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 rescissionA3 weakSubstance 12/24Owed an answerOct 6, 2026FS-2025-0001-573923
PLACESTANDDOCGAPEVIDASKALTLAW
Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.This comment stands for all 14 submissions in its group.
Dear Joshua White,
I've lived in Sitka on the Tongass almost all my life. I process fish deer caught on the Tongass to fill my families' freezers, I harvest mushrooms and berries in the woods and I depend on these places for recreation, health and artistic inspiration. This place is special, and I'm frankly tired of telling the USDA every year why it's so special.
The 2001 Roadless Rule has safeguarded the world's largest intact temperate rainforest for nearly twenty-five years, and removing it would be a costly, shortsighted decision that fails the people, economy, and ecosystems of Southeast Alaska.
I don't want to endanger Alaskans' ways of life by rescinding the Roadless Rule. It will hurt our economies, like our visitor industry and commercial fishing. This is what is at stake. The Tongass is the backbone of life and livelihood in Southeast Alaska. It produces the salmon that our subsistence, sport and commercial fisheries depend on. It provides recreation and tourism opportunities that anchor the regions largest private sector industry. It produces our hydropower from abundant rainfall. Roadless forests are critical for our subsistence foods, and subsistence harvesters have repeatedly testified through ANILCA 810 hearings that removing the Roadless Rule will result in reduced subsistence opportunity and productivity.
The Tongass is a temperate rainforest that is not subject to the wildfires and the wildland-urban interface issues of national forests down South, and it should not be managed for these issues. Roadbuilding and timber harvest will not reduce insects and disease; it will exacerbate these issues by reducing climate resilience.
Removing the 2001 Roadless Rule would also be fiscally irresponsible. In the proposed rule, the agency itself recognizes that there is a $6.9 billion backlog in road maintenance. Taxpayers have subsidized the Tongass timber program at a rate of over $25 million per year, with individual timber sales like Big Thorne losing roughly ten dollars for every dollar of revenue generated. Why should we pay to subsidize a failing timber industry, at the expense of our tourism and outdoor recreation industries? Flexibility and exceptions are important - and the 2001 Roadless Rule already includes them. Roads for hydroelectric projects, mining, telecommunications, and other community needs are allowed 13 of Southeast's 16 hydroelectric projects are located in Roadless areas. These are things I've said at past Roadless hearings, and heard Alaskans say multiple times for the last 8 years when I moved back to my hometown here in Sitka.
There are so many better things that the Forest Service can support. In fact, I believe many great ideas from Alaskans exist in a new Forest Plan draft: keep the Roadless Rule, invest in recreation and young growth timber, support commercial fishing. Do these things instead.
Removing the 2001 Roadless Rule is a distraction from the work that needs to be done to support our communities. The USDA is wasting time, money, and staff capacity to remove a popular land management rule, while acknowledging themselves that market conditions, operability, and staff time to do actual work on the ground are limited. This is wasteful spending at its worst. The Forest Service should conduct a cost-benefit analysis for the economic impact of removing Roadless protections versus investing in restoration, road and trail maintenance, and recreation infrastructure.
If the USDA is actually interested in prioritizing the needs and interests of local forest users, I urge them to listen to what Southeast Alaskans have been saying all along: abandon the proposed repeal and keep the 2001 Roadless Rule in place on the Tongass National Forest. I support Alternative 1.
Ryan Morse
Dear Joshua White,
Hello,
My name is Zach Brown and I have lived on the Tongass for most of my life. I run Tidelines Institute, an education & leadership nonprofit, and I take students hiking and paddling in the Tongass every day of the summer and into the fall. I also feed my family by hunting deer and catching coho salmon on the Tongass. This is my home, my livelihood, and my joy in subsistence practices. It does not need more roads.
The 2001 Roadless Rule has safeguarded the world's largest intact temperate rainforest for nearly twenty-five years, and removing it would be a costly, shortsighted decision that fails the people, economy, and ecosystems of Southeast Alaska.
The Tongass is a salmon stronghold and a great reservoir of carbon. It is also a place people come to find beauty. My biggest concern about eliminating the Roadless Rule is: who benefits? Regular folks benefit far more from wild places, subsistence, and tourism. Only taxpayer-subsidized logging can benefit from removing Roadless protections. That is directly at odds with the myriad other benefits local people find on the Tongass. These trees are worth far more standing. This is what is at stake. The Tongass is the backbone of life and livelihood in Southeast Alaska. It produces the salmon that our subsistence, sport and commercial fisheries depend on. It provides recreation and tourism opportunities that anchor the regions largest private sector industry. It produces our hydropower from abundant rainfall. Roadless forests are critical for our subsistence foods, and subsistence harvesters have repeatedly testified through ANILCA 810 hearings that removing the Roadless Rule will result in reduced subsistence opportunity and productivity.
The Tongass is a temperate rainforest that is not subject to the wildfires and the wildland-urban interface issues of national forests down South, and it should not be managed for these issues. Roadbuilding and timber harvest will not reduce insects and disease; it will exacerbate these issues by reducing climate resilience.
Removing the 2001 Roadless Rule would also be fiscally irresponsible. In the proposed rule, the agency itself recognizes that there is a $6.9 billion backlog in road maintenance. Taxpayers have subsidized the Tongass timber program at a rate of over $25 million per year, with individual timber sales like Big Thorne losing roughly ten dollars for every dollar of revenue generated. Why should we pay to subsidize a failing timber industry, at the expense of our tourism and outdoor recreation industries? Flexibility and exceptions are important - and the 2001 Roadless Rule already includes them. Roads for hydroelectric projects, mining, telecommunications, and other community needs are allowed 13 of Southeast's 16 hydroelectric projects are located in Roadless areas.
Keep Roadless Protections. Keep Salmon Strongholds.
Removing the 2001 Roadless Rule is a distraction from the work that needs to be done to support our communities. The USDA is wasting time, money, and staff capacity to remove a popular land management rule, while acknowledging themselves that market conditions, operability, and staff time to do actual work on the ground are limited. This is wasteful spending at its worst. The Forest Service should conduct a cost-benefit analysis for the economic impact of removing Roadless protections versus investing in restoration, road and trail maintenance, and recreation infrastructure.
If the USDA is actually interested in prioritizing the needs and interests of local forest users, I urge them to listen to what Southeast Alaskans have been saying all along: abandon the proposed repeal and keep the 2001 Roadless Rule in place on the Tongass National Forest. I support Alternative 1.
Zachary Brown
Dear Joshua White,
Every summer and Fall I spend time in the Tongass National Forest hiking, fishing, boating, and foraging. We need wild areas to sustain us.
The 2001 Roadless Rule has safeguarded the world's largest intact temperate rainforest for nearly twenty-five years, and removing it would be a costly, shortsighted decision that fails the people, economy, and ecosystems of Southeast Alaska.
I am concerned with negative impacts that roads and logging will have on our salmon, deer, subsistence. This is what is at stake. The Tongass is the backbone of life and livelihood in Southeast Alaska. It produces the salmon that our subsistence, sport and commercial fisheries depend on. It provides recreation and tourism opportunities that anchor the regions largest private sector industry. It produces our hydropower from abundant rainfall. Roadless forests are critical for our subsistence foods, and subsistence harvesters have repeatedly testified through ANILCA 810 hearings that removing the Roadless Rule will result in reduced subsistence opportunity and productivity.
The Tongass is a temperate rainforest that is not subject to the wildfires and the wildland-urban interface issues of national forests down South, and it should not be managed for these issues. Roadbuilding and timber harvest will not reduce insects and disease; it will exacerbate these issues by reducing climate resilience.
Removing the 2001 Roadless Rule would also be fiscally irresponsible. In the proposed rule, the agency itself recognizes that there is a $6.9 billion backlog in road maintenance. Taxpayers have subsidized the Tongass timber program at a rate of over $25 million per year, with individual timber sales like Big Thorne losing roughly ten dollars for every dollar of revenue generated. Why should we pay to subsidize a failing timber industry, at the expense of our tourism and outdoor recreation industries? Flexibility and exceptions are important - and the 2001 Roadless Rule already includes them. Roads for hydroelectric projects, mining, telecommunications, and other community needs are allowed 13 of Southeast's 16 hydroelectric projects are located in Roadless areas.
The forest service needs to keep the Tongass wild and invest in our future generations by offering traditional knowledge programs
Removing the 2001 Roadless Rule is a distraction from the work that needs to be done to support our communities. The USDA is wasting time, money, and staff capacity to remove a popular land management rule, while acknowledging themselves that market conditions, operability, and staff time to do actual work on the ground are limited. This is wasteful spending at its worst. The Forest Service should conduct a cost-benefit analysis for the economic impact of removing Roadless protections versus investing in restoration, road and trail maintenance, and recreation infrastructure.
If the USDA is actually interested in prioritizing the needs and interests of local forest users, I urge them to listen to what Southeast Alaskans have been saying all along: abandon the proposed repeal and keep the 2001 Roadless Rule in place on the Tongass National Forest. I support Alternative 1.
Carol Race
Dear Joshua White,
I am living as I have for the last 42 years in Tenakee Springs, Alaska.
Tenakee Inlet needs every possible ecological protection available by law to be put in place immediately, before more harm is done to the ecosystem.
The 2001 Roadless Rule has safeguarded the world's largest intact temperate rainforest for nearly twenty-five years, and removing it would be a costly, shortsighted decision that fails the people, economy, and ecosystems of Southeast Alaska.
Opening over 9 million acres of the Tongass National Forest to old growth logging and road building would be an ecological disaster and destruction of irreplaceable resources and research areas. This is what is at stake. The Tongass is the backbone of life and livelihood in Southeast Alaska. It produces the salmon that our subsistence, sport and commercial fisheries depend on. It provides recreation and tourism opportunities that anchor the regions largest private sector industry. It produces our hydropower from abundant rainfall. Roadless forests are critical for our subsistence foods, and subsistence harvesters have repeatedly testified through ANILCA 810 hearings that removing the Roadless Rule will result in reduced subsistence opportunity and productivity.
The Tongass is a temperate rainforest that is not subject to the wildfires and the wildland-urban interface issues of national forests down South, and it should not be managed for these issues. Roadbuilding and timber harvest will not reduce insects and disease; it will exacerbate these issues by reducing climate resilience.
Removing the 2001 Roadless Rule would also be fiscally irresponsible. In the proposed rule, the agency itself recognizes that there is a $6.9 billion backlog in road maintenance. Taxpayers have subsidized the Tongass timber program at a rate of over $25 million per year, with individual timber sales like Big Thorne losing roughly ten dollars for every dollar of revenue generated. Why should we pay to subsidize a failing timber industry, at the expense of our tourism and outdoor recreation industries? Flexibility and exceptions are important - and the 2001 Roadless Rule already includes them. Roads for hydroelectric projects, mining, telecommunications, and other community needs are allowed 13 of Southeast's 16 hydroelectric projects are located in Roadless areas.
I would prefer to see the forest service invest in fire fighting, maintenance and containment of areas already developed, support for research, protection of wildlife, and support for the development and oversight of small, local, low impact industries based in the best reuse of old growth resources in trees already down, like fish traps. For example, Sitka spruce for cello, mandolin, guitar tops and frames instead of logging for low uses or out of country sales.
Removing the 2001 Roadless Rule is a distraction from the work that needs to be done to support our communities. The USDA is wasting time, money, and staff capacity to remove a popular land management rule, while acknowledging themselves that market conditions, operability, and staff time to do actual work on the ground are limited. This is wasteful spending at its worst. The Forest Service should conduct a cost-benefit analysis for the economic impact of removing Roadless protections versus investing in restoration, road and trail maintenance, and recreation infrastructure.
If the USDA is actually interested in prioritizing the needs and interests of local forest users, I urge them to listen to what Southeast Alaskans have been saying all along: abandon the proposed repeal and keep the 2001 Roadless Rule in place on the Tongass National Forest. I support Alternative 1.
Robin Hiersche
Dear Joshua White,
I grew up in Sitka, AK, in the midst of the Tongass National Forest. I spent 5 summers at a fish camp learning how to use the forest and the ocean to feed and shelter myself, hearing stories from Elders about their connections to the land, and enjoying the solitude and beauty. I spent summers on a fishing boat, traveling around communities like Port Alexander and Angoon. The Tongass is a place like no other and home to an interconnected web of plants and animals that humans have the privilege to be a part of.
The 2001 Roadless Rule has safeguarded the world's largest intact temperate rainforest for nearly twenty-five years, and removing it would be a costly, shortsighted decision that fails the people, economy, and ecosystems of Southeast Alaska.
My concern about opening up the Tongass to roads to industry is that we will never get it back. It will be destroyed for short term gain and long term loss. We have a wrong idea that nature has no value apart from large-scale extraction. Roadless wilderness has a lot of value to the communities that hunt, fish, kayak, and hike within and around it. It has value to the animal populations that people depend on. It has value in clean water for fishing, robust fish and wildlife systems, and climate preservation. This is what is at stake. The Tongass is the backbone of life and livelihood in Southeast Alaska. It produces the salmon that our subsistence, sport and commercial fisheries depend on. It provides recreation and tourism opportunities that anchor the regions largest private sector industry. It produces our hydropower from abundant rainfall. Roadless forests are critical for our subsistence foods, and subsistence harvesters have repeatedly testified through ANILCA 810 hearings that removing the Roadless Rule will result in reduced subsistence opportunity and productivity.
The Tongass is a temperate rainforest that is not subject to the wildfires and the wildland-urban interface issues of national forests down South, and it should not be managed for these issues. Roadbuilding and timber harvest will not reduce insects and disease; it will exacerbate these issues by reducing climate resilience.
Removing the 2001 Roadless Rule would also be fiscally irresponsible. In the proposed rule, the agency itself recognizes that there is a $6.9 billion backlog in road maintenance. Taxpayers have subsidized the Tongass timber program at a rate of over $25 million per year, with individual timber sales like Big Thorne losing roughly ten dollars for every dollar of revenue generated. Why should we pay to subsidize a failing timber industry, at the expense of our tourism and outdoor recreation industries? Flexibility and exceptions are important - and the 2001 Roadless Rule already includes them. Roads for hydroelectric projects, mining, telecommunications, and other community needs are allowed 13 of Southeast's 16 hydroelectric projects are located in Roadless areas.
Removing the 2001 Roadless Rule is a distraction from the work that needs to be done to support our communities. The USDA is wasting time, money, and staff capacity to remove a popular land management rule, while acknowledging themselves that market conditions, operability, and staff time to do actual work on the ground are limited. This is wasteful spending at its worst. The Forest Service should conduct a cost-benefit analysis for the economic impact of removing Roadless protections versus investing in restoration, road and trail maintenance, and recreation infrastructure.
If the USDA is actually interested in prioritizing the needs and interests of local forest users, I urge them to listen to what Southeast Alaskans have been saying all along: abandon the proposed repeal and keep the 2001 Roadless Rule in place on the Tongass National Forest. I support Alternative 1.
Mary Moss
Dear Joshua White,
Good day, my name is Danny Ryan, my family and I are making a life in the Tongass. We fell in love with this place for the pure majesty of its natural splendor and access which is so rare and so precious now more than ever. Our family doesn’t have a boat so we largely practice subsistence on lands accessible near town. But when we are able to get out we love Salmon Lake. Watching steelhead enter the river system from the estuary is remarkable and something that we hold close to our heart. Hunting Deep Bay with friends, helping to fill our freezers and tighten our bonds.
The 2001 Roadless Rule has safeguarded the world's largest intact temperate rainforest for nearly twenty-five years, and removing it would be a costly, shortsighted decision that fails the people, economy, and ecosystems of Southeast Alaska.
I’m concerned for everything that relies on the Tongass, people, plants, animals. Everything. Our old growth keep our deer populations sound for how we practice subsistence. Road building seems to not have funding much less funding for maintenance. Our environment is hard on roads and infrastructure the roads will need maintenance who and how will that be paid for? Too much is at stake.
The Tongass is a temperate rainforest that is not subject to the wildfires and the wildland-urban interface issues of national forests down South, and it should not be managed for these issues. Roadbuilding and timber harvest will not reduce insects and disease; it will exacerbate these issues by reducing climate resilience.
Removing the 2001 Roadless Rule would also be fiscally irresponsible. In the proposed rule, the agency itself recognizes that there is a $6.9 billion backlog in road maintenance. Taxpayers have subsidized the Tongass timber program at a rate of over $25 million per year, with individual timber sales like Big Thorne losing roughly ten dollars for every dollar of revenue generated. Why should we pay to subsidize a failing timber industry, at the expense of our tourism and outdoor recreation industries? Flexibility and exceptions are important - and the 2001 Roadless Rule already includes them. Roads for hydroelectric projects, mining, telecommunications, and other community needs are allowed— 13 of Southeast's 16 hydroelectric projects are located in Roadless areas.
Nothing. Leave it as is.
Removing the 2001 Roadless Rule is a distraction from the work that needs to be done to support our communities. The USDA is wasting time, money, and staff capacity to remove a popular land management rule, while acknowledging themselves that market conditions, operability, and staff time to do actual work on the ground are limited. This is wasteful spending at its worst. The Forest Service should conduct a cost-benefit analysis for the economic impact of removing Roadless protections versus investing in restoration, road and trail maintenance, and recreation infrastructure.
If the USDA is actually interested in prioritizing the needs and interests of local forest users, I urge them to listen to what Southeast Alaskans have been saying all along: abandon the proposed repeal and keep the 2001 Roadless Rule in place on the Tongass National Forest. I support Alternative 1.
Daniel Ryan
Dear Joshua White,
I grew up in the Tongass. In Juneau as a kid, my family spent many weekend hiking, camping, and enjoying the wilderness. We relied on the forest for clean water and food, so much so that about half of what we ate came directly or indirectly from the forest.
The 2001 Roadless Rule has safeguarded the world's largest intact temperate rainforest for nearly twenty-five years, and removing it would be a costly, shortsighted decision that fails the people, economy, and ecosystems of Southeast Alaska.
We risk losing salmon and deer populations. Also, almost everybody who visits this part of Alaska is visiting for the forest and wilderness. We risk losing an entire economy that sustains the region, as well as a deep carbon sink that sustains the country. This is what is at stake. The Tongass is the backbone of life and livelihood in Southeast Alaska. It produces the salmon that our subsistence, sport and commercial fisheries depend on. It provides recreation and tourism opportunities that anchor the regions largest private sector industry. It produces our hydropower from abundant rainfall. Roadless forests are critical for our subsistence foods, and subsistence harvesters have repeatedly testified through ANILCA 810 hearings that removing the Roadless Rule will result in reduced subsistence opportunity and productivity.
The Tongass is a temperate rainforest that is not subject to the wildfires and the wildland-urban interface issues of national forests down South, and it should not be managed for these issues. Roadbuilding and timber harvest will not reduce insects and disease; it will exacerbate these issues by reducing climate resilience.
Removing the 2001 Roadless Rule would also be fiscally irresponsible. In the proposed rule, the agency itself recognizes that there is a $6.9 billion backlog in road maintenance. Taxpayers have subsidized the Tongass timber program at a rate of over $25 million per year, with individual timber sales like Big Thorne losing roughly ten dollars for every dollar of revenue generated. Why should we pay to subsidize a failing timber industry, at the expense of our tourism and outdoor recreation industries? Flexibility and exceptions are important - and the 2001 Roadless Rule already includes them. Roads for hydroelectric projects, mining, telecommunications, and other community needs are allowed 13 of Southeast's 16 hydroelectric projects are located in Roadless areas.
I want the Forest Service to invest in safe recreation access to wilderness, improved salmon habitat restoration, and more education experiences.
Removing the 2001 Roadless Rule is a distraction from the work that needs to be done to support our communities. The USDA is wasting time, money, and staff capacity to remove a popular land management rule, while acknowledging themselves that market conditions, operability, and staff time to do actual work on the ground are limited. This is wasteful spending at its worst. The Forest Service should conduct a cost-benefit analysis for the economic impact of removing Roadless protections versus investing in restoration, road and trail maintenance, and recreation infrastructure.
If the USDA is actually interested in prioritizing the needs and interests of local forest users, I urge them to listen to what Southeast Alaskans have been saying all along: abandon the proposed repeal and keep the 2001 Roadless Rule in place on the Tongass National Forest. I support Alternative 1.
Anthony Boyd
Dear Joshua White,
I married into an indigenous family that cared for, stewarded, and carefully cherished the land in and around Nakwasina Bay, which is the family's designated area by clan and heritage dating back before colonization. Picking berries, harvesting and smoking fish, cooking meals all summer. The family's smokehouse was as big as my garage. Old growth is priceless. 400 years old minimum. We cannot wait 400 years more to get fish again. This land needs to be conserved.
The 2001 Roadless Rule has safeguarded the world's largest intact temperate rainforest for nearly twenty-five years, and removing it would be a costly, shortsighted decision that fails the people, economy, and ecosystems of Southeast Alaska.
I am thinking about the business of barging in food while we have it at our doorstep and the lasting impact of it will have once our natural resource is gone. Old growth trees protect our deer from large snowfall in the winter. Young trees let in all the snow which makes winter survival difficult for our deer populations. This is what is at stake. The Tongass is the backbone of life and livelihood in Southeast Alaska. It produces the salmon that our subsistence, sport and commercial fisheries depend on. It provides recreation and tourism opportunities that anchor the region’s largest private sector industry. It produces our hydropower from abundant rainfall. Roadless forests are critical for our subsistence foods, and subsistence harvesters have repeatedly testified through ANILCA 810 hearings that removing the Roadless Rule will result in reduced subsistence opportunity and productivity.
The Tongass is a temperate rainforest that is not subject to the wildfires and the wildland-urban interface issues of national forests down South, and it should not be managed for these issues. Roadbuilding and timber harvest will not reduce insects and disease; it will exacerbate these issues by reducing climate resilience.
Removing the 2001 Roadless Rule would also be fiscally irresponsible. In the proposed rule, the agency itself recognizes that there is a $6.9 billion backlog in road maintenance. Taxpayers have subsidized the Tongass timber program at a rate of over $25 million per year, with individual timber sales like Big Thorne losing roughly ten dollars for every dollar of revenue generated. Why should we pay to subsidize a failing timber industry, at the expense of our tourism and outdoor recreation industries? Flexibility and exceptions are important - and the 2001 Roadless Rule already includes them. Roads for hydroelectric projects, mining, telecommunications, and other community needs are allowed— 13 of Southeast's 16 hydroelectric projects are located in Roadless areas.
I want to know why the forest service needs our trees? What is more important than our food and family gatherings? Salmon, trees, and all fish depend on each other.
Removing the 2001 Roadless Rule is a distraction from the work that needs to be done to support our communities. The USDA is wasting time, money, and staff capacity to remove a popular land management rule, while acknowledging themselves that market conditions, operability, and staff time to do actual work on the ground are limited. This is wasteful spending at its worst. The Forest Service should conduct a cost-benefit analysis for the economic impact of removing Roadless protections versus investing in restoration, road and trail maintenance, and recreation infrastructure.
If the USDA is actually interested in prioritizing the needs and interests of local forest users, I urge them to listen to what Southeast Alaskans have been saying all along: abandon the proposed repeal and keep the 2001 Roadless Rule in place on the Tongass National Forest. I support Alternative 1.
Marcia Strand
Dear Joshua White,
I have been a commercial fisherman and active subsistence user of the Tongass since 1981. I came here on a temporary fishery opening and fell in love with wilderness. I worked for years on Prince of whales Island and watched the clearcuts and roads destroy salmon streams and wildlife populations. I became active in the work of southeast conservation council to try to save wilderness. in 1990 I moved to Sitka and became involve with the Sitka conservation society.
I believe in conscious timber harvest to meet the needs of the people of S.E. but the industrial model of destruction of clearcutting is short term thinking insanity.
The 2001 Roadless Rule has safeguarded the world's largest intact temperate rainforest for nearly twenty-five years, and removing it would be a costly, shortsighted decision that fails the people, economy, and ecosystems of Southeast Alaska.
The summer salmon troll fishery ends today. I quit a a week ago and went north to Hoonah sound and Peril straight to hunt and put crab pots in. Winter is coming on and it's time to put food in the freezer, canner, and dryer for winter. The roadless rule has served to protect much of this area and the wildlife populations seem healthy and available. friends in Ketchikan and POW I'm in in touch with use the roads to cruise to find deer but are telling me it's pretty bad. I am grateful to have a fishing boat to access these more remote areas, but we need to protect areas near town as well for harvesting and a well-balanced forest storing carbon as the climate warms and wildlife suffers from its impact. the forest does much more services intact than a ravaged landscape can offer. Filtering our water and nurturing healthy air and wildlife
The Tongass is a temperate rainforest that is not subject to the wildfires and the wildland-urban interface issues of national forests down South, and it should not be managed for these issues. Roadbuilding and timber harvest will not reduce insects and disease; it will exacerbate these issues by reducing climate resilience.
Removing the 2001 Roadless Rule would also be fiscally irresponsible. In the proposed rule, the agency itself recognizes that there is a $6.9 billion backlog in road maintenance. Taxpayers have subsidized the Tongass timber program at a rate of over $25 million per year, with individual timber sales like Big Thorne losing roughly ten dollars for every dollar of revenue generated. Why should we pay to subsidize a failing timber industry, at the expense of our tourism and outdoor recreation industries? Flexibility and exceptions are important - and the 2001 Roadless Rule already includes them. Roads for hydroelectric projects, mining, telecommunications, and other community needs are allowed— 13 of Southeast's 16 hydroelectric projects are located in Roadless areas.
I have been a commercial fisherman and active subsistence user of the Tongass since 1981. i came here on a temporary fishery opening and fell in love with wilderness. i worked for years on Prince of whales Island and watched the clearcuts and roads destroy salmon streams and wildlife populations. i became active in the work of southeast conservation council to try to save wilderness. in 1990 i moved to Sitka and became involve with the Sitka conservation society.
I believe in conscious timber harvest to meet the needs of the people of S.E. but the industrial model of destruction of clearcutting is short term thinking insanity.
Removing the 2001 Roadless Rule is a distraction from the work that needs to be done to support our communities. The USDA is wasting time, money, and staff capacity to remove a popular land management rule, while acknowledging themselves that market conditions, operability, and staff time to do actual work on the ground are limited. This is wasteful spending at its worst. The Forest Service should conduct a cost-benefit analysis for the economic impact of removing Roadless protections versus investing in restoration, road and trail maintenance, and recreation infrastructure.
If the USDA is actually interested in prioritizing the needs and interests of local forest users, I urge them to listen to what Southeast Alaskans have been saying all along: abandon the proposed repeal and keep the 2001 Roadless Rule in place on the Tongass National Forest. I support Alternative 1.
Mr. Larry Spencer Spencer Severson
Dear Joshua White,
I grew up in Southeast Alaska, surrounded by the Tongass and its natural beauty, knowing also that it was essential to the economic and spiritual well-being of my fellow residents.
The 2001 Roadless Rule has safeguarded the world's largest intact temperate rainforest for nearly twenty-five years, and removing it would be a costly, shortsighted decision that fails the people, economy, and ecosystems of Southeast Alaska.
I am horrified by the prospect of opening this unique wilderness to roads and old-growth logging, with the resultant damage to salmon and other wildlife. That damage, if it occurs, can never be repaired. This is what is at stake. The Tongass is the backbone of life and livelihood in Southeast Alaska. It produces the salmon that our subsistence, sport and commercial fisheries depend on. It provides recreation and tourism opportunities that anchor the regions largest private sector industry. It produces our hydropower from abundant rainfall. Roadless forests are critical for our subsistence foods, and subsistence harvesters have repeatedly testified through ANILCA 810 hearings that removing the Roadless Rule will result in reduced subsistence opportunity and productivity.
The Tongass is a temperate rainforest that is not subject to the wildfires and the wildland-urban interface issues of national forests down South, and it should not be managed for these issues. Roadbuilding and timber harvest will not reduce insects and disease; it will exacerbate these issues by reducing climate resilience.
Removing the 2001 Roadless Rule would also be fiscally irresponsible. In the proposed rule, the agency itself recognizes that there is a $6.9 billion backlog in road maintenance. Taxpayers have subsidized the Tongass timber program at a rate of over $25 million per year, with individual timber sales like Big Thorne losing roughly ten dollars for every dollar of revenue generated. Why should we pay to subsidize a failing timber industry, at the expense of our tourism and outdoor recreation industries? Flexibility and exceptions are important - and the 2001 Roadless Rule already includes them. Roads for hydroelectric projects, mining, telecommunications, and other community needs are allowed 13 of Southeast's 16 hydroelectric projects are located in Roadless areas.
On behalf of our people, the Forest Service must do everything possible to preserve our wild and wilderness areas.
Removing the 2001 Roadless Rule is a distraction from the work that needs to be done to support our communities. The USDA is wasting time, money, and staff capacity to remove a popular land management rule, while acknowledging themselves that market conditions, operability, and staff time to do actual work on the ground are limited. This is wasteful spending at its worst. The Forest Service should conduct a cost-benefit analysis for the economic impact of removing Roadless protections versus investing in restoration, road and trail maintenance, and recreation infrastructure.
If the USDA is actually interested in prioritizing the needs and interests of local forest users, I urge them to listen to what Southeast Alaskans have been saying all along: abandon the proposed repeal and keep the 2001 Roadless Rule in place on the Tongass National Forest. I support Alternative 1.
Anna Chapman
Dear Joshua White,
The Tongass has been home for 30 years. From the berries we pick, to the fish we subsist on and the salmon my spouse fishes commercially we are connected by both what we put in our bodies and how we cover expenses.
An example of how we live and love this place: We were married on a muskeg just above Goddard Hot springs. Our honeymoon was a slow 3 week boat trip circumnavigating Baranof Island -we fished, hiked, paddled kayaks, snorkeled for abalone in places including Kelp Bay, Fish Bay, Ushk Bay, Fick Cove, Hoonah Sound, Red Bluff Bay and we stopped to visit with our friends who have taught us so much about subsistence in Hoonah and Kake.
The 2001 Roadless Rule has safeguarded the world's largest intact temperate rainforest for nearly twenty-five years, and removing it would be a costly, shortsighted decision that fails the people, economy, and ecosystems of Southeast Alaska.
Climate change! We can't have our heads in the sand. The Tongass is a long term high capacity carbon store and logging old growth releases carbon.
Salmon! They fill our freezer. They've been harvested in SE since time immemorial. They're part of our rich ecosystem. We should do all we can to care for the salmon! And we need to think of future generations.
This is another example of tax payer waste! There is no need to harvest old growth wood. This environment is what visitors come to see---why would you put that at risk?
The Tongass is a temperate rainforest that is not subject to the wildfires and the wildland-urban interface issues of national forests down South, and it should not be managed for these issues. Roadbuilding and timber harvest will not reduce insects and disease; it will exacerbate these issues by reducing climate resilience.
Removing the 2001 Roadless Rule would also be fiscally irresponsible. In the proposed rule, the agency itself recognizes that there is a $6.9 billion backlog in road maintenance. Taxpayers have subsidized the Tongass timber program at a rate of over $25 million per year, with individual timber sales like Big Thorne losing roughly ten dollars for every dollar of revenue generated. Why should we pay to subsidize a failing timber industry, at the expense of our tourism and outdoor recreation industries? Flexibility and exceptions are important - and the 2001 Roadless Rule already includes them. Roads for hydroelectric projects, mining, telecommunications, and other community needs are allowed— 13 of Southeast's 16 hydroelectric projects are located in Roadless areas.
Alternative 1 keeps the Tongass protected! It will protect the traditional practices of our friends and neighbors. It will protect our livelihood. It will protect the fish,, berries, deer that we harvest from intact forests.
Removing the 2001 Roadless Rule is a distraction from the work that needs to be done to support our communities. The USDA is wasting time, money, and staff capacity to remove a popular land management rule, while acknowledging themselves that market conditions, operability, and staff time to do actual work on the ground are limited. This is wasteful spending at its worst. The Forest Service should conduct a cost-benefit analysis for the economic impact of removing Roadless protections versus investing in restoration, road and trail maintenance, and recreation infrastructure.
If the USDA is actually interested in prioritizing the needs and interests of local forest users, I urge them to listen to what Southeast Alaskans have been saying all along: abandon the proposed repeal and keep the 2001 Roadless Rule in place on the Tongass National Forest. I support Alternative 1.
Ms. Ellen Frankenstein
Dear Joshua White,
When my family and I go to one of the forest service cabins in areas protected by the roadless rule, theres a profound sense of peace. I watch my four year old pick berries and laugh and truly experience the forest outside of a few acres of park. We find forts built by previous folks, secret trails we can pretend to be the first to find, and spend days without seeing another person. It is, in every way, the life I want to build for my kid.
The 2001 Roadless Rule has safeguarded the world's largest intact temperate rainforest for nearly twenty-five years, and removing it would be a costly, shortsighted decision that fails the people, economy, and ecosystems of Southeast Alaska.
Opening up such places to development would be heartbreaking to thousands of Alaskans. I dont want my child to reminisce about the cabin she used to visit thats now home to a logging camp. Im concerned about the rivers where she has watched salmon swim up through crystal waters muddied by industry. Most of all, Im concerned about the climate havoc that will ruin her chances at a peaceful, prosperous life if we dont protect these incredible forests. This is what is at stake. The Tongass is the backbone of life and livelihood in Southeast Alaska. It produces the salmon that our subsistence, sport and commercial fisheries depend on. It provides recreation and tourism opportunities that anchor the regions largest private sector industry. It produces our hydropower from abundant rainfall. Roadless forests are critical for our subsistence foods, and subsistence harvesters have repeatedly testified through ANILCA 810 hearings that removing the Roadless Rule will result in reduced subsistence opportunity and productivity.
The Tongass is a temperate rainforest that is not subject to the wildfires and the wildland-urban interface issues of national forests down South, and it should not be managed for these issues. Roadbuilding and timber harvest will not reduce insects and disease; it will exacerbate these issues by reducing climate resilience.
Removing the 2001 Roadless Rule would also be fiscally irresponsible. In the proposed rule, the agency itself recognizes that there is a $6.9 billion backlog in road maintenance. Taxpayers have subsidized the Tongass timber program at a rate of over $25 million per year, with individual timber sales like Big Thorne losing roughly ten dollars for every dollar of revenue generated. Why should we pay to subsidize a failing timber industry, at the expense of our tourism and outdoor recreation industries? Flexibility and exceptions are important - and the 2001 Roadless Rule already includes them. Roads for hydroelectric projects, mining, telecommunications, and other community needs are allowed 13 of Southeast's 16 hydroelectric projects are located in Roadless areas.
We should look to a future to build, not destroy. We should work to protect fisheries from bottom trawling and spawning habitat loss. We should build areas where people can connect to nature, not see how much money they can make on it. The Tongass is an incredibly special place, made that way by the roadless rule. Let the Tongass stay our childrens inheritance, and not ground down to profit a few.
Removing the 2001 Roadless Rule is a distraction from the work that needs to be done to support our communities. The USDA is wasting time, money, and staff capacity to remove a popular land management rule, while acknowledging themselves that market conditions, operability, and staff time to do actual work on the ground are limited. This is wasteful spending at its worst. The Forest Service should conduct a cost-benefit analysis for the economic impact of removing Roadless protections versus investing in restoration, road and trail maintenance, and recreation infrastructure.
If the USDA is actually interested in prioritizing the needs and interests of local forest users, I urge them to listen to what Southeast Alaskans have been saying all along: abandon the proposed repeal and keep the 2001 Roadless Rule in place on the Tongass National Forest. I support Alternative 1.
Amanda Thrasher
Dear Joshua White,
I live in Sitka, AK. It will be devastating to loose the roadless rule for the Tongass for generations to come.
The 2001 Roadless Rule has safeguarded the world's largest intact temperate rainforest for nearly twenty-five years, and removing it would be a costly, shortsighted decision that fails the people, economy, and ecosystems of Southeast Alaska.
In addition to the obvious, the destruction of habitat for many of our wildlife, it will also impact our ability to provide emergency services. Many people come to Southeast Alaska to see our beautiful and bountiful Tongass, destroying the Tongass with roads would destroy our residents and visitors of that opportunity. This is what is at stake. The Tongass is the backbone of life and livelihood in Southeast Alaska. It produces the salmon that our subsistence, sport and commercial fisheries depend on. It provides recreation and tourism opportunities that anchor the regions largest private sector industry. It produces our hydropower from abundant rainfall. Roadless forests are critical for our subsistence foods, and subsistence harvesters have repeatedly testified through ANILCA 810 hearings that removing the Roadless Rule will result in reduced subsistence opportunity and productivity.
The Tongass is a temperate rainforest that is not subject to the wildfires and the wildland-urban interface issues of national forests down South, and it should not be managed for these issues. Roadbuilding and timber harvest will not reduce insects and disease; it will exacerbate these issues by reducing climate resilience.
Removing the 2001 Roadless Rule would also be fiscally irresponsible. In the proposed rule, the agency itself recognizes that there is a $6.9 billion backlog in road maintenance. Taxpayers have subsidized the Tongass timber program at a rate of over $25 million per year, with individual timber sales like Big Thorne losing roughly ten dollars for every dollar of revenue generated. Why should we pay to subsidize a failing timber industry, at the expense of our tourism and outdoor recreation industries? Flexibility and exceptions are important - and the 2001 Roadless Rule already includes them. Roads for hydroelectric projects, mining, telecommunications, and other community needs are allowed 13 of Southeast's 16 hydroelectric projects are located in Roadless areas.
The upkeep of the Totem poles, trails, rivers and forests in this area
Removing the 2001 Roadless Rule is a distraction from the work that needs to be done to support our communities. The USDA is wasting time, money, and staff capacity to remove a popular land management rule, while acknowledging themselves that market conditions, operability, and staff time to do actual work on the ground are limited. This is wasteful spending at its worst. The Forest Service should conduct a cost-benefit analysis for the economic impact of removing Roadless protections versus investing in restoration, road and trail maintenance, and recreation infrastructure.
If the USDA is actually interested in prioritizing the needs and interests of local forest users, I urge them to listen to what Southeast Alaskans have been saying all along: abandon the proposed repeal and keep the 2001 Roadless Rule in place on the Tongass National Forest. I support Alternative 1.
Gale Kehres
Dear Joshua White,
I grew up in Southeast Alaska, surrounded by the Tongass and its natural beauty, knowing also that it was essential to the economic and spiritual well-being of my fellow residents.
The 2001 Roadless Rule has safeguarded the world's largest intact temperate rainforest for nearly twenty-five years, and removing it would be a costly, shortsighted decision that fails the people, economy, and ecosystems of Southeast Alaska.
I am horrified by the prospect of opening this unique wilderness to roads and old-growth logging, with the resultant damage to salmon and other wildlife. That damage, if it occurs, can never be repaired. This is what is at stake. The Tongass is the backbone of life and livelihood in Southeast Alaska. It produces the salmon that our subsistence, sport and commercial fisheries depend on. It provides recreation and tourism opportunities that anchor the regions largest private sector industry. It produces our hydropower from abundant rainfall. Roadless forests are critical for our subsistence foods, and subsistence harvesters have repeatedly testified through ANILCA 810 hearings that removing the Roadless Rule will result in reduced subsistence opportunity and productivity.
The Tongass is a temperate rainforest that is not subject to the wildfires and the wildland-urban interface issues of national forests down South, and it should not be managed for these issues. Roadbuilding and timber harvest will not reduce insects and disease; it will exacerbate these issues by reducing climate resilience.
Removing the 2001 Roadless Rule would also be fiscally irresponsible. In the proposed rule, the agency itself recognizes that there is a $6.9 billion backlog in road maintenance. Taxpayers have subsidized the Tongass timber program at a rate of over $25 million per year, with individual timber sales like Big Thorne losing roughly ten dollars for every dollar of revenue generated. Why should we pay to subsidize a failing timber industry, at the expense of our tourism and outdoor recreation industries? Flexibility and exceptions are important - and the 2001 Roadless Rule already includes them. Roads for hydroelectric projects, mining, telecommunications, and other community needs are allowed 13 of Southeast's 16 hydroelectric projects are located in Roadless areas.
On behalf of our people, the Forest Service must do everything possible to preserve our wild and wilderness areas.
Removing the 2001 Roadless Rule is a distraction from the work that needs to be done to support our communities. The USDA is wasting time, money, and staff capacity to remove a popular land management rule, while acknowledging themselves that market conditions, operability, and staff time to do actual work on the ground are limited. This is wasteful spending at its worst. The Forest Service should conduct a cost-benefit analysis for the economic impact of removing Roadless protections versus investing in restoration, road and trail maintenance, and recreation infrastructure.
If the USDA is actually interested in prioritizing the needs and interests of local forest users, I urge them to listen to what Southeast Alaskans have been saying all along: abandon the proposed repeal and keep the 2001 Roadless Rule in place on the Tongass National Forest. I support Alternative 1.
Anna Chapman
Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.This comment stands for all 14 submissions in its group.
Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 14 submissions in its group.
Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 14 submissions in its group.
Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 14 submissions in its group.
Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 14 submissions in its group.
Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 14 submissions in its group.
Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 14 submissions in its group.
Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 14 submissions in its group.
Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 14 submissions in its group.
Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 14 submissions in its group.
Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 14 submissions in its group.
Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 14 submissions in its group.
Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 14 submissions in its group.
Campaign — One letter sent by 10 or more people, copied or lightly reworded. See the letter, its submissions and topics.One of 14 submissions in its group.