Comment Analysis · Docket FS-2025-0001

FS-2025-0001-254606

Opposes rescissionA3 weakSubstance 12/24Owed an answerPosted August 22, 2026 On Regulations.gov

In short: The comment establishes that the DEIS analysis for the White Pine area in the Wasatch-Cache National Forest fails to incorporate specific NatureServe threat data for the Pinyon Jay and ignores scientific evidence linking road networks to invasive species spread, thereby documenting a deficiency in the agency's analysis regarding wildlife habitat and invasive species risks.

Scored directly — The comment's whole text was scored on its own.

Scorecard

Each dimension is scored 0–3; the eight sum to the substance score out of 24.

  • Specific placeNames a specific location — from a region down to an exact creek, trail, road, or map reference.
  • Local knowledgeDraws on a first-hand connection to the place — visits, sustained activity, occupation, or a professional role.
  • EA analysisEngages the agency's environmental analysis directly.
  • Analytical gapIdentifies something the analysis fails to address.
  • EvidenceBacks claims with specific facts, data, or research.
  • RequestMakes a specific, actionable request of the agency.
  • AlternativeProposes a different course of action.
  • LegalCites statutes, regulations, or legal obligations.

How hard it is to set aside

A3 weak: Substantive, but easier to set aside.

Owed an answer on Analytical gap, Evidence.

Standard dismissals it defeats

  • Misreads the proposal The agency says the comment misunderstands what is proposed. Defeated when the comment engages the proposal or a named place directly.
  • Outside the scope The agency says the comment asks about a different action. Defeated when the comment is specific and tied to this proposal.

Still open to the agency

  • Alternative already eliminated The agency says it considered and eliminated the alternative the comment proposes, with a reason. Cannot be defeated from the comment text alone.
  • Already addressed The agency says its analysis already covers the point. Defeated when the comment cites the law itself: there is no analysis to cite against a statutory claim.
  • Deferred to a later decision The agency says the point belongs to a later, site-specific decision. Cannot be defeated from the comment text alone.
  • Not required The agency says the analysis the comment asks for is not required. Cannot be defeated from the comment text alone.
  • Preference noted The agency notes the comment as a statement of preference and takes no action on it. Cannot be defeated from the comment text alone.
  • No cause and effect shown The agency says the comment asserts a harm without showing how the action causes it. Defeated when the comment shows the mechanism.
  • Certified not substantive The agency certifies the comment raises nothing substantive. Defeated when the comment alleges illegality, which is substantive by the definition the certification runs on.

Topics

  • Wildlife Habitat
    • “Pinyon Jay (Gymnorhinus cyanocephalus, G3, UR)”
    • “habitat fragmentation and create edges”
    • “Road networks are a common disturbance on the landscapes”
    • “reducing native diversity”
  • Recreation Tourism Public Use
    • “outdoor enthusiast who has used areas protected under the 2001 Rule”
    • “As a climber and hiker uninterrupted and undamaged wilderness is very important to me”
    • “uninterrupted aspen and pine trees takes my breath away”
    • “primary public land destination”
  • Environmental Protection Biodiversity
    • “spread of invasive alien plants”
    • “invasive plant richness and density generally decrease with the distance from roads”
    • “native species show variable distribution patterns near roads”
    • “The Rule should remain in force”

What it names

National Forests
Wasatch-Cache National ForestWasatch-Cache National Forest
Roadless areas
White Pine
Works cited
10.1111/ddi.70002

The comment

Shaded passages are the ones the analysis quoted as evidence for a dimension: EvidenceRequest

Dear Forest Service Leadership: As an outdoor enthusiast who has used areas protected under the 2001 Rule as a primary public land destination, I am submitting these comments to urge the Department to weigh the full scope of the public interest the Rule serves — an interest documented in millions of public comments, sustained through multiple administrations, and observable in the landscapes the Rule has maintained. As a climber and hiker uninterrupted and undamaged wilderness is very important to me. One visit made that connection concrete. I have spent a lot of time in the wasatch-cache national forest, and the uninterrupted aspen and pine trees takes my breath away each time and makes me proud to be able to visit such beautiful places. The account and the context in which it is situated both point to the same conclusion: the Rule should remain in force. Regarding the White Pine in the Wasatch-Cache National Forest, Utah: 7.1.1 - Increase in fire frequency/intensity drives Slight or 1-10% pop. decline severity impacts across Restricted (11-30%) scope for Pinyon Jay (Gymnorhinus cyanocephalus, G3, UR) in the White Pine IRA, Wasatch-Cache National Forest. Absent roads, White Pine functions as a refuge where Pinyon Jay is buffered from 7.1.1 - Increase in fire frequency/intensity. The roadless condition suppresses the access, fragmentation, and runoff pathways that convert this threat from potential to realized. The DEIS analysis of White Pine must incorporate NatureServe's standardized threat assessment data for Pinyon Jay (Gymnorhinus cyanocephalus, G3), including the IUCN-CMP classification (7.1.1), Slight or 1-10% pop. decline severity rating, and Restricted (11-30%) scope determination. "Road networks are a common disturbance on the landscapes that cause habitat fragmentation and create edges with high resource availability that can act as important channels for the spread of invasive alien plants in various habitats, including nature reserves. Roads serve as dispersal corridors where invasive plant propagules are spread by humans, vehicles and animals using roadways as travel paths. Research indicates that invasive plant richness and density generally decrease with the distance from roads, whereas native species show variable distribution patterns near roads. Proximity to roads often correlates with higher invasion rates, reducing native diversity." — Diversity and Distributions (Wiley), 2025 “Road networks are a common disturbance on the landscapes that cause habitat fragmentation and create edges with high resource availability that can act as important channels for the spread of invasive alien plants in various habitats, including nature reserves. Roads serve as dispersal corridors where invasive plant propagules are spread by humans, vehicles and animals using roadways as travel paths. Research indicates that invasive plant richness and density generally decrease with the distance from roads, whereas native species show variable distribution patterns near roads. Proximity to roads often correlates with higher invasion rates, reducing native diversity. — Diversity and Distributions (Wiley), 2025 (https://doi.org/10.1111/ddi.70002)” Rescission would not be a reasoned policy choice on the record presented; the Department should not finalize it. With concern,

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