SAWS members,
You
previously received our SAWS Alert (copied below) regarding the Beaverhead-Deerlodge National Forest Plan Revision and FEIS about a
month ago. At that time, the comment period was scheduled to end April 1.
We hope that you already submitted you comment prior to April 1. SAWS, along with several other
organizations and Montana elected officials, asked for an
extension to the April 1 date. The Regional Forester approved
an extension of the comment period to April 30.
Here is a
link to the official notice:
http://www.fs.fed.us/r1/b-d/forest-plan/index-plan-details.shtml
I strongly encourage you
to take advantage of this opportunity to submit a comment on this very
important issue if you have not already done so. This proposal will close
329,000 acres as Recommended Wilderness Area (RWA) to snowmobile use
that is currently open for that use today. Some of these proposed closures
are very popular snowmobile areas. And one of the most important and possibly
illegal proposed changes in management by the Forest Service,
is to manage ALL RWA as de-facto wilderness. We can not let that happen here. If they
succeed here, other RWAs in other forests across the
western United States could fall to closures like
dominos. So if you think that what happens in this one forest in Montana, where you might not ride, will
not affect you in your state and in your favorite riding area, you would be
WRONG.
Below is
a link to the comments SAWS submitted on this proposal. They are for your information
and use, but as always, please do not copy our entire comment word for word.
The FS will not treat duplicate copies of the same comment as a separate
comment.
http://www.snowmobile-alliance.org/08/misc/SAWS_Comments_BDNF_FEIS.pdf
Below is our previous alert
on this proposal.
Thank you
in advance for taking the time to comment on this very important issue.
Dave
Snowmobile
Alliance of Western States
http://www.snowmobile-alliance.org/Action_Alerts/08/SAWS_Action_Alert_-_BDNF_FEIS.htm
SAWS Action Alert:
Beaverhead-Deerlodge National
Forest Plan Revision and FEIS
Please submit your
comment before the deadline.
Comment period
deadline is March 31st,
2008
Submit your comments to:
Forest Plan Comments
Beaverhead-Deerlodge National Forest
420 Barrett Street
Dillon, Montana 59725
Email: comments-northern-beaverhead-deerlodge@fs.fed.us
The Beaverhead-Deerlodge National Forest (BDNF) Final Environmental Impact
Statement (FEIS) for the Forest Plan Revision was released February 15th
for comment. This revision is another example of the Montana
Region One Forest Service running out of control and catering to the wishes of
those with the deepest pockets. In this
case, wilderness advocates have sold out to the timber industry in order to add
to the forest’s recommended wilderness area (RWA) inventory.
The current BDNF preferred Alternative 6 recommends
MORE wilderness in this FEIS than was proposed in the last preferred
alternative, Alternative 5, during the DEIS public comment period. With the release of this new Alternative
6, there are 80,000 additional acres added over and above the previous
Alternative 5 -- WE’VE GAINED NOTHING from what is currently open to snowmobile use. We are being asked to support giving up
acreage and gaining
nothing in return. Why
should snowmobilers care? Historically
Region One’s policy is to close all RWAs to snowmobiling
and the deals between the timber industry and wilderness advocates locks
snowmobilers out of even more riding areas than ever.
Alternative 6, the preferred alternative, has
dropped the Mt. Jefferson/Hellroaring
Basin (Mt. Jefferson Southern Portion) closure from the plan. This is the
result of a lot of hard work by many individuals and is great news for
snowmobilers. SAWS would
like to say Thank You to all that helped keep this extremely important
snowmobiling area open. However, SAWS is of
the opinion that the Forest Service kept the Mt Jefferson area open in the hope
that snowmobilers would ignore all the other proposed closures. The timber industry/wilderness advocate
sell-out is known as the “Beaverhead-Deerlodge
Partnership” and is being called a citizen’s collaborative effort. How can this be called a collaboration of
citizens when the deal was made between two special interest groups? Among others, snowmobilers were once again
left out of the discussion.
Please
refer to the BDNF website where you will find links to the BDNF FEIS and maps
about Alternative 6: http://www.fs.fed.us/r1/b-d/forest-plan/
Although
Alternative 6 has been chosen as the preferred alternative, this does not mean
that you can not recommend that elements of the other alternatives be
considered.
SAWS is encouraging our members to support a modified
version of Alternative 4. We recommend
you include some or all of the following talking points in your comments. Please add any personal information about
yourself and how/where you recreate in the BDNF currently or in the past.
- Alternative 4 advocates
removing all recommended wilderness area designation from forest
lands. Region One’s policy of
closing RWA’s to snowmobiling makes no
ecological sense given that snowmobiling does not negatively impact
wilderness character in other Forest Service (FS) regions. Only congress
can designate wilderness and lock snowmobilers out of existing riding
area.
- FSH
1909.12 requires the forest service “meet
the tests of capability, availability, and need” when determining new
areas for wilderness recommendation. Clearly there is no need for
additional wilderness in this forest for the 1.09% of forest visitors that
currently recreate in this forest.
Barely 1% of current BDNF visitors use the existing
wilderness areas in this forest (per NVUM results). There is no need to
recommend more wilderness areas with such a small use of existing
wilderness areas in this forest
- Alternative 4 provides a
small overall reduction in area currently closed to snowmobiling. Tell the FS that you support this
attitude, and thank them for recognizing real world trends.
- Alternative 6 removes the
Mt. Jefferson/Hellroaring
Basin (Mt. Jefferson Southern Portion) closure from the draft plan. Again, tell the FS thank you for working
with snowmobilers in keeping this vital area open to snowmobiling. You might mention that along with
snowmobilers, the citizens of Island Park
appreciate the fact that the FS recognized the economic importance of
continued use of Mt. Jefferson
and Hellroaring Basin.
- Alternative
4 closes 25 miles of snowmobile trail.
This is not acceptable because snowmobile trails do not negatively
impact wildlife or the environment, including high use areas according to
a Yellowstone National
Park
study.
- The
so-called “Beaverhead-Deerlodge
Partnership” (BDP) is certainly NOT a citizen’s
collaborative effort as it is being labeled by the FS planning staff. It is the result of two deep-pocketed
special interests that excluded all but the timber industry and wilderness
advocates. Snowmobilers and many
other user groups were not invited to participate in the so-called
collaboration.
- The
“Beaverhead-Deerlodge
Partnership” plan should not have been included in the
development of the FEIS because the plan was delivered almost six months
(April, 2006) after the DEIS comment deadline (October 31, 2005). Citizen participation in this process is
discouraged after the comment deadline.
Citizens were not implicitly or theoretically afforded the same
leniencies with respect to the deadline as were given to the BDP.
Thank you all for your interest in and dedication to
protecting YOUR right to ride.
Janine, Scott & Dave (MT, ID & WA SAWS Reps
respectively)
Snowmobile Alliance
of Western States
Protecting the right to ride for the owners of
281,965 registered snowmobiles (2007) in the western United States.
Copyright © 2008 Snowmobile Alliance of Western States. All Rights
Reserved.
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