MOUNTAIN THIN PROJECT APPROVED
— by Michelle
Berditschevsky and Justin McCoy
On August 11th
the Forest Service issued its decision for the Mountain Thin
and Fuels Management project, approving treatments
on 3,200 acres within a 13,000 acre project area. Treatments involve
plantation thinning, fuels management, as well as thinning overly
dense mixed conifer stands in mid-successional stands, producing
biomass and 5 million board feet of commercial timber in the process.
Objectives
of the thinning activities are to protect the Mount Shasta community
and national forest lands from catastrophic wildfires; enhance forest health
by improving tree growth and resistance to insects, disease and fire; accelerating
development of late-successional wildlife habitat, restoring views from the
Everitt Vista; and improve long-term access for fire protection and forest
management. Controversial
Aspects
In spite of the beneficial effects of fuels reduction to reduce the spread
of
wildfire into the city limits, the project is controversial because it proposes
to thin some 800 acres outside the overstocked plantations and fuels management
zone on the lower slopes of Mount Shasta, which everyone agrees pose a fire
hazard. The disputed units lie at higher elevations up to 6,400 feet, and some
are within the Wagon Late Successional Reserve (LSR). There are also units
in the forests near McGinnis Springs, which is a proposed Special Interest
Area and is one of the most biologically diverse parts of the Mountain.
Our most recent field visit in mid-August with District Ranger Mike Hupp and
other agency personnel included some of the most contested units. The trip
revealed that overstocked stands are indeed present in the higher elevation
units and expose the forest to a risk of stand-destroying crown fires. Even
in the units within the LSR, where we would expect to see large old growth
trees, we found mainly even-aged stands appearing to be around 80 years old.
They were so overcrowded that they contained many dead or dying trees, replete
with fuel ladders and high levels of woody debris on the forest floor. The
LSR is largely in a mid-successional seral stage and is being managed so that
there will be old growth in the future, as the Mountain is deficient in late-seral
stages in areas that were heavily logged in the first half of the 20th century.
There is no question that the units we saw are a tinder box waiting to happen.
The problem
is that fires, which used to be the natural way the forests thinned
and cleaned themselves of dead materials, have been suppressed since the
large fires of the first half of the 20th century following the
heavy logging when
most of the old growth forests were cut. The result has been dense even-aged
stands with high risk of catastrophic fires that could be ignited by acts
of carelessness or lightning. Dense stands are also dangerously
prone to beetle
infestation and disease, as overcrowding lowers the force with which trees
produce sufficient sap to repel the insects.
Another problem
has been the late release of the Environmental Assessment, so
that it was impossible to tell whether the Forest Service had
done the
requisite environmental review until the decision came out. As a result,
the public was
not fully informed about the project when comments were made. Under the
new Forest Service regulations ("streamlined" last summer by the Bush
administration) the Environmental Assessment is only issued at the time of
the decision. While the Forest Service asked for public participation at various
stages of proposal development, the only available information was a four-page
summary of the project.
Prescriptions
Don't Go Far Enough
A point of contention about the project is the way the thinning prescriptions
are written, or rather, are merely alluded under the general term "thin." These
are not stands whose main purpose is timber production; they are contributing
features to the Mountain's spiritual, cultural and scenic significance, and
are well within the area once designated as a Traditional Cultural District
because of its importance to the Native Tribes of the region and beyond.
Given the Mountain's cultural and scenic significance and its importance as
wildlife habitat, prescriptions should be more specific. Even though the environmental
assessment contains language saying those values will be protected, we do not
see this reflected in the actual prescriptions.
At a minimum,
the Forest Service should modify the thinning prescription to
reflect "wildlife emphasis" and "scenic/cultural emphasis" as
these words are defined in the Forest Plan. In particular, Units such as
103, 283 and 290 should not be logged except under the strictest wildlife
and scenic/cultural
definitions.
This would
assure that the following values are retained:
• Nesting, foraging and dispersal habitat for the northern spotted owl
and northern goshawk.
• Denning and dispersal habitat for furbearers.
• A minimum of 60% crown canopy throughout the units.
• Uneven tree spacing and clumpiness to avoid a mechanical appearance
• Good snag habitat, and retain large logs and down woody debris for furbearers.
• Upper diameter limit to protect any late succesional and/or old-growth
trees, including individual trees and groves. Management
Plan Needed for the Whole Mountain
What is needed in the long-term is a management plan for the Mountain's whole
ecosystem. This would have been a result of the designation as Traditional
Cultural District that covered Shasta down to the 4,000 foot elevation, accomplished
in 1994 in the context of our challenge of the proposed ski/condo resort.
However, later that year, special interest pressure reduced the District
to the 8,000 foot elevation (with Panther Meadows also included). A cultural
management plan would have been needed for the District.
The project area also
does not have a Watershed Analysis. While the decision avoids riparian
areas, a Watershed Analysis would analyze all components of
the ecosystem, so that we would be assured that the interactions between
the forest and the riparian areas are taken into account. Conclusion
We are currently evaluating whether to appeal the decision in order to request
specific management emphasis for wildlife, scenic and cultural values. We
need to research whether they can be framed in terms of Forest Plan standards
that will hold up in an appeal. The project is slated to start in the Spring
of 2005, and an appeal could bring about some modifications before the start
date. We invite our readers to give us their input on whether to appeal and
what issues are important to them. Appeals are due by September 25, 2004.
Many thanks to Kathy Zavada of the Citizens' Alternative and Kyle
Haines of the Klamath Forest Alliance for their input to this article.
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