Comment Analysis · Docket FS-2025-0001

FS-2025-0001-561013

Opposes rescissionA0 noneSubstance 5/24Posted October 5, 2026 On Regulations.gov

Campaign — One letter sent by 10 or more people, copied or lightly reworded. One of 180 submissions in its group; the sender added words of their own. See the letter, its submissions and topics.

Carries the letter's score — A copy of a family's letter; it holds the score and answerability level of the letter it sent.

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

A0 none: Counted, not answered. This rating is the one its shared letter earned.

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

  • Water Quality Quantity
    • “support healthy headwaters and drinking-water sources”
    • “conserve headwaters that sustain native trout and salmon populations”
    • “adversely affect water quality”
    • “impacts to clean water”
  • Wildlife Habitat
    • “provide secure areas for elk, deer, and other big game species”
    • “sustain native trout and salmon populations”
    • “habitat fragmentation”
    • “impacts to clean water and fish and wildlife habitat”
  • Recreation Tourism Public Use
    • “sustain high-quality opportunities for hunting, fishing, hiking, camping”
    • “other forms of outdoor recreation”
    • “adversely affect... recreation”
  • Environmental Protection Biodiversity
    • “most important remaining intact landscapes”
    • “fragmentation and degradation”
    • “finite public resource”
    • “maintain and strengthen the Roadless Rule”

The comment

Please please save our public lands! We need the green spaces and they are constantly under threat-- as you well know! Once the forests are damaged or destroyed they may never be the same. Ellen Holtman 24153 The Roadless Rule provides an important national baseline for protecting these values from the fragmentation and degradation that can result from new roads and associated development. The Forest Service itself acknowledges that rescinding the rule could adversely affect water quality, fisheries, wildlife, recreation and other roadless values. America's remaining roadless areas are a finite public resource -- I strongly support maintaining protection for these areas. The Forest Service should maintain and strengthen the Roadless Rule, rather than rescind it. Please withdraw the proposed rule and maintain the 2001 Roadless Area Conservation Rule.

Sharing & methodology

These results are meant to be shared.

Please cite us. This analysis is the intellectual property of Roadless.org and Nicholas Holshouser. You are welcome to reproduce it — every reproduction must include this citation:
Roadless.org and Nicholas Holshouser, “2001 Roadless Rule Revision — Substantive Analysis,” https://roadless.org.

How it works. A large language model (an open-weight Qwen3.8 model) reads each substantive comment and copies, word for word, the passages that carry its analytical gap, evidence, request, alternative and connection to the place; it returns no scores. Code grades those passages 0–3 on eight dimensions — evidence, legal grounding, engagement with the environmental analysis, analytical gaps, alternatives, specific requests, position, and local knowledge — with legal grounding taken from a citation scan, not the model. For the strongest tenth on each side, the copied passages are checked against the comment and shown as exhibits. A comment counts as “substantive” when it clears a floor filter — it must show at least one substantive signal (a named entity, a specific citation, a stated analytical deficiency, or first-person testimony), which screens out one-line and purely conclusory submissions before any model scoring.

The full method. Every step, why it is done that way, its known limits and a glossary: Methodologies →

The data. The full canonical dataset — every comment on Docket FS-2025-0001 — is available from Regulations.gov: https://www.regulations.gov/bulkdownload.

Roadless.org — analysis of the public comment docket.
Media inquiries welcome — nicholas@wanderingnature.com.

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