The AAC's Official Stance on the Proposed Fixed Anchor Guidance from the NPS and USFS

Photo by Sterling Boin.

Thanks to the diligent and extensive research and work by our policy director, Byron Harvison, the AAC has submitted the following public comments to the National Park Service (NPS) and United States Forest Service (USFS) respectively, about their proposed fixed anchor guidance in Wilderness Areas, on January 30th, 2024. Read the full statements by clicking each button.


An Excerpt:

“The AAC would like the National Park Service (NPS) and United States Forest Service (USFS) to adopt guidance which affirms that fixed anchors are not installations prohibited by the Wilderness Act and allow agency land managers to administer their areas in a similar manner with what had been established under NPS Director’s Order #41. In lieu of publishing such guidance, the AAC would ask that the NPS and USFS convenes a committee pursuant to the negotiated rulemaking process, or similar collaborative process, in order to address the issue of fixed anchors in Wilderness and implement guidelines following a committee report. The AAC reiterates that the MRA process is not only a technically incorrect tool for the evaluation of fixed anchors, but cannot be practically implemented due to agency underfunding and limited staffing, and such a process will inevitably lead to management by moratorium.

“The AAC will remain committed to instilling the ethos of maintaining wilderness character, utilizing the best low-impact climbing techniques and practices, and staunchly supporting appropriate recreation in Wilderness. The AAC is ready and willing to assist the NPS and USFS to deliver on their dual mandate of conserving Wilderness characteristics while also ensuring the benefit and enjoyment of the Wilderness for the broader public.”