California serves as home to an
abundance of endangered species, whether real or (unfortunately, in
some cases) imagined. Unlike certain "Endangered species"
which exist by circumstantial evidence alone, the existence of the
"California OHV Enthusiast" has been well documented at a
variety of locations statewide. Whereas once the "OHV"
thrived across the state, it has been displaced into increasingly
smaller areas by the actions of "environmental groups"
exerting pressure on state and federal government, and pushed to the
brink of extinction. The current state of the "OHV"
population presents a clear and present danger to the continued
actions of these "environmental groups, because like any other
species, when cornered, and fearing for it's very survival, the OHV
Enthusiast will fight back. While none would argue that certain
areas are not compatible with OHV use, the line determining what areas
need protection and what areas are compatible with responsible OHV
usage has not been crossed by "environmental" groups, it has
been erased completely. One does not need a college degree in
environmental engineering to realize that sweeping closures like S-21
result in more "protection" of areas which are not
endangered, than of areas that actually qualify as such. In short,
they are nothing but "land grabs" made in the name of
"protecting the environment". A prime example of one such
land grab is the threatened
closure of Black Sands Beach in California's King Range Conservation
Area, a 3.5 mile section of OHV accessible coastline, about 2 hrs.
south of Eureka. Of California's
1100 miles of coastline, only 1.3% (14.3 miles) are currently open to
use by OHV's. Lets break this
down... figures based on an approximately
1100 mile coastline 1100 miles of California
coastline 1085.7 miles of California
Coastline is currently "off limits" to OHV usage 98.7% of California
Coastline is currently "off limits" to OHV usage 14.3 miles of California
Coastline is currently useable by OHV's 1.3% of California
Coastline is currently useable by OHV's 3.5 miles of California
Coastline will be lost to OHV usage if Black Sands Beach is closed 10.8 miles of California
Coastline would remain useable by OHV's Less than 1% of California
Coastline would remain useable by OHV's
When considering
that only 14.3 miles of the coastline is OHV accessible to begin with,
of the closure of
Black Sands Beach would result in the loss of over 25% of OHV useable
coastline! This is utterly unacceptable to the OHV community, both in California,
and across the nation. It is unacceptable in California, because the
state has already lost too many riding areas to the efforts of
misguided "environmentalism". It is unacceptable for the
rest of the nation, because public access to these coastal areas are
important to OHV users in states without any coastline of their own.
The
"protection" of 98.7% of California's coastal lands is quite
enough thank you, and we "Just Say No" to any more.
On behalf of
outdoor recreationalists across the country, Don Amador, California
State Representative of the Blue Ribbon Coalition is taking the fight
for Black Sands Beach one step further. "My message to Congress and
others is simple, we need to change the debate from if we are going to
lose 3.5 miles of beach to -- getting back the 20 miles of beach from
Shelter Cove to the Mouth of Mattole River. As we speak, I have talked
with Congressional Staff about looking into reclaiming the Lost Coast
for the general public -- staff supports it!" Were their some
compelling reason to include Black Sands Beach in 1085 miles of
closed, or otherwise "protected" coastline, the OHV
community would likely see things differently. The fact of the matter
however, is that there is no such compelling need. There are no
endangered species, plant or animal, being threatened. Although cited
in the Federal Register notice, there are no archeological sites in
jeopardy (the documentation simply isn't there). Cultural and natural
resource protection are not an issue, as vehicular access is limited
to the waveslope, away from vegetation etc. For many locals
and tourists alike, Black Sands Beach has long served as a central
attraction and cultural meeting ground. A nationally known
destination, the beach and surrounding areas were covered in a Feb.
1996 article by the prestigious Four Wheeler Magazine in an article
entitled "Getting There", complete with maps of the roads
and trails in the area.The area is rich in it's history of multiple
use and OHV access, with the documentation to back it up. Local
resident and businessman Craig Lehman recalls a chance encounter
between his group (in OHV's) and a pair of hikers from England who met
at an old cabin which was a popular site (torn down by the BLM some
years ago) where visitors to the area would often spend the night. "My friends and I had spent a
couple days at the cabin, when a couple hikers stopped in for the
night. We got to talking and whatnot, when one of the Englishmen
pulled out a "Cribbage board". We had no idea what cribbage
was, but we sat down and learned the game. We spent the rest of the
night playing and had a great time The old Smith Family Cabin was another
popular spot with local recreationalists. There was a large amount of paper
in the cabin, and it became tradition for whoever stayed there to
write a little bit about themselves, their stay there and so forth.
The Smith family has those original papers, and photocopied them,
placing them in chronological order. There has been a wide diversity
of use at Black Sands Beach going back several decades, and we have
access to the paperwork to prove it.". Craig also talked about local
life and multiple use on Black Sands Beach. "I've been going there since
the 60's. Before I was old enough to drive or afford a 4X4 or buggy,
my friends and I would hike that beach all the time. I still do every
so often. People have been using ORV's here for years. For the most
part there were never any problems. There used to be a couple groups
of dune buggies that came up here a couple times a year before the BLM
closed the other end down. I don't know where all these complaints
about "user conflict" are coming from. I certainly haven't
seen any documentation on this supposed "increase" in
complaints". "For years and years on the
4'th of July, the community would get together and celebrate on Black
Sands Beach, that is until the BLM came in and put a damper on
everything. They had brought Rangers up to police the area on the
fourth and made it a real hassle to even get there. They checked all
the vehicles for green stickers, and other paprework. They asked us
all about fireworks etc.. After a couple years, all the locals got fed
up with the harassment and moved the festivities to private land in
the area". "The locals had always has a
cleanup at the beach every day on the 5'th (of July) at the beach,
leaving it spotless. A couple years after we moved on, the out of
towners still used the area on the 4'th, and the 5'th(of july)
resulted in garbage. One of the officers commented to us as we pulled
up in our jeep that "some locals used to clean this mess
up". I told him "That's right, and there's 4 of them right
here". No matter how you look at it, the beach has played a big
part in all our lives."
"User Conflict" In the Federal Register
notice, the BLM also cites these "user conflicts" and
"difficulties in
enforcement because of the remoteness of this area" as a basis for closure. One look at the undocumented, and patently
false claims of the Sierra Club's will quickly determine the
"root cause" of such conflicts... - "USER
CONFLICTS"
Most nonmotorized forms of outdoor recreation are disrupted or
hurt by the operation of ORVs nearby. In a 1988 survey 75.1% of
those surveyed wanted more protection of ecology. Fifty-three
percent wanted less areas open for off-road vehicles (or to
eliminate them entirely) while only 16.9% wanted more areas open
for ORVs. Seventeen and seven-tenths percent wanted more roads for
4-wheel drive use, while 44.1% wanted less roads or to eliminate
them. Fifty-eight and two-tenths percent wanted more wilderness.
This statewide California survey has a margin of error of plus or
minus 3.2%.
ORV use, if
unregulated, becomes an infringement on other people's right to
recreation."
Further.... - "ORV use, even under the most stringent
regulations, carefully and meticulously enforced, causes
irreversible impacts on the nation's resources. The premise that
local, state, or federal governments are obligated to provide
public lands and the services of public employees for a use that
is consumptive of resources and that conflicts with virtually
every other use cannot be defended and sets a poor
precedent."
Further.... - FOREST VISITORS / USER
CONFLICTS
Motorized
and non-motorized recreation does not mix. The
noisy motorized recreation preempts and drives out the quiter,
more contemplative forms of recreation. See the survey results
attached to this handbook.
And finally.... - Go forth with your camera. Snap a photo of
the ugly hill- climb scars, the eroding streambanks, the crushed
alpine tundra, and the wheel-rut mazes through moist meadows. Send
a copy of the photo with a letter which details the location of
the resource damage and uses the phrase, "Please immediately
close this area to ORMVs as required under 36 CFR 295.5."
Send the letter
to the Forest Supervisor and the District Ranger in charge.
The CFRs give citizens the right to "monitor" and their
input can and will "indicate that considerable adverse
effects are occurring." Remember,
one adverse effect is "user conflict." We
are advising a wonderful,
legal tactic. Next time you're on a hike and a dirt bike roars by, get 40
friends to all call or write to the Forest Supervisor and say,"We
demand immediate closure of the trail to dirt bikes because user
conflicts indicate that considerable adverse effects are
occurring." The
effect is to publicize the "user conflict" aspect of
ORMV use on public lands, which the regulations stipulate shall
trigger action from the managing agency.
We must restrain ourselves, choose our most threatened and most
cherished areas, and save them first. Good luck! Have somequiet
fun.-
These "wonderful, legal
tactic's" and moments of "quiet
fun" are what is happening at Black Sands Beach today,
although these are not
adequate reasons for closure. In fact, the very "Mission
Statement" of the BLM located at the Bureau
of Land Management website,
http://www.blm.gov/nhp/facts/mission.html,
puts a direct lie to the words of the Sierra Club, as quoted above. "It
is the mission of the Bureau of Land Management to sustain the health,
diversity and productivity of the public lands for the use and
enjoyment of present and future generations". In accordance with this Mission Statement,
the BLM should educate the backcountry users of the King Range to
expect vehicles on this stretch of beach and to emphasize that the
remaining beach (in fact, the remaining 1,000+ miles of beach) is
reserved for their exclusive use and enjoyment. As outdoor recreation
is as diverse as the people who take part in it, the BLM should
educate and advocate that backcountry users learn to share this
beautiful area and to tolerate other recreationalists who by choice or
necessity use vehicles to access the backcountry. From Ron Shiller, Chairman of the High
Desert Multiple Use Coalition.... "The Federal Register Notice is very vague
and does not appear to clearly indicate a reason that necessitates
banning vehicle-based family oriented recreational activities. The
Federal Register Notice states, "The purpose of the closure is to
protect natural and cultural resource values and prevent conflicts
between vehicular and non-vehicular recreation uses."
Unfortunately, the Federal Register Notice includes no indication of
what natural or cultural resources are being degraded. Furthermore,
the Federal Register Notice cites "user conflicts" but the
nature or significance of the so-called conflicts is not
provided". On the subject of "difficulty of
enforcement due to remoteness of area"... The Federal Register Notice indicates that your
agency has encountered difficulties in monitoring and enforcing a
closure in a backcountry location lacking natural barriers to vehicle
access. We do not believe that law abiding families should suffer the
brunt of your agency's shortcomings in managing public lands. What
actions has your office taken to correct the problem? Has the
California Department of Parks and Recreation Off-Highway Motorized
Vehicle Division been approached to request additional funding for
increased monitoring, public education, ranger patrols, or other
management enhancements?
In the last paragraph of the
Federal Register notice, the BLM has apparently taken a page from the Southern
Utah Wilderness Alliance "book of misinformation", as it refers to the King Range as
one of "California?s last primitive
un-roaded areas".
This description is wholly untrue, misleading the reader into
believing that this currently "roaded" area is "roadless".
Historically, vehicular access to this area included the entire
coastline from Telegraph Creek to the Matolle
River. Further, the
King Range includes a nationally recognized "four-wheel
drive" road (Smith-Etter) which has been written about in popular
recreation magazines, as well as numerous other roads accessing the
interior and western slopes. The beach (Matolle
River to Black Sands
Beach) hardly qualifies as one of California?s last un-roaded areas.
Instead, Black Sands Beach should be more accurately described as "one
of California?s last remaining beaches with vehicular access". To boil this proposal down to
a sentence; It is a discriminatory
action whereby one user group (who believe they have the moral high
ground) are selfishly attempting to lock out another user group. If hikers have a conflict with vehicles, perhaps the BLM should
consider closing the beach to hiking access or rerouting hiking
trails, rather than following the all too familiar route of locking
out the OHV. As previously stated, Hikers
have over 1000 miles of coastline to enjoy their activities "OHV
Free".
The OHV community has far fewer options. Black Sands Beach is a rugged
and remote beach where families, their children, senior citizens, the
handicapped, and those unable, or who choose not to hike can have the
same experience sought by backpackers. As a disabled person, I can
speak with firsthand knowledge about issues pertaining to access and
the disabled. While having the use of my legs, I personally cannot
hike the tens of thousands of "OHV Free" miles available to
the more able bodied. I personally cannot experience the areas many
hikers are familiar with because my only means of accessing these
areas is prohibited. There are literally millions of people in this
position, and the fact of the matter is this. Land closure relegates
the elderly and disabled to the status of "second class
citizens", by denying us the same rights of the able bodied. By
law, Government (and all public) buildings must be accessible to the
disabled. Public lands should be no different. Craig Lehman added a couple points on the subject
from a local perspective "A good number of locals using the beach
are elderly. They have enjoyed the beach for years both on foot, and
with OHV's. For some, it's the only way they can continue doing so. Is
it right to take such a big part of their lives away from them? One
local resident is a disabled combat veteran. Do you think it's right
that he be denied access to the very land he gave a piece of himself
of serving"? That man is not alone. In
near by Garberville, a disabled veterans group fed up with being
denied access to public lands is stepping up to defend their rights.
Disabled veterans groups in the Southwest were quick to respond as
well, and are pursuing several avenue's of action in a show of
solidarity with their northern counterparts. The attempt to close Black
Sands Beach is an act of discrimination on many fronts. It is BLM?s
job to provide for multiple access to the able bodied as well as the
elderly and disabled. To do otherwise is counter to their Mission
Statement, and a
violation of the public trust.
Environmental Impact Studies,
and other documentation
The OHV community has called upon the
BLM to provide the following information, and / or documentation.... - Copies of letters or
reports which document the number of user conflicts.
- Specifically, what efforts
has BLM taken to resolve these conflicts?
- What programs has BLM
undertaken to educate users of the need to share public lands with
other user groups?
- If this beach is closed
how will BLM provide a similar backcountry experience to
handicapped persons, senior citizens, and physically unfit
persons.
- Document the number of
tickets issued to trespassing users.
- How much is the average
fine for trespassing?
- What efforts has BLM
undertaken to resolve trespass issues?
- We understand there is a
vandalism problem in the King Range area. Why is BLM not proposing
to close areas prone to vandalism?
- What percentage of time is
there a BLM staff person (with ticket writing authority) assigned
to Black Sands Beach.
- What is the number of
motorized recreation visitors this area receives per year and
document the increase cited in the Federal Register notice.
- What natural resources
exist in the waveslope area?
- Copies of studies proving
motorized vehicle access to the waveslope threaten natural
resources.
- Short of closure, what
steps has BLM taken to mitigate or eliminate the alleged threat to
natural resources?
- What cultural sites have
been identified in the waveslope area?
- Copies of studies or
documentation that vehicular access to the waveslope threaten the
alleged cultural resources.
- Short of closure, what
steps has BLM taken to mitigate or eliminate the alleged threat to
cultural resources.
Due to the amount of controversy this decision will
create we are requesting BLM prepare an Environmental Impact Study to
justify this decision. The study should include consideration of
offsite impacts and of the economic and social impacts the proposed
closure will create. This process will allow for more public input and
a more thorough and reasoned consideration of the issues surrounding
this decision.
The High Desert Multiple use
Coalition has additionally called on the BLM to include the following
in their Environmental Assessment (EA)... - An analysis of the social
impacts of the loss of a unique and rare opportunity for vehicle
based family recreation in a California beach setting and the
adverse effects it will have upon disabled Americans and families
with very young children and elderly family members
- Information regarding the
occurrence of similar opportunities available in California and
the proximity to the management area
- An analysis of potential
adverse impacts to the local economy
- An analysis of the adverse
effects that this proposal would have on local custom, culture,
and traditional historic family activities
- An indication of the
specific natural and cultural resources that are at risk and their
significance, their uniqueness, why they werent addressed in
the original closure implemented in 1974, and why they cannot be
mitigated
- Several examples of
documented conflicts and any communications between your agency
and the complainant
Ron Shiller, Chairman of the
High Desert Multiple Use Coalition, in his letter of opposition to the
BLM, sums up the feelings of OHV users everywhere when he says... "In conclusion, this proposal appears to be
just another unjustified example of the ingrained belief that
motorized access is inherently unacceptable and must be eliminated.
For far too long, the very wealthy environmentally extreme
organizations have their way with the Federal agencies charged with
managing public land. We believe that the time has come for all
organizations that promote reasonable and environmentally responsible
natural resource and land management policies to stand together and JUST
SAY NO to examples of unreasonable extremism".
Currently, the BLM has been receiving feedback on Black Sands Beach running 3 to
1 AGAINST it's closure. and is suprised to
discover that many letters have
come from outside California.This battle is
far from won however, and rather than resting on the laurels of an
early success, we urge you to address your comments and concerns about
the proposed closure of Black Sands Beach to ... Lynda Roush-Area
Manager Arcata Resource Area BLM 1695 Heindon Road Arcata, CA 95521 Fax # (707) 825-2301 | Ed Hastey, Director Bureau of Land Management 2800 Cottage Way Sacremento CA 95825 (916) 978-4657 |
Act now! Take 5 minuets and "Just say NO" to the closure of Black
Sands Beach. Use the Black Sands Beach
Letter generator http://www.humboldt1.com/~jwboyett/blaksand.htm
Governmental Representatives Frank Riggs - U.S.
Congressman repriggs@hr.house.gov (R-CA-1st) Room: 1714 Longworth House Office Building Phone: (202) 225-3311 Fax #: (202) 225-3403 District Phone: (707) 254-7308 | Mike Thompson -
California State Senator Senator.Thompson@sen.ca.gov Capitol State Capitol Room 3056 Office Sacramento, CA 95814 Phone: (916) 445-3375 Suite 6 Eureka 95501. Ph: (707) 445-6508 |
Humbolt
County Board of Supervisors Stan Dixon 825 5th st. Eureka 95501 707-445-7691 |
Senator
Barbera Boxer Senator@Boxer.Senate.Gov 1700 Montgomery Street Suite 240 San Francisco, CA 94111 Phone 415 403 0100 Public Fax 415 956 6701 | Senator
Dianne Feinstein senator@feinstein.senate.gov United States Senate 331 Hart Senate Office Building Washington, D.C. 20510 Phone: 202/224-3841 Fax: 202/228-3954 |
Local Media Southern
Humbolt Life & Times Editor Bill Roddy 707-923-2824 |
Links to Relavent Sites The Lost Coast 4X4 Black Sands
Beach Page http://www.humboldt1.com/jwboyett/blaksand.htm The Sierra Club http://sierraclub.org/ The Bureau of Land Management http://www.blm.gov The Landuse Network http://www.off-road.com/landuse/landuse.htm High Desert Multiple Use
Coalition http://www1.ridgecrest.ca.us/~coop/homepage.htm The Blue Ribbon Coalition http://www.sharetrails.org The Southern Utah Wilderness
Alliance http://www.suwa.org Materials for this article provided
by Patric Lassiter, and Don Amador-Blue
Ribbon Coalition Via the Landuse Network - landuse@off-road.com lenhart@off-road.com
Copyright 1997 Norm Lenhart , Off-Road.com, and all contributors to
this article. The article and any part thereof, is free for use by any agency, and
in any medium with the following restrictions..
Any agency, group, individual working toward the restriction,
reduction, or elimination of OHV usage, or other forms of outdoor
recreation on public lands must agree to pay $100 per word used, to the Blue Ribbon Coalition., before any
publication of said words.This includes, but is not limited to The
Sierra Club, Southern Utah Wilderness Alliance, Earth First!, PETA, their supporters, or members. Usage of
this article or any part thereof, constitutes legal acceptance of
these terms.
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