action item from brc |
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action item from brc |
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Diggin' In! ![]() ![]() Group: Members Posts: 7 Joined: 27-August 04 Member No.: 186 ![]() |
sorry for the long post. there are links for responce and "talking points"" for your concideration
***** BRC ALERT ***** BRC ALERT ***** BRC ALERT ***** BRC ALERT ***** Dear BlueRibbon Coalition members, supporters and ACTION ALERT subscribers, BRC's Legal Team has completed their review of the Forest Service OHV Rule. I'll be posting a detailed analysis on our website later this evening. http://www.sharetrails.org Please do not underestimate the importance of this rulemaking. Given its potential effects to the OHV community, this could be the single most important Forest Service planning initiative in decades. On balance, we believe the Proposed Rule represents a carefully-reasoned effort to bring necessary guidance to USFS OHV management. The agency has been reasonably responsive to the concerns and input we have provided through this point of the process. Trust me on this, without the involvement of BRC and other OHV organizations during the early stages, this Proposed Rule would have been considerably worse. Further input by those most affected by the rule will improve and otherwise serve to refine aspects of the Proposed Rule. **READ THAT AGAIN** It's YOU that's going to be affected by this policy. YOUR attention to this issue is VITAL! As I write this message, the anti-access crowd is in Washington D.C. preparing to distribute glossy 4-color press kits to an eager media. Their foundation funded lobbyists are already making appointments with key administration officials and Forest Service employees. Their obvious intent is to alter the proposed rule so that it becomes a CLOSURES SCHEME. Our apathy, our lack of knowledge and our silence will allow them to succeed. Let's work together to disappoint them, shall we? If you do your part, I promise we?ll do ours. We are asking you to forward this email to as many OHV enthusiasts as possible. Encourage your friends and family to log on to our website and get involved. Call the leadership of your local OHV club and get the phone tree's and email networks fired up! The comment deadline is set for Sept. 13, 2004. For your convenience, and to facilitate your efforts to get your friends and family involved, we've posted some info below. There is much more on our website. http://sharetrails.org Thanks in advance for taking action, Brian Hawthorne Public Lands Director BlueRibbon Coalition PS BRC will be posting a "form letter" on our Rapid Response Center webpage soon. DON'T WAIT! For maximum effectiveness, consider sending your comments via snail mail, fax or individual emails. Feel free to use our comment info to help with your letter. Finally, for super mega-action effectiveness, send a copy of your comment letter to your Congressional representative. Use our Rapid Response page to get their contact info (It's easy! Just click here and enter your zip code http://capwiz.com/share/home/ ) SUMMARY OF BRC MATERIALS AVAILABLE ON THE WEB FOR COMPLETE INFO AND MORE COMMENT SUGGESTIONS CLICK HERE: http://www.sharetrails.org This summarizes BRC's point-by-point analysis of the Proposed Rule published in the July 15, 2004, Federal Register (69 Fed.Reg. 42381) by the U.S. Forest Service entitled Travel Management; Designated Routes and Areas for Motor Vehicle Use (the "Proposed Rule"). This analysis is designed to help you participate in the rulemaking and fully understand its affects on your recreational lifestyle. The Forest Service is accepting public comment on the draft rules through Sept. 13 by mail to: Proposed Rule OHV's c/o Content Analysis Team P.O. Box 221150 Salt Lake City, UT 84122-1150 by e-mail to trvman@fs.fed.us and by fax at (801) 517-1014 ~~~~~~~~~~~~~~~~~~~~ ANALYSIS: THE GOOD, THE BAD, AND THE UGLY ~~~~~~~~~~~~~~~~~~~~ WHAT IT IS: The Forest Service proposes to amend regulations regarding travel management on National Forest System lands to clarify policy related to motor vehicle use, including the use of off-highway vehicles. The proposed rule would require the establishment of a system of roads, trails, and areas designated for motor vehicle use. The proposed rule also would prohibit the use of motor vehicles off the designated system, as well as motor vehicle use on the system that is not consistent with the classes of motor vehicles and, if applicable, the time of year, designated for use. As part of this effort, the Forest Service is proposing revisions to 36 CFR parts 212, 251, 261, and 295 to provide for a system of National Forest System roads, National Forest System trails, and areas on National Forest System lands designated for motor vehicle use. Detailed information is available from the Forest Service on their website: http://www.fs.fed.us/recreation/programs/ohv/ ~~~~~~~~~~~~~~~~~~~~ THE GOOD: * The proposed rule presents broad policy, not "top-down" management. * The proposed rule avoids unreachable mandates for route designations. * The proposed rule creates opportunities to include "user created" routes in the formal designation process but places the onus on recreationists to identify such routes. The agency and anti-access forces frequently raise concerns about "user-created" routes and imply that such routes are illegal and must be eliminated. That is not correct, however, as many routes were legitimately formed during "open" management. Many such routes provide desirable and valuable recreation opportunities, and in some instances might even provide a better overall access solution than inventoried or formally-approved alternatives. * The proposed rule contains important provisions acknowledging the legitimacy of OHV recreation and access. * The proposed rule attempts to clarify interpretation of executive orders which are often used by the anti-access crowd to close trails. * The proposed rule presents a "wake up call" to the OHV community regarding the management of OHV use. The rule places a responsibility on the OHV community to reach out and develop relationships with forest service personnel when developing and verifying route inventories and in subsequent travel management planning. in short, there are no more excuses for the OHV community. We must get involved or the gates will be locked tight. * The proposed rule contains a snowmobile exemption. ~~~~~~~~~~~~~~~~~~~~ THE BAD: * The proposed rule creates significant and unprecedented logistical and legal challenges for the agency. * The proposed rule is supposedly motivated by a desire to address "unmanaged recreation" but this concern will not be addressed simply by adoption of any nationwide rule. The organized OHV community should support the proposed rule only on the condition that an unprecedented forest service commitment to recreation management accompanies a final rule. * The proposed rule leaves the inventory process to the discretion of local land managers. The rule plainly allows managers to accept public input identifying uninventoried routes and to consider formal designation of such routes for vehicle travel. However, the proposed rule does not explicitly address the question of the degree, if any, of forest service inventory activity that will precede any designation process. Thus, under the proposed rule uninventoried routes may be considered for designation but the onus will fall on interested members of the public, not the agency, to identify such routes. * The proposed rule does nothing to alleviate unlawful abuse of emergency order powers. Unfortunately, many land managers have seized on the "emergency" closure authority to effectively bypass a formal public planning process, implementing immediate closures that have lasted for years and which have been extremely difficult for OHV enthusiasts to effectively challenge. If anything, the Proposed Rule adds to this concern. * The proposed rule presents a "wake up call" to the OHV community regarding the management of OHV use. Now, for those of you paying attention, you will notice this is the same issue we presented in "THE GOOD" part of the analysis. Why? Because, while Rule give opportunity to the OHV community to reach out and develop relationships with Forest Service personnel, it also has the potential to really hurt us if we don't. IF WE FAIL TO GET INVOLVED THE GATES WILL BE LOCKED TIGHT! * The proposed rule creates discretionary authority for some forests to more formally restrict snowmobile access to designated routes and areas. The Proposed Rule includes "snowmobile" in the ORV regulatory scheme, but exempts snowmobiles from the proposed mandatory designation policy. However, local managers could elect to designate routes or areas where snowmobile use would be allowed, restricted or prohibited by using the designation process outlined in Proposed Sections 212.52-212.57. ~~~~~~~~~~~~~~~~~~~~ THE UGLY The anti-access crowd is pushing hard to morph this rule into a top-down, impossible-to-implement, one-size-fits-all management nightmare. They do not seem sincere in their statements about wanting only to limit OHV's to properly designated roads and trails. The upshot of their proposal is to close all OHV routes immediately. They demand every "olo-gist" in the world sign off on every liner millimeter before allowing any vehicle use. They are pushing hard for the impossible to achieve "no impairment" standard for OHV trails. Naturally, they'll demand the Forest Service complete all of that within a two year timeframe. Miss it by one minute, and you can bet the farm those foundation funded lawyers will be in the federal courts petitioning for immediate and final elimination of OHV use. Let's disappoint them, shall we? ~~~~~~~~~~~~~~~~~~~~ COMMENT SUGGESTIONS * I strongly support the Proposed Rule?s recognition of vehicle-oriented recreation as a legitimate use of our National Forests. * I also strongly support the Proposed Rule's approach of providing broad national policy guidance while leaving the details of any decision making process to the discretion of local land managers. * The agency must reject pressure from anti-access forces to create a deadline for the designation process or to create specific "one size fits all" management prescriptions through this rulemaking. It is inappropriate and unworkable to dictate on-the-ground management changes through a nationwide OHV rule. * I appreciate the need for flexibility in the inventory and planning process. The rule should be modified, however, to require the agency to acknowledge and fully act upon its responsibility to complete an inventory of all existing roads and trails. I agree that the public should be allowed to provide early input into this process, specifically including identification of legitimate but uninventoried routes. * I strongly oppose any national or local deadline or timetable for inventories. The final rule should continue to acknowledge and further clarify the importance of user contributions to a flexible and broad-ranging inventory and scoping process before any formal route designation. * The agency's "emergency" closure authority must be better defined and limited. Some land managers improperly avoid the public travel planning process by instituting a patchwork of "temporary, emergency" closures that continue indefinitely. The final rule should clarify that closures without public notice and input under 36 C.F.R. section 212.52(B) must be documented by publicly-available monitoring and analysis that identifies the specific impact(s) and vehicles or uses causing those impact(s) to be addressed by the closure and cannot remain in effect for more than one year without formal analysis. * Please make sure the final rule clarifies that segments of any road may be designated for use by non-street legal vehicles where appropriate to avoid blanket prohibitions of non-street legal OHV use on roads such as Level 3 roads. * Please make sure the final rule clarifies that any trail may be designated for use by street legal vehicles where appropriate to avoid blanket prohibitions of street legal OHVs, particularly 4x4s and SUVs, on all trails. * I am concerned about the agency's commitment to effective implementation of any OHV rule. The rule is supposedly motivated by a need to address "unmanaged recreation" but good management will not flow from a whisk of a pen in Washington, D.C. Any final OHV rule must be accompanied by adequate budget, staffing, and priority to achieve critical on-the-ground goals. ***** END ALERT ***** END ALERT ***** END ALERT ***** END ALERT ***** |
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