71 designated critical habitats (p. 25, 161162). In the Northern Rockies, these lands provide some of the highest-value habitat connections for grizzly bears. Approximately 7.7 million acres of Roadless Areas fall within the most important connectivity pathways for female grizzly bears, and 6.7 million acres fall within the highest-value pathways for male bears. These areas represent nearly half of the habitat needed to reconnect isolated grizzly bear populations and support their continued recovery. In the Southern Appalachians, roadless forests help protect the clean, cold streams required by eastern hellbenders. The U.S. Fish and Wildlife Service has identified sedimentation from human activities as a primary threat to hellbender populations. Intact forest cover helps prevent erosion, maintain water quality, and preserve the rocky stream habitat hellbenders depend on. The Pisgah and Nantahala National Forests support some of the strongest remaining hellbender populations, demonstrating the importance of protecting these largely undeveloped public lands. The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. Once roads are built, habitat fragmentation and ecosystem impacts can persist for decades. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule. References: U.S. Forest Service. Roadless Areas. https://www.fs.usda.gov/managing-land/planning/roadless U.S. Forest Service. Draft EIS. https://usfs-public.app.box.com/s/gomzq6rruwsds8rw50o3j3g429utj8f6/file/2415112742244 Bears Belong. The Roadless Rule: How rescinding the Roadless Rule will negatively impact grizzlies. https://www.bearsbelong.com/roadless-rule U.S. Fish and Wildlife Service. Species Status Assessment Report for the Eastern Hellbender (Cryptobranchus alleganiensis alleganiensis), Version 2.1, 2024. https://iris.fws.gov/APPS/ServCat/DownloadFile/263350 U.S. Forest Service. Becoming the Hellbender. National Forests in North Carolina, March 18, 2025. https://www.fs.usda.gov/r08/northcarolina/newsroom/stories/becoming-hellbender Belote, R.T., et al. (2026). Human access and wildfire ignition patterns in roaded and roadless forests. Fire Ecology, 22. https://link.springer.com/article/10.1186/s42408-026-00450-2
    Full analysis of this comment →
  9. Opposes rescissionA0 noneSubstance 9/24Oct 6, 2026FS-2025-0001-577608
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. For nearly 25 years, the Roadless Rule has protected some of America's most important remaining wild forests from road construction, logging, and other forms of industrial development. Rescinding the rule would remove protections from nearly 45 million acres of national forest lands, opening intact wildlife habitat to fragmentation and degradation. Roadless areas are essential for the recovery and long-term survival of many imperiled species. The Forest Services preliminary biological assessment determined that rescinding the Roadless Rule is likely to adversely affect 327 threatened and endangered species and 71 designated critical habitats (p. 25, 161162). In the Northern Rockies, these lands provide some of the highest-value habitat connections for grizzly bears. Approximately 7.7 million acres of Roadless Areas fall within the most important connectivity pathways for female grizzly bears, and 6.7 million acres fall within the highest-value pathways for male bears. These areas represent nearly half of the habitat needed to reconnect isolated grizzly bear populations and support their continued recovery. In the Southern Appalachians, roadless forests help protect the clean, cold streams required by eastern hellbenders. The U.S. Fish and Wildlife Service has identified sedimentation from human activities as a primary threat to hellbender populations. Intact forest cover helps prevent erosion, maintain water quality, and preserve the rocky stream habitat hellbenders depend on. The Pisgah and Nantahala National Forests support some of the strongest remaining hellbender populations, demonstrating the importance of protecting these largely undeveloped public lands. The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. Once roads are built, habitat fragmentation and ecosystem impacts can persist for decades. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule. References: U.S. Forest Service. Roadless Areas. https://www.fs.usda.gov/managing-land/planning/roadless U.S. Forest Service. Draft EIS. https://usfs-public.app.box.com/s/gomzq6rruwsds8rw50o3j3g429utj8f6/file/2415112742244 Bears Belong. The Roadless Rule: How rescinding the Roadless Rule will negatively impact grizzlies. https://www.bearsbelong.com/roadless-rule U.S. Fish and Wildlife Service. Species Status Assessment Report for the Eastern Hellbender (Cryptobranchus alleganiensis alleganiensis), Version 2.1, 2024. https://iris.fws.gov/APPS/ServCat/DownloadFile/263350 U.S. Forest Service. Becoming the Hellbender. National Forests in North Carolina, March 18, 2025. https://www.fs.usda.gov/r08/northcarolina/newsroom/stories/becoming-hellbender Belote, R.T., et al. (2026). Human access and wildfire ignition patterns in roaded and roadless forests. Fire Ecology, 22. https://link.springer.com/article/10.1186/s42408-026-00450-2
    Full analysis of this comment →
  10. Opposes rescissionA0 noneSubstance 9/24Oct 6, 2026FS-2025-0001-577912
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. For nearly 25 years, the Roadless Rule has protected some of America's most important remaining wild forests from road construction, logging, and other forms of industrial development. Rescinding the rule would remove protections from nearly 45 million acres of national forest lands, opening intact wildlife habitat to fragmentation and degradation. Roadless areas are essential for the recovery and long-term survival of many imperiled species. The Forest Services preliminary biological assessment determined that rescinding the Roadless Rule is likely to adversely affect 327 threatened and endangered species and 71 designated critical habitats (p. 25, 161162). In the Northern Rockies, these lands provide some of the highest-value habitat connections for grizzly bears. Approximately 7.7 million acres of Roadless Areas fall within the most important connectivity pathways for female grizzly bears, and 6.7 million acres fall within the highest-value pathways for male bears. These areas represent nearly half of the habitat needed to reconnect isolated grizzly bear populations and support their continued recovery. In the Southern Appalachians, roadless forests help protect the clean, cold streams required by eastern hellbenders. The U.S. Fish and Wildlife Service has identified sedimentation from human activities as a primary threat to hellbender populations. Intact forest cover helps prevent erosion, maintain water quality, and preserve the rocky stream habitat hellbenders depend on. The Pisgah and Nantahala National Forests support some of the strongest remaining hellbender populations, demonstrating the importance of protecting these largely undeveloped public lands. The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. Once roads are built, habitat fragmentation and ecosystem impacts can persist for decades. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule. References: U.S. Forest Service. Roadless Areas. https://www.fs.usda.gov/managing-land/planning/roadless U.S. Forest Service. Draft EIS. https://usfs-public.app.box.com/s/gomzq6rruwsds8rw50o3j3g429utj8f6/file/2415112742244 Bears Belong. The Roadless Rule: How rescinding the Roadless Rule will negatively impact grizzlies. https://www.bearsbelong.com/roadless-rule U.S. Fish and Wildlife Service. Species Status Assessment Report for the Eastern Hellbender (Cryptobranchus alleganiensis alleganiensis), Version 2.1, 2024. https://iris.fws.gov/APPS/ServCat/DownloadFile/263350 U.S. Forest Service. Becoming the Hellbender. National Forests in North Carolina, March 18, 2025. https://www.fs.usda.gov/r08/northcarolina/newsroom/stories/becoming-hellbender Belote, R.T., et al. (2026). Human access and wildfire ignition patterns in roaded and roadless forests. Fire Ecology, 22. https://link.springer.com/article/10.1186/s42408-026-00450-2
    Full analysis of this comment →
  11. Opposes rescissionA0 noneSubstance 9/24Oct 6, 2026FS-2025-0001-581824
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    The 2001 Roadless Area Conservation Rule should not be rescinded because of the risk of further degrading the already degraded and fragmented wild areas that we need to conserve. The benefits of wild areas are immense, supporting ecological stability, air quality, outdoor recreation, endangered species, water quality, and more. Rescinding this rule would introduce risks to our lands that we cannot afford to take. The timber industry needs to adapt to the modern understanding of the importance of forest cover, and not the other way around. Roadless areas are also essential for the recovery and long-term survival of many imperiled species. The Forest Services preliminary biological assessment determined that rescinding the Roadless Rule is likely to adversely affect 327 threatened and endangered species and 71 designated critical habitats. The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. Once roads are built, habitat fragmentation and ecosystem impacts can persist for decades. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule. References: U.S. Forest Service. Roadless Areas. https://www.fs.usda.gov/managing-land/planning/roadless U.S. Forest Service. Draft EIS. https://usfs-public.app.box.com/s/gomzq6rruwsds8rw50o3j3g429utj8f6/file/2415112742244 Bears Belong. The Roadless Rule: How rescinding the Roadless Rule will negatively impact grizzlies. https://www.bearsbelong.com/roadless-rule U.S. Fish and Wildlife Service. Species Status Assessment Report for the Eastern Hellbender (Cryptobranchus alleganiensis alleganiensis), Version 2.1, 2024. https://iris.fws.gov/APPS/ServCat/DownloadFile/263350 U.S. Forest Service. Becoming the Hellbender. National Forests in North Carolina, March 18, 2025. https://www.fs.usda.gov/r08/northcarolina/newsroom/stories/becoming-hellbender Belote, R.T., et al. (2026). Human access and wildfire ignition patterns in roaded and roadless forests. Fire Ecology, 22. https://link.springer.com/article/10.1186/s42408-026-00450-2
    Full analysis of this comment →
  12. Opposes rescissionA0 noneSubstance 9/24Oct 6, 2026FS-2025-0001-586388
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. For nearly 25 years, the Roadless Rule has protected some of America's most important remaining wild forests from road construction, logging, and other forms of industrial development. Rescinding the rule would remove protections from nearly 45 million acres of national forest lands, opening intact wildlife habitat to fragmentation and degradation. Roadless areas are essential for the recovery and long-term survival of many imperiled species. The Forest Services preliminary biological assessment determined that rescinding the Roadless Rule is likely to adversely affect 327 threatened and endangered species and 71 designated critical habitats (p. 25, 161162). In the Northern Rockies, these lands provide some of the highest-value habitat connections for grizzly bears. Approximately 7.7 million acres of Roadless Areas fall within the most important connectivity pathways for female grizzly bears, and 6.7 million acres fall within the highest-value pathways for male bears. These areas represent nearly half of the habitat needed to reconnect isolated grizzly bear populations and support their continued recovery. In the Southern Appalachians, roadless forests help protect the clean, cold streams required by eastern hellbenders. The U.S. Fish and Wildlife Service has identified sedimentation from human activities as a primary threat to hellbender populations. Intact forest cover helps prevent erosion, maintain water quality, and preserve the rocky stream habitat hellbenders depend on. The Pisgah and Nantahala National Forests support some of the strongest remaining hellbender populations, demonstrating the importance of protecting these largely undeveloped public lands. The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. Once roads are built, habitat fragmentation and ecosystem impacts can persist for decades. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule. References: U.S. Forest Service. Roadless Areas. https://www.fs.usda.gov/managing-land/planning/roadless U.S. Forest Service. Draft EIS. https://usfs-public.app.box.com/s/gomzq6rruwsds8rw50o3j3g429utj8f6/file/2415112742244 Bears Belong. The Roadless Rule: How rescinding the Roadless Rule will negatively impact grizzlies. https://www.bearsbelong.com/roadless-rule U.S. Fish and Wildlife Service. Species Status Assessment Report for the Eastern Hellbender (Cryptobranchus alleganiensis alleganiensis), Version 2.1, 2024. https://iris.fws.gov/APPS/ServCat/DownloadFile/263350 U.S. Forest Service. Becoming the Hellbender. National Forests in North Carolina, March 18, 2025. https://www.fs.usda.gov/r08/northcarolina/newsroom/stories/becoming-hellbender Belote, R.T., et al. (2026). Human access and wildfire ignition patterns in roaded and roadless forests. Fire Ecology, 22. https://link.springer.com/article/10.1186/s42408-026-00450-2
    Full analysis of this comment →
  13. Opposes rescissionA0 noneSubstance 9/24Oct 6, 2026FS-2025-0001-587297
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. For nearly 25 years, the Roadless Rule has protected some of America's most important remaining wild forests from road construction, logging, and other forms of industrial development. Rescinding the rule would remove protections from nearly 45 million acres of national forest lands, opening intact wildlife habitat to fragmentation and degradation. Roadless areas are essential for the recovery and long-term survival of many imperiled species. The Forest Services preliminary biological assessment determined that rescinding the Roadless Rule is likely to adversely affect 327 threatened and endangered species and 71 designated critical habitats (p. 25, 161162). In the Northern Rockies, these lands provide some of the highest-value habitat connections for grizzly bears. Approximately 7.7 million acres of Roadless Areas fall within the most important connectivity pathways for female grizzly bears, and 6.7 million acres fall within the highest-value pathways for male bears. These areas represent nearly half of the habitat needed to reconnect isolated grizzly bear populations and support their continued recovery. In the Southern Appalachians, roadless forests help protect the clean, cold streams required by eastern hellbenders. The U.S. Fish and Wildlife Service has identified sedimentation from human activities as a primary threat to hellbender populations. Intact forest cover helps prevent erosion, maintain water quality, and preserve the rocky stream habitat hellbenders depend on. The Pisgah and Nantahala National Forests support some of the strongest remaining hellbender populations, demonstrating the importance of protecting these largely undeveloped public lands. The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. Once roads are built, habitat fragmentation and ecosystem impacts can persist for decades. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule. References: U.S. Forest Service. Roadless Areas. https://www.fs.usda.gov/managing-land/planning/roadless U.S. Forest Service. Draft EIS. https://usfs-public.app.box.com/s/gomzq6rruwsds8rw50o3j3g429utj8f6/file/2415112742244 Bears Belong. The Roadless Rule: How rescinding the Roadless Rule will negatively impact grizzlies. https://www.bearsbelong.com/roadless-rule U.S. Fish and Wildlife Service. Species Status Assessment Report for the Eastern Hellbender (Cryptobranchus alleganiensis alleganiensis), Version 2.1, 2024. https://iris.fws.gov/APPS/ServCat/DownloadFile/263350 U.S. Forest Service. Becoming the Hellbender. National Forests in North Carolina, March 18, 2025. https://www.fs.usda.gov/r08/northcarolina/newsroom/stories/becoming-hellbender Belote, R.T., et al. (2026). Human access and wildfire ignition patterns in roaded and roadless forests. Fire Ecology, 22. https://link.springer.com/article/10.1186/s42408-026-00450-2
    Full analysis of this comment →
  14. Opposes rescissionA0 noneSubstance 9/24Oct 6, 2026FS-2025-0001-588308
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. For nearly 25 years, the Roadless Rule has protected some of America's most important remaining wild forests from road construction, logging, and other forms of industrial development. Rescinding the rule would remove protections from nearly 45 million acres of national forest lands, opening intact wildlife habitat to fragmentation and degradation. Roadless areas are essential for the recovery and long-term survival of many imperiled species. The Forest Services preliminary biological assessment determined that rescinding the Roadless Rule is likely to adversely affect 327 threatened and endangered species and 71 designated critical habitats (p. 25, 161162). In the Northern Rockies, these lands provide some of the highest-value habitat connections for grizzly bears. Approximately 7.7 million acres of Roadless Areas fall within the most important connectivity pathways for female grizzly bears, and 6.7 million acres fall within the highest-value pathways for male bears. These areas represent nearly half of the habitat needed to reconnect isolated grizzly bear populations and support their continued recovery. In the Southern Appalachians, roadless forests help protect the clean, cold streams required by eastern hellbenders. The U.S. Fish and Wildlife Service has identified sedimentation from human activities as a primary threat to hellbender populations. Intact forest cover helps prevent erosion, maintain water quality, and preserve the rocky stream habitat hellbenders depend on. The Pisgah and Nantahala National Forests support some of the strongest remaining hellbender populations, demonstrating the importance of protecting these largely undeveloped public lands. The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. Once roads are built, habitat fragmentation and ecosystem impacts can persist for decades. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule. References: U.S. Forest Service. Roadless Areas. https://www.fs.usda.gov/managing-land/planning/roadless U.S. Forest Service. Draft EIS. https://usfs-public.app.box.com/s/gomzq6rruwsds8rw50o3j3g429utj8f6/file/2415112742244 Bears Belong. The Roadless Rule: How rescinding the Roadless Rule will negatively impact grizzlies. https://www.bearsbelong.com/roadless-rule U.S. Fish and Wildlife Service. Species Status Assessment Report for the Eastern Hellbender (Cryptobranchus alleganiensis alleganiensis), Version 2.1, 2024. https://iris.fws.gov/APPS/ServCat/DownloadFile/263350 U.S. Forest Service. Becoming the Hellbender. National Forests in North Carolina, March 18, 2025. https://www.fs.usda.gov/r08/northcarolina/newsroom/stories/becoming-hellbender Belote, R.T., et al. (2026). Human access and wildfire ignition patterns in roaded and roadless forests. Fire Ecology, 22. https://link.springer.com/article/10.1186/s42408-026-00450-2
    Full analysis of this comment →
  15. Opposes rescissionA0 noneSubstance 9/24Oct 6, 2026FS-2025-0001-589762
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. For years the Roadless Rule has protected some of America's most important wild forests from road construction, logging, and other forms of industrial development. Rescinding the rule would remove protections from nearly 45 million acres of national forest lands, opening intact wildlife habitat to fragmentation and degradation. We’ve already done so much damage, we should be saving more wild lands not less. Roadless areas are necessary for the recovery and long-term survival of many imperiled plant and animal species. In the Northern Rockies, these lands provide some of the highest-value habitat connections for grizzly bears. Approximately 7.7 million acres of Roadless Areas fall within the most important connectivity pathways for female grizzly bears, and 6.7 million acres fall within the highest-value pathways for male bears. These areas represent nearly half of the habitat needed to reconnect isolated grizzly bear populations and support their continued recovery. In the Southern Appalachians, roadless forests help protect the clean, cold streams required by eastern hellbenders. The U.S. Fish and Wildlife Service has identified sedimentation from human activities as a primary threat to hellbender populations. Intact forest cover helps prevent erosion, maintain water quality, and preserve the rocky stream habitat hellbenders depend on. The Pisgah and Nantahala National Forests support some of the strongest remaining hellbender populations, demonstrating the importance of protecting these largely undeveloped public lands. The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. Once roads are built, habitat fragmentation and ecosystem impacts can persist for decades. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule.
    Full analysis of this comment →
  16. Opposes rescissionA0 noneSubstance 9/24Oct 6, 2026FS-2025-0001-590705
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule.
    Full analysis of this comment →
  17. Opposes rescissionA0 noneSubstance 9/24Oct 6, 2026FS-2025-0001-592692
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. For nearly 25 years, the Roadless Rule has protected some of America's most important remaining wild forests from road construction, logging, and other forms of industrial development. Rescinding the rule would remove protections from nearly 45 million acres of national forest lands, opening intact wildlife habitat to fragmentation and degradation. Roadless areas are essential for the recovery and long-term survival of many imperiled species. The Forest Services preliminary biological assessment determined that rescinding the Roadless Rule is likely to adversely affect 327 threatened and endangered species and 71 designated critical habitats (p. 25, 161162). In the Northern Rockies, these lands provide some of the highest-value habitat connections for grizzly bears. Approximately 7.7 million acres of Roadless Areas fall within the most important connectivity pathways for female grizzly bears, and 6.7 million acres fall within the highest-value pathways for male bears. These areas represent nearly half of the habitat needed to reconnect isolated grizzly bear populations and support their continued recovery. In the Southern Appalachians, roadless forests help protect the clean, cold streams required by eastern hellbenders. The U.S. Fish and Wildlife Service has identified sedimentation from human activities as a primary threat to hellbender populations. Intact forest cover helps prevent erosion, maintain water quality, and preserve the rocky stream habitat hellbenders depend on. The Pisgah and Nantahala National Forests support some of the strongest remaining hellbender populations, demonstrating the importance of protecting these largely undeveloped public lands. The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. Once roads are built, habitat fragmentation and ecosystem impacts can persist for decades. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule. References: U.S. Forest Service. Roadless Areas. https://www.fs.usda.gov/managing-land/planning/roadless U.S. Forest Service. Draft EIS. https://usfs-public.app.box.com/s/gomzq6rruwsds8rw50o3j3g429utj8f6/file/2415112742244 Bears Belong. The Roadless Rule: How rescinding the Roadless Rule will negatively impact grizzlies. https://www.bearsbelong.com/roadless-rule U.S. Fish and Wildlife Service. Species Status Assessment Report for the Eastern Hellbender (Cryptobranchus alleganiensis alleganiensis), Version 2.1, 2024. https://iris.fws.gov/APPS/ServCat/DownloadFile/263350 U.S. Forest Service. Becoming the Hellbender. National Forests in North Carolina, March 18, 2025. https://www.fs.usda.gov/r08/northcarolina/newsroom/stories/becoming-hellbender Belote, R.T., et al. (2026). Human access and wildfire ignition patterns in roaded and roadless forests. Fire Ecology, 22. https://link.springer.com/article/10.1186/s42408-026-00450-2
    Full analysis of this comment →
  18. Opposes rescissionA0 noneSubstance 9/24Oct 6, 2026FS-2025-0001-593478
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. For nearly 25 years, the Roadless Rule has protected some of America's most important remaining wild forests from road construction, logging, and other forms of industrial development. Rescinding the rule would remove protections from nearly 45 million acres of national forest lands, opening intact wildlife habitat to fragmentation and degradation. Roadless areas are essential for the recovery and long-term survival of many imperiled species. The Forest Services preliminary biological assessment determined that rescinding the Roadless Rule is likely to adversely affect 327 threatened and endangered species and 71 designated critical habitats (p. 25, 161162). In the Northern Rockies, these lands provide some of the highest-value habitat connections for grizzly bears. Approximately 7.7 million acres of Roadless Areas fall within the most important connectivity pathways for female grizzly bears, and 6.7 million acres fall within the highest-value pathways for male bears. These areas represent nearly half of the habitat needed to reconnect isolated grizzly bear populations and support their continued recovery. In the Southern Appalachians, roadless forests help protect the clean, cold streams required by eastern hellbenders. The U.S. Fish and Wildlife Service has identified sedimentation from human activities as a primary threat to hellbender populations. Intact forest cover helps prevent erosion, maintain water quality, and preserve the rocky stream habitat hellbenders depend on. The Pisgah and Nantahala National Forests support some of the strongest remaining hellbender populations, demonstrating the importance of protecting these largely undeveloped public lands. The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. Once roads are built, habitat fragmentation and ecosystem impacts can persist for decades. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule. References: U.S. Forest Service. Roadless Areas. https://www.fs.usda.gov/managing-land/planning/roadless U.S. Forest Service. Draft EIS. https://usfs-public.app.box.com/s/gomzq6rruwsds8rw50o3j3g429utj8f6/file/2415112742244 Bears Belong. The Roadless Rule: How rescinding the Roadless Rule will negatively impact grizzlies. https://www.bearsbelong.com/roadless-rule U.S. Fish and Wildlife Service. Species Status Assessment Report for the Eastern Hellbender (Cryptobranchus alleganiensis alleganiensis), Version 2.1, 2024. https://iris.fws.gov/APPS/ServCat/DownloadFile/263350 U.S. Forest Service. Becoming the Hellbender. National Forests in North Carolina, March 18, 2025. https://www.fs.usda.gov/r08/northcarolina/newsroom/stories/becoming-hellbender Belote, R.T., et al. (2026). Human access and wildfire ignition patterns in roaded and roadless forests. Fire Ecology, 22. https://link.springer.com/article/10.1186/s42408-026-00450-2
    Full analysis of this comment →
  19. Opposes rescissionA0 noneSubstance 9/24Oct 6, 2026FS-2025-0001-596132
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. For nearly 25 years, the Roadless Rule has protected some of America's most important remaining wild forests from road construction, logging, and other forms of industrial development. Rescinding the rule would remove protections from nearly 45 million acres of national forest lands, opening intact wildlife habitat to fragmentation and degradation. Roadless areas are essential for the recovery and long-term survival of many imperiled species. The Forest Services preliminary biological assessment determined that rescinding the Roadless Rule is likely to adversely affect 327 threatened and endangered species and 71 designated critical habitats (p. 25, 161162). In the Northern Rockies, these lands provide some of the highest-value habitat connections for grizzly bears. Approximately 7.7 million acres of Roadless Areas fall within the most important connectivity pathways for female grizzly bears, and 6.7 million acres fall within the highest-value pathways for male bears. These areas represent nearly half of the habitat needed to reconnect isolated grizzly bear populations and support their continued recovery. In the Southern Appalachians, roadless forests help protect the clean, cold streams required by eastern hellbenders. The U.S. Fish and Wildlife Service has identified sedimentation from human activities as a primary threat to hellbender populations. Intact forest cover helps prevent erosion, maintain water quality, and preserve the rocky stream habitat hellbenders depend on. The Pisgah and Nantahala National Forests support some of the strongest remaining hellbender populations, demonstrating the importance of protecting these largely undeveloped public lands. The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. Once roads are built, habitat fragmentation and ecosystem impacts can persist for decades. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule. References: U.S. Forest Service. Roadless Areas. https://www.fs.usda.gov/managing-land/planning/roadless U.S. Forest Service. Draft EIS. https://usfs-public.app.box.com/s/gomzq6rruwsds8rw50o3j3g429utj8f6/file/2415112742244 Bears Belong. The Roadless Rule: How rescinding the Roadless Rule will negatively impact grizzlies. https://www.bearsbelong.com/roadless-rule U.S. Fish and Wildlife Service. Species Status Assessment Report for the Eastern Hellbender (Cryptobranchus alleganiensis alleganiensis), Version 2.1, 2024. https://iris.fws.gov/APPS/ServCat/DownloadFile/263350 U.S. Forest Service. Becoming the Hellbender. National Forests in North Carolina, March 18, 2025. https://www.fs.usda.gov/r08/northcarolina/newsroom/stories/becoming-hellbender Belote, R.T., et al. (2026). Human access and wildfire ignition patterns in roaded and roadless forests. Fire Ecology, 22. https://link.springer.com/article/10.1186/s42408-026-00450-2
    Full analysis of this comment →
  20. Opposes rescissionA0 noneSubstance 9/24Oct 6, 2026FS-2025-0001-596683
    PLACESTANDDOCGAPEVIDASKALTLAW

    Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 12,177 submissions in its group.

    I strongly oppose the U.S. Forest Service's proposal to rescind the 2001 Roadless Area Conservation Rule. For nearly 25 years, the Roadless Rule has protected some of America's most important remaining wild forests from road construction, logging, and other forms of industrial development. Rescinding the rule would remove protections from nearly 45 million acres of national forest lands, opening intact wildlife habitat to fragmentation and degradation. Roadless areas are essential for the recovery and long-term survival of many imperiled species. The Forest Services preliminary biological assessment determined that rescinding the Roadless Rule is likely to adversely affect 327 threatened and endangered species and 71 designated critical habitats (p. 25, 161162). In the Northern Rockies, these lands provide some of the highest-value habitat connections for grizzly bears. Approximately 7.7 million acres of Roadless Areas fall within the most important connectivity pathways for female grizzly bears, and 6.7 million acres fall within the highest-value pathways for male bears. These areas represent nearly half of the habitat needed to reconnect isolated grizzly bear populations and support their continued recovery. In the Southern Appalachians, roadless forests help protect the clean, cold streams required by eastern hellbenders. The U.S. Fish and Wildlife Service has identified sedimentation from human activities as a primary threat to hellbender populations. Intact forest cover helps prevent erosion, maintain water quality, and preserve the rocky stream habitat hellbenders depend on. The Pisgah and Nantahala National Forests support some of the strongest remaining hellbender populations, demonstrating the importance of protecting these largely undeveloped public lands. The Forest Service has argued that rescinding the Roadless Rule could help address wildfire risk, but recent peer-reviewed research suggests otherwise. A 2026 study found that wildfires are approximately four times more likely to ignite near roads than in roadless areas. Roads increase human access and human-caused ignition sources, including unattended campfires, discarded cigarettes, and vehicle-related sparks. Opening intact backcountry forests to additional road construction is not a sound wildfire prevention strategy. Roadless areas protect wildlife, clean water, climate resilience, and ecological connectivity. Once roads are built, habitat fragmentation and ecosystem impacts can persist for decades. At a time when biodiversity loss and habitat degradation continue to threaten wildlife across the United States, the Forest Service should be strengthening protections for roadless areas rather than eliminating them. I urge the U.S. Forest Service to withdraw this proposal and maintain the protections provided by the 2001 Roadless Area Conservation Rule. References: U.S. Forest Service. Roadless Areas. https://www.fs.usda.gov/managing-land/planning/roadless U.S. Forest Service. Draft EIS. https://usfs-public.app.box.com/s/gomzq6rruwsds8rw50o3j3g429utj8f6/file/2415112742244 Bears Belong. The Roadless Rule: How rescinding the Roadless Rule will negatively impact grizzlies. https://www.bearsbelong.com/roadless-rule U.S. Fish and Wildlife Service. Species Status Assessment Report for the Eastern Hellbender (Cryptobranchus alleganiensis alleganiensis), Version 2.1, 2024. https://iris.fws.gov/APPS/ServCat/DownloadFile/263350 U.S. Forest Service. Becoming the Hellbender. National Forests in North Carolina, March 18, 2025. https://www.fs.usda.gov/r08/northcarolina/newsroom/stories/becoming-hellbender Belote, R.T., et al. (2026). Human access and wildfire ignition patterns in roaded and roadless forests. Fire Ecology, 22. https://link.springer.com/article/10.1186/s42408-026-00450-2
    Full analysis of this comment →

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