Comment Analysis · Docket FS-2025-0001

“Secretary Brooke Rollins U.S. Department of Agriculture 201 14th Street SW Washington, DC 20250 Thomas Schultz…”

Campaign: One letter sent by 10 or more people, copied or lightly reworded. It counts as one unique comment. The record does not say which organisation ran it.

Opposes rescissionA2 moderateSubstance 11/24
  • 18 submissions
  • 16 versions of the text
  • 18 added words of their own

When it arrived

Submissions received each day. Tap or hover a bar for its count.

Sep 10Sep 19Oct 5

Sep 10: 3 submissions, 1 unique comments

What it names

National Forests
Tongass National Forest+ Allegheny National Forest+ Bridger-Teton National Forest+ Caribou-Targhee National Forest+ Ocala National Forest+ Tahoe National Forest+ Targhee National Forest+ White Mountain National Forest
Roadless areas
+ Black Butte+ Cherry Lake+ Green Mountain+ Munger Mountain+ Snake River+ Tuolumne River+ White Mountain

Names marked + were added by senders and are not in the shared letter.

The letter

As sent in FS-2025-0001-359612, the comment that stands for the group.

Secretary Brooke Rollins U.S. Department of Agriculture 201 14th Street SW Washington, DC 20250 Thomas Schultz Chief, U.S. Forest Service 1400 Independence Ave., SW Washington, D.C. 20250-0003 Re: Docket No. FS-2025-0001 - Comments on the 2001 Roadless Area Conservation Rule Rescission Draft Environmental Impact Statement (DEIS) Dear Secretary Rollins and Chief Schultz: I strongly urge USDA to keep the 2001 Roadless Area Conservation Rule (Rule) intact, select the No Action Alternative, and revise the DEIS as stated below. I spend time in and deeply value Inventoried Roadless Areas, including Rubicon in California]. I enjoy hiking there. These places matter to me because there are fewer and fewer places where I can enjoy the great outdoors. They provide clean water, wildlife habitat, recreation, solitude, and increasingly rare intact forests. The current Rule already allows substantial forest management, including prescribed fire and other hazardous-fuels reduction. While USDA claims rescission would reduce wildfire risks, the DEIS cites research that 1) the lack of roads has not prevented fire prevention or protection measures, and 2) acknowledges that almost 90% of wildfires are human caused and more than four times likely to ignite near a road. If specific constraints exist, USDA should identify and address those narrow constraints rather than remove the Rule’s nationwide protections. USDA has not adequately assessed the reasonably foreseeable national and regional environmental effects of its decision to eliminate the Rule’s protections across 44.7 million acres of public lands. Deferring NEPA review to future site-specific individual projects will not address the regional and national consequences of rescission. While later reviews may evaluate individual projects, they would not address foreseeable programmatic impacts at scale from landscape fragmentation, habitat connectivity, native plants and invasive species. interstate or inter-forest migration corridors, or regional watersheds. USDA should assess now where national rescission would put intact habitat, wildlife movement, and native plant communities at greatest risk, and where added roads and timber harvest could most threaten watersheds and drinking-water sources. Rescission would also remove protections from 9.3 million acres in the Tongass National Forest, relying on the 2020 Alaska Roadless Rule Final EIS, but it has not demonstrated the earlier environmental analysis adequately evaluates rescission. Tribal consultation remains incomplete. USDA should fully consider Tribal concerns about subsistence, cultural resources, fish and wildlife, and intact landscapes before making a final decision. I urge you to keep the national protections of the Rule in place and reassess the reasonably foreseeable effects now.
← All campaigns

Keep learning. Keep speaking up.The Roadless Rule depends on public engagement. Share what you've learned.

© 2026 roadless.org - Defending America's Last Wild Forests

Privacy Policy|Questions or concerns? noroads@roadless.org|Follow us: @defendroadless