Difference between revisions of "Untrammeled Quality Indicators"

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Monitoring the Untrammeled Quality assesses how management of a wilderness is
[[Category:USFS]]
trending over time toward more or less human manipulation of plant communities,
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fish and wildlife populations, insects and disease, soil and water resources, and fire
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processes. Key indicators and measures monitor actions that are either authorized or
<div class="center">[[USFS Wilderness Character Monitoring Technical Guide]]</div>
unauthorized intentional manipulations of the biophysical environment. This section
[[File:Wilderness character monitoring technical guide - rmrs gtr406.pdf.png|200px|thumb|center]]
first provides guidance on what a trammeling action is (section 2.1) and then describes
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detailed protocols for monitoring the following indicators and measures:
'''2 {{ PAGENAME }}'''
2.2 Indicator: Actions Authorized by the Federal Land Manager that
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Intentionally Manipulate the Biophysical Environment
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2.2.1 Measure: Number of authorized actions and persistent structures
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designed to manipulate plants, animals, pathogens, soil, water, or fire.
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2.3 Indicator: Actions Not Authorized by the Federal Land Manager that
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Intentionally Manipulate the Biophysical Environment
 
2.3.1 Measure: Number of unauthorized actions and persistent structures
Monitoring the Untrammeled Quality assesses how management of a wilderness is trending over time toward more or less human manipulation of plant communities, fish and wildlife populations, insects and disease, soil and water resources, and fire processes. Key indicators and measures monitor actions that are either authorized or unauthorized intentional manipulations of the biophysical environment. This section first provides guidance on what a trammeling action is (section 2.1) and then describes detailed protocols for monitoring the following indicators and measures:
by agencies, organizations, or individuals that manipulate plants, animals,
 
pathogens, soil, water, or fire.
: 2.2 Indicator: Actions Authorized by the Federal Land Manager that Intentionally Manipulate the Biophysical Environment
2.1 What is a Trammeling Action?
 
This section provides guidelines and examples to clarify what is and is not a
:: 2.2.1 Measure: Number of authorized actions and persistent structures designed to manipulate plants, animals, pathogens, soil, water, or fire.
trammeling action, based on the recommendations in Keeping It Wild 2 (Landres et
 
al. 2015). These guidelines and examples should be sufficient to help staff decide most
: 2.3 Indicator: Actions Not Authorized by the Federal Land Manager that Intentionally Manipulate the Biophysical Environment
of the cases whether an action is a trammeling or not and provide sufficient guidance
 
for local units to determine novel and rarer cases as they occur. A trammeling action
:: 2.3.1 Measure: Number of unauthorized actions and persistent structures by agencies, organizations, or individuals that manipulate plants, animals, pathogens, soil, water, or fire.
is defined as an action or persistent structure that intentionally manipulates “the
 
earth and its community of life” inside a designated wilderness or inside an area that,
== 2.1 What is a Trammeling Action? ==
by Congressional legislation or agency policy, is managed to preserve wilderness
 
character.
This section provides guidelines and examples to clarify what is and is not a trammeling action, based on the recommendations in Keeping It Wild 2 (Landres et al. 2015). These guidelines and examples should be sufficient to help staff decide most of the cases whether an action is a trammeling or not and provide sufficient guidance for local units to determine novel and rarer cases as they occur. A trammeling action is defined as an action or persistent structure that intentionally manipulates "the earth and its community of life" inside a designated wilderness or inside an area that, by Congressional legislation or agency policy, is managed to preserve wilderness character.
The following terms and phrases clarify the trammeling action definition described
 
above:
The following terms and phrases clarify the trammeling action definition described above:
Intentional—An action done on purpose, deliberately, or willfully.
 
Manipulation—An action that alters, hinders, restricts, controls, or
* Intentional—An action done on purpose, deliberately, or willfully.
manipulates “the earth and its community of life” including the type, amount,
* Manipulation—An action that alters, hinders, restricts, controls, or manipulates "the earth and its community of life" including the type, amount, or distribution of plants, animals, or physical resources.
or distribution of plants, animals, or physical resources.
* Intentional manipulation—An action that purposefully alters, hinders, restricts, controls, or manipulates "the earth and its community of life."
Intentional manipulation—An action that purposefully alters, hinders,
 
restricts, controls, or manipulates “the earth and its community of life.
Two concepts are crucial for understanding what is, and is not a trammeling action: (1) restraint and (2) intention. The first concept, restraining our power to manipulate or control "the earth and its community of life," is at the core of the Untrammeled Quality of wilderness character. Wilderness legislation and policies mandate that federal land managers exercise restraint when authorizing actions that interfere with or control wilderness ecosystems. While other agencies, organizations, and the public are not beholden to these same restraints, activities not authorized by the federal land manager that manipulate the wilderness environment are counted as trammeling actions.
 
The second concept central to the idea of trammeling is intentionality. Actions that deliberately interfere with, manage, or control an aspect of wilderness ecosystems are intentional and clear instances of trammeling. Section 2.0 of this technical guide, Untrammeled Quality, explains that intentional actions are counted as a trammeling regardless of the magnitude of their effects (including aerial extent, intensity, and duration). For pragmatic reasons, however, some actions are not monitored if they fall below a minimum practical threshold of scale and scope (e.g., hand pulling a few individual nonindigenous invasive plants). In general, when such actions have substantial and foreseeable effects on a wilderness ecosystem, they are counted as a trammeling, as shown in figure 2.2.1 in section 2.1.4 in part 2.
 
Actions initiated outside the boundaries of a designated wilderness generally do not affect the Untrammeled Quality. However, some actions taken outside of wilderness boundaries do intentionally alter, hinder, restrict, control, or manipulate the "the earth and its community of life" within wilderness. Examples include, but are not limited to, the introduction of game species outside a wilderness with the intention that the animals will occupy habitat within a wilderness, ignition of fire outside of wilderness with the anticipation that fire will burn into wilderness, installation of a dam outside of a wilderness boundary that results in the containment of a watershed within wilderness, or seeding of clouds for weather manipulation over wilderness.


Two concepts are crucial for understanding what is, and is not a trammeling action:
(1) restraint and (2) intention. The first concept, restraining our power to manipulate
or control “the earth and its community of life,” is at the core of the Untrammeled
Quality of wilderness character. Wilderness legislation and policies mandate that
federal land managers exercise restraint when authorizing actions that interfere with
or control wilderness ecosystems. While other agencies, organizations, and the public
are not beholden to these same restraints, activities not authorized by the federal land
manager that manipulate the wilderness environment are counted as trammeling
actions.
The second concept central to the idea of trammeling is intentionality. Actions that
deliberately interfere with, manage, or control an aspect of wilderness ecosystems
are intentional and clear instances of trammeling. Section 2.0 of this technical guide,
Untrammeled Quality, explains that intentional actions are counted as a trammeling
regardless of the magnitude of their effects (including aerial extent, intensity, and
duration). For pragmatic reasons, however, some actions are not monitored if they
fall below a minimum practical threshold of scale and scope (e.g., hand pulling a
few individual nonindigenous invasive plants). In general, when such actions have
substantial and foreseeable effects on a wilderness ecosystem, they are counted as a
trammeling, as shown in figure 2.2.1 in section 2.1.4 in part 2.
Actions initiated outside the boundaries of a designated wilderness generally do not
affect the Untrammeled Quality. However, some actions taken outside of wilderness
boundaries do intentionally alter, hinder, restrict, control, or manipulate the “the
earth and its community of life” within wilderness. Examples include, but are not
limited to, the introduction of game species outside a wilderness with the intention
that the animals will occupy habitat within a wilderness, ignition of fire outside of
wilderness with the anticipation that fire will burn into wilderness, installation of a
dam outside of a wilderness boundary that results in the containment of a watershed
within wilderness, or seeding of clouds for weather manipulation over wilderness.
This section describes three types of activities:
This section describes three types of activities:
1. Activities that are trammeling actions
2. Activities that are not trammeling actions
3. Activities that may be trammeling actions


At the end of this section, a flowchart provides general guidance for making
# Activities that are trammeling actions
determinations about the three types of activities. Additionally, line officers often
# Activities that are not trammeling actions
make (difficult) decisions to exercise restraint and not take action in wilderness,
# Activities that may be trammeling actions
despite a perceived need. Decisions to not take action in wilderness are not
 
explicitly monitored under this quality, but would be reflected in a lower overall
At the end of this section, a flowchart provides general guidance for making determinations about the three types of activities. Additionally, line officers often make (difficult) decisions to exercise restraint and not take action in wilderness, despite a perceived need. Decisions to not take action in wilderness are not explicitly monitored under this quality, but would be reflected in a lower overall tally of intentional actions taken in wilderness, which equates to less impact to the Untrammeled Quality.
tally of intentional actions taken in wilderness, which equates to less impact to the
 
Untrammeled Quality.
=== 2.1.1 Activities That Are Trammeling Actions ===
2.1.1 Activities That Are Trammeling Actions
 
There are two broad classes of trammeling actions: (1) those authorized by the federal
There are two broad classes of trammeling actions: (1) those authorized by the federal land manager, and (2) those that are not. Three subclasses under each broad class reflect whether the action is taken on (a) a biological resource, (b) a physical resource, or (c) a resource outside a wilderness with the intent to manipulate biophysical resources within a wilderness.
land manager, and (2) those that are not. Three subclasses under each broad class
 
reflect whether the action is taken on (a) a biological resource, (b) a physical resource,
Agency authorized trammeling actions are actions that are authorized by the Forest Service as well as actions by other agencies, organizations, or individuals that have been approved or permitted by the Forest Service.
or (c) a resource outside a wilderness with the intent to manipulate biophysical
 
resources within a wilderness.
* Examples of actions taken inside wilderness on a biological resource to intentionally affect "the earth and its community of life" include the following:
Agency authorized trammeling actions are actions that are authorized by the Forest
** Administrative actions to remove or kill indigenous or nonindigenous vegetation, fish, or wildlife.
Service as well as actions by other agencies, organizations, or individuals that have
** Adding or restoring indigenous or nonindigenous vegetation, fish, or wildlife.
been approved or permitted by the Forest Service.
** Using chemicals or biocontrol agents to control indigenous or nonindigenous vegetation, fish, or wildlife.
Examples of actions taken inside wilderness on a biological resource to
** Collecting, capturing, or releasing fish and wildlife under a research permit.
intentionally affect “the earth and its community of life” include the following:
** Enclosing or excluding fish and wildlife from an area.
Administrative actions to remove or kill indigenous or nonindigenous
** Permitting livestock grazing.
vegetation, fish, or wildlife.
* Examples of actions taken inside wilderness on a physical resource or natural process to intentionally affect "the earth and its community of life" include the following:
Adding or restoring indigenous or nonindigenous vegetation, fish, or
** Taking suppression action on naturally ignited fire.
wildlife.
** Igniting fire (under management prescription) for any purpose.
Using chemicals or biocontrol agents to control indigenous or
** Constructing or maintaining a dam, water diversion, guzzler, fish barrier, or other persistent installation intended to continuously alter wilderness hydrology.
nonindigenous vegetation, fish, or wildlife.
** Installing a bat gate on a cave or constructing fencing to an extent sufficient to alter wildlife behavior (e.g., elk or cattle exclosures).
Collecting, capturing, or releasing fish and wildlife under a research permit.
** Adding acid-buffering limestone to water to neutralize the effects of acid deposition.
Enclosing or excluding fish and wildlife from an area.
** Collecting fossils, rocks, paleontological specimens under a collection or research permit.
Permitting livestock grazing.
** Implementing Burned Area Emergency Response (BAER) activities.
Examples of actions taken inside wilderness on a physical resource or natural
* Examples of actions taken outside wilderness on a physical or biological resource or process to intentionally affect "the earth and its community of life" inside a wilderness include the following:
process to intentionally affect “the earth and its community of life” include the
** Cloud seeding to intentionally increase precipitation inside wilderness.
following:
** Damming a river outside a wilderness to intentionally alter the hydrology inside wilderness.
Taking suppression action on naturally ignited fire.
** Killing fish and wildlife outside wilderness, or planting or stocking fish or wildlife outside wilderness, to intentionally affect the population or distribution of this species inside wilderness.
Igniting fire (under management prescription) for any purpose.
 
Constructing or maintaining a dam, water diversion, guzzler, fish barrier,
Unauthorized trammeling actions are actions taken by other agencies, organizations, or individuals that the federal land manager has not authorized, approved, or permitted.
or other persistent installation intended to continuously alter wilderness
 
hydrology.
* Examples of actions taken inside wilderness on a biological resource to intentionally affect "the earth and its community of life" include the following:
Installing a bat gate on a cave or constructing fencing to an extent sufficient
** Unauthorized removal of or killing indigenous or nonindigenous vegetation, fish, or wildlife with the intent of altering distribution or population dynamics (e.g., predator control).
to alter wildlife behavior (e.g., elk or cattle exclosures).
** Unauthorized addition or restoration of indigenous or nonindigenous vegetation, fish, or wildlife.
Adding acid-buffering limestone to water to neutralize the effects of acid
** Indirect manipulation of fish and wildlife, such as changing hunting regulations with the goal of decreasing predator populations within wilderness.
deposition.
** Illegal livestock grazing, provided that there is reasonable certainty that grazing activities in wilderness were intentional as opposed to unintentional (e.g., resulting from poorly maintained fencing).
Collecting fossils, rocks, paleontological specimens under a collection or
* Examples of actions taken inside wilderness on a physical resource or natural process to intentionally affect "the earth and its community of life" include the following:
research permit.
** Setting arson fire.
Implementing Burned Area Emergency Response (BAER) activities.
** Modifying water resources to provide water for wildlife, or otherwise store water or alter the timing of water flow.
Examples of actions taken outside wilderness on a physical or biological
* Examples of actions taken outside wilderness on a physical or biological resource to intentionally affect "the earth and its community of life" inside a wilderness includes the following:
resource or process to intentionally affect “the earth and its community of life”
** Killing individual animals outside of wilderness with the intention to affect populations whose ranges expand into wilderness.
inside a wilderness include the following:
** Releasing individual animals outside of wilderness with the intention to affect populations whose ranges expand into wilderness.
Cloud seeding to intentionally increase precipitation inside wilderness.
 
Damming a river outside a wilderness to intentionally alter the hydrology
In some situations, Forest Service land managers may assume that they do not have an opportunity for restraint because an action is required to comply with other laws or agency policies, or to protect human life or property. Examples of such situations include restoring habitat for a listed endangered species, spraying herbicides to eradicate an invasive nonindigenous plant that is degrading wildlife habitat, transplanting an '''extirpated species''' back into a wilderness, or suppressing a naturally ignited fire. These are still considered trammeling actions because even in these situations there is a decision to take action, as well as a decision about the type and intensity of action.
inside wilderness.
 
Killing fish and wildlife outside wilderness, or planting or stocking fish
=== 2.1.2 Activities That Are Not Trammeling Actions ===
or wildlife outside wilderness, to intentionally affect the population or
 
distribution of this species inside wilderness.
Actions for which there is no opportunity for restraint are not considered a trammeling. For example, climate change, air pollutants drifting into a wilderness, and the presence of nonindigenous species that naturally dispersed into a wilderness are not the result of deliberate decisions or actions, and therefore, do not provide an opportunity for restraint. Accidental unauthorized actions, such as escaped campfires and oils spills, similarly lack an opportunity to restrain individuals' power over the landscape. Past actions that manipulated the biophysical environment before the designation of the area as wilderness are not considered a trammeling because the provisions of the 1964 Wilderness Act did not apply to the area prior to designation.
Unauthorized trammeling actions are actions taken by other agencies, organizations,
 
or individuals that the federal land manager has not authorized, approved, or
Another group of examples that are not a trammeling encompass those small-scale actions with no intent to manipulate "the earth and its community of life," such as installing meteorological or other science instrumentation, landing a helicopter for search and rescue operations, and removing trash. Camping violations, incidental development of campsites, unauthorized motorized incursions, littering, and other illegal activities not intended to manipulate the biophysical environment also are not counted as trammeling actions because legality is irrelevant in determining whether an action is a trammeling.
permitted.
 
Examples of actions taken inside wilderness on a biological resource to
Hunting, for sport or subsistence, has provoked an enormous amount of interagency discussion about whether it degrades the Untrammeled Quality. The general interagency consensus is that hunting is not a trammeling action because individual hunters are taking individual animals without the intention to manipulate the wildlife population. However, if a state wildlife agency increases predator bag limits in a wilderness to purposefully alter the predator-prey relationship to maximize the viability of a game species, this manipulation of the "community of life" would degrade the Untrammeled Quality.
intentionally affect “the earth and its community of life” include the following:
 
Unauthorized removal of or killing indigenous or nonindigenous vegetation,
=== 2.1.3 Activities That May Be Trammeling Actions ===
fish, or wildlife with the intent of altering distribution or population
 
dynamics (e.g., predator control).
There are two types of actions that may or may not be considered trammeling actions. The first includes intentional manipulations that interfere with or control an aspect of wilderness ecosystems but are too small in scale or scope to be practically monitored. The second type encompasses those nuanced cases where the primary purpose of the action is not to manipulate the ecosystem, but a foreseeable and substantial effect on the earth and its community is required to achieve this purpose. This second type of action can be confusing because it still results in intentional manipulations of the biophysical environment even though that was not the primary purpose. As shown in table 2.2.1, several example situations illustrate how an action may or may not be a trammeling, depending on the extent of the action and its effects. The table columns "Likely Not a Trammeling" and "Likely a Trammeling" present situations where the action being taken would not, or would be considered a trammeling.
Unauthorized addition or restoration of indigenous or nonindigenous
 
vegetation, fish, or wildlife.
[[File:T2.2.1.pdf.png|thumb|Table 2.2.1—Examples of actions that likely are not and likely are trammeling actions based on the scale and scope of the action and its effects on "the earth and its community of life."]]
Indirect manipulation of fish and wildlife, such as changing hunting
 
regulations with the goal of decreasing predator populations within
=== 2.1.4 Trammeling Flowchart ===
wilderness.
 
Illegal livestock grazing, provided that there is reasonable certainty that
The flowchart depicted in figure 2.2.1 provides general guidelines using a series of questions to help agency staff determine when an action should be considered a trammeling. The first question asks if there is an opportunity for restraint, and is placed first to help avoid confusing those actions that are beyond the scope of management control, or are unauthorized accidents, from actions that Forest Service land managers or others do have an opportunity to influence. Political considerations are not a factor in determining whether or not there is an opportunity for restraint. The second question examines the intentionality of the action and whether the purpose is to manipulate "the earth and its community of life." If there is a clear intent to manipulate, then the action is counted as a trammeling unless it does not meet a minimum threshold for practicable monitoring. If the purpose of the activity is not to manipulate the ecological system, the action is nonetheless considered a trammeling if it results in foreseeable and substantial effects to the wilderness ecosystem.
grazing activities in wilderness were intentional as opposed to unintentional
 
(e.g., resulting from poorly maintained fencing).
[[File:Figure 2.2.1.png|thumb|Figure 2.2.1—Flowchart to determine if an action qualifies as a trammeling.]]
Examples of actions taken inside wilderness on a physical resource or natural
 
process to intentionally affect “the earth and its community of life” include the
== 2.2 Indicator: Actions Authorized by the Federal Land Manager that Intentionally Manipulate the Biophysical Environment ==
following:
 
Setting arson fire.
This indicator focuses on actions and persistent structures authorized by the agency that intentionally manipulate the biophysical environment. There is one required measure for this indicator.
Modifying water resources to provide water for wildlife, or otherwise store
 
water or alter the timing of water flow.
=== 2.2.1 Measure: Number of Authorized Actions and Persistent Structures Designed to Manipulate Plants, Animals, Pathogens, Soil, Water, or Fire ===
Examples of actions taken outside wilderness on a physical or biological
 
resource to intentionally affect “the earth and its community of life” inside a
This measure assesses the 3-year rolling average of authorized trammeling actions, based on an annual count of authorized actions and persistent structures intended to manipulate any component of the biophysical environment within wilderness (including vegetation, fish, wildlife, insects, pathogens, soil, water, or fire). Local data are compiled and entered in NRM-WCM annually. NRM-WCM calculates the annual value, and the WCMD then calculates the 3-year rolling average (the measure value). Table 2.2.2 describes the key tasks for this measure.
wilderness includes the following:
 
Killing individual animals outside of wilderness with the intention to affect
[[File:T2.2.2.pdf.png|thumb|Table 2.2.2—Summary of measure type, protocol options, local tasks, national tasks, and frequency of data reporting for the measure "Number of Authorized Actions and Persistent Structures Designed to Manipulate Plants Animals, Pathogens, Soil, Water, or Fire."]]
populations whose ranges expand into wilderness.
 
Releasing individual animals outside of wilderness with the intention to
==== Protocol ====
affect populations whose ranges expand into wilderness.
 
In some situations, Forest Service land managers may assume that they do not
'''Step 1: Ensure users understand what constitutes authorized trammeling and then compile data.''' Detailed information about how to determine what is, is not, and may be a trammeling action, including numerous examples, can be found in section 2.1 in part 2. This measure includes discretionary and non-discretionary actions required to uphold Federal law, including those explicitly allowed under the Wilderness Act and subsequent wilderness legislation. For example, permitted livestock grazing authorized by the designating legislation for a wilderness is counted as a trammeling action. Intentional manipulations taken by other federal agencies, tribal or state agencies, organizations, and private citizens are also included under this measure if these actions are authorized by the Forest Service. This includes actions authorized through special use permits (SUPs) or other instruments (e.g., research actions, state fish and wildlife management actions).
have an opportunity for restraint because an action is required to comply with
 
other laws or agency policies, or to protect human life or property. Examples of
Due to the wide variety of types of actions counted under this measure, there is no single source for data. The complexity of data compilation for this measure depends on the size of a given wilderness, its location, whether its management is shared with another district, forest, or agency, and on other factors that may not be predictable on a year-to-year basis. A recommended starting point in the compilation of data for this measure is to coordinate with wilderness rangers, wilderness managers, forest and district specialists, and the unit line officer to compile a list of readily known actions (including persistent structures), and to gauge the level of confidence that this list is comprehensive. If this initial list of actions is not comprehensive, other potential data sources to confirm whether or not additional actions were implemented include '''minimum requirements analyses (MRA)''', National Environmental Policy Act (NEPA) documents, Pesticide Use Proposals, SUPs, fire narratives, (ICS-209 forms), Forest Service corporate databases (e.g., NRM-Wilderness, Forest Service Activity Tracking System [FACTS], Project Activity Levels [PALS], Fire Statistics System [FIRESTAT], Wildland Fire Decision Support System [WFDSS]), and state agency records.
such situations include restoring habitat for a listed endangered species, spraying
 
herbicides to eradicate an invasive nonindigenous plant that is degrading wildlife
'''Step 2: Count the number of authorized trammeling actions that occurred during the fiscal year.''' Where questions arise as to whether a seemingly inconsequential action truly manipulates "the earth and its community of life," the scale of an action can help determine whether or not the action constitutes trammeling. If the magnitude of an action's consequences will exceed a certain threshold, the action is counted as a trammeling. All trammeling actions that cross this threshold are counted equally, regardless of the extent of their effects (e.g., spraying herbicide on a small population of noxious weeds is equivalent to spraying herbicide across 1,000 acres; an herbicide treatment of weeds targeting one species is equivalent to an herbicide treatment targeting five species simultaneously). Below the established threshold, actions are not considered to be of sufficient magnitude to be counted as a trammeling for this monitoring effort (e.g., hand pulling a small number of invasive plants, removing a downed tree across a trail, or restoring a campsite).
habitat, transplanting an extirpated species back into a wilderness, or suppressing
 
a naturally ignited fire. These are still considered trammeling actions because even in
The counting protocol for authorized trammeling actions is as follows, with counting instructions grouped in categories including scale of action, timing of action, location of action, fire-related actions, persistent structures, and other clarifications:
these situations there is a decision to take action, as well as a decision about the type
 
and intensity of action.
:Scale of Action
2.1.2 Activities That Are Not Trammeling Actions
 
Actions for which there is no opportunity for restraint are not considered a
:* Only count actions that are of sufficient scale to qualify as trammeling actions for practicable monitoring, as described above and in section 2.1 in part 2.
trammeling. For example, climate change, air pollutants drifting into a wilderness,
:* All actions that meet the scale requirements for monitoring trammeling actions are counted equally, regardless of the magnitude of their effects.
and the presence of nonindigenous species that naturally dispersed into a wilderness
:* Actions that are individually too small in scale to be counted as trammeling actions are considered a trammeling if their '''cumulative effects''' crossed the threshold described above and in section 2.1 in part 2. For instance, removing a single hazard tree in a campsite is not considered a trammeling. However, an insect or disease event that killed many trees in an area with many campsites and resulted in the removal of a large number of hazard trees could be considered a trammeling. Local units must use their discretion and judgment in determining when cumulative effects cross the threshold resulting in a series of otherwise minor actions constituting a trammeling, including whether subsequent yet discrete actions add to these cumulative effects and constitute additional trammeling actions.
are not the result of deliberate decisions or actions, and therefore, do not provide an
 
opportunity for restraint. Accidental unauthorized actions, such as escaped campfires
:Timing of Action
and oils spills, similarly lack an opportunity to restrain individuals’ power over the
 
landscape. Past actions that manipulated the biophysical environment before the
:* Ongoing, multi-year actions are counted once annually per fiscal year.
designation of the area as wilderness are not considered a trammeling because the
:* A single action that incidentally spans the fiscal year is only counted as a trammeling action for the initial fiscal year. For example, a watershed stabilization project implemented between September 15 and October 15, 2015, counts as one action for fiscal year 2019 and zero actions for fiscal year 2020.
provisions of the 1964 Wilderness Act did not apply to the area prior to designation.
 
:Location of Action
 
:* The decision to take an action that occurs simultaneously in multiple locations in a wilderness is counted as a single action. For example, treatments of discrete invasive species populations located in different areas using herbicide counts as a single action. Similarly, concurrently stocking fish in multiple lakes across a wilderness counts as a single trammeling action.
:* Actions that occur outside of wilderness with the explicit intent of manipulating the biophysical environment within wilderness count as trammeling actions.
 
:Fire-related Actions
 
:* Management or suppression of a wildfire —whether naturally ignited or human-caused—counts as a single trammeling action per fire, regardless of the number or type of fire management actions taken. Types of fire management actions may include:
:** Fireline construction (handline, tree felling, explosives, dozer line, wet line, leaf blowers, sprinkler systems, or mechanical clearing of safety zones).
:** Burn operations (backfiring, burn outs, or black lining).
:** Extinguishing fire (use of water, dirt, or flappers).
:** Application of fire retardant.
 
For example, suppression of a single wildfire by constructing a fireline and conducting burn operations during the course of the incident would count as one trammeling action. However, the construction of a fireline on two discrete wildfires in a wilderness in the same fiscal year counts as two trammeling actions.
 
:* The issue of scale described in section 2.1 does not apply to management of wildfire because seemingly minor attempts to alter the behavior of a natural fire can have significant consequences. For instance, cutting down and suppressing a burning snag started by lightning—an action that is seemingly small in scale— may prevent a natural fire that otherwise may burn thousands of acres. Note, however, that actions taken on campfires that are not yet wildfires do not count as trammeling actions. For example, putting out an abandoned campfire that is still contained within a fire ring as part of routine wilderness maintenance would not count as a trammeling action.
:* Suppression of a fire adjacent to but outside of wilderness constitutes a trammeling action when there is reasonable certainty that it would have likely burned into wilderness absent any suppression action (given factors such as slope, terrain, fuels, weather, fire behavior, and specific suppression actions taken) and when the action is taken with the explicit intent of preventing or limiting fire within wilderness. For example, suppression action taken on a fire 20 miles from the wilderness boundary may count as a trammeling action if conditions are extremely dry and there are high winds in the direction of the wilderness. In contrast, suppression action taken on a creeping fire in leaf litter 75 feet from the wilderness boundary may not count as a trammeling action if there's 78% percent humidity and it is unlikely the fire will spread.
:* The use of '''prescribed fire''', regardless of the tactics used to manage the burn, counts as a single trammeling action because of the decision to intervene in natural processes in accordance with the management prescription developed by the agency. The implementation of multiple prescribed fires in a wilderness in a single fiscal year also counts as a single trammeling action if each burn was authorized via the same burn plan. Prescribed fires conducted in the same fiscal year authorized by multiple burn plans—for instance in a wilderness managed by two Forest Service regions or forests—counts as multiple trammeling actions.
:* Different types of BAER treatments—where they pass the threshold for scale— constitute separate trammeling actions for each incident they are associated with.
 
:Persistent Structures
 
:* To be counted as a trammeling action, a persistent structure must be intended to purposefully alter, hinder, restrict, control, or manipulate the "the earth and its community of life." Examples of persistent structures that would be counted under this measure include, but are not limited to fish barriers, dams, water diversions, guzzlers, bat gates, or fencing (e.g., wildlife or cattle enclosure areas). Each unique persistent structure that manipulates any component of the biophysical environment is counted for each year that it exists.
:* An action to install a persistent structure that alters the biophysical environment in wilderness is counted once as a trammeling in the year that the installation occurred and once per year subsequently, as long as the structure persists. The installation and existence of the structure in the first year are not double counted as two trammeling actions. Persistent structures that are no longer functioning as intended are not counted as a trammeling if it can be demonstrated they do not alter or manipulate any component of the biophysical environment (e.g., fencing previously used to form a cattle exclosure that has fallen down).
 
:Other Clarifications
 
:* Single projects or decisions that involve related yet distinct actions count as multiple trammeling actions. For example, a stream restoration project that involves both the release of piscicide and restocking native fish count as two trammeling actions. Treating one or more species of invasive plants with herbicide and a biological control agent also count as two trammeling actions—one action for the use of herbicide, and one action for the release of the biological control agent. The number of species affected by each treatment is incidental.
:* Actions intended to manipulate the biophysical environment within wilderness that are unsuccessful are still counted as trammeling actions.'
 
'''Step 3: Enter data in NRM and the WCMD. Track trammeling actions annually and enter them into the NRM-WCM application for each fiscal year.''' NRM-WCM will sum the counts of all authorized trammeling actions to generate an annual value. Local units must then validate the value generated by NRM-WCM and correct records in NRM as necessary. Once validated, enter the annual value in the WCMD. The WCMD automatically calculates 3-year rolling averages based on the annual values. The measure value is the 3-year rolling average number of trammeling actions.
 
==== Caveats and Cautions ====
 
When a unit experiences a large wildfire managed by an Incident Management Team, these data can be difficult to obtain. Units are therefore encouraged to seek out data on trammeling actions during or soon after the incident. In addition, interpretation of the number of trammeling actions associated with an action or decision—in particular with fire management, and occasionally with other types of management actions—may vary due to the potential complexity of determining what constitutes a trammeling action. Units should therefore provide a narrative in the WCMD describing the methodology and considerations behind any nuanced or complex trammeling interpretations.
 
When deciding which specific 3 years of data to include to calculate the rolling average for this measure, always defer to the highest data adequacy available (section 1.2.3 in part 2). Ideally the data with the highest degree of adequacy will also be the most recent data collected, but this might not always be the case.
 
==== Data Adequacy ====
 
Data adequacy is typically medium to high, though this should be verified and documented locally. In many cases it is likely that all data records related to authorized actions and persistent structures that manipulate the biophysical environment can be gathered, although this may be difficult for large wildernesses or wildernesses managed by more than one forest or Forest Service region. Data quantity is therefore often complete and data quality is good.
 
==== Frequency ====
 
Data are compiled, analyzed, and entered into the WCMD annually due to the variable nature of trammeling actions.
 
==== Threshold for Change ====
 
The threshold for meaningful change is a 5-percent change in the 3-year rolling average number of authorized actions and persistent structures. Once there are five measure values, the threshold for meaningful change will switch to regression analysis. A decrease in the 3-year rolling average beyond the threshold for meaningful change results in an improving trend in this measure.
 
== 2.3 Indicator: Actions Not Authorized by the Federal Land Manager that Intentionally Manipulate the Biophysical Environment ==
 
This indicator focuses on actions that are not authorized by the agency, but that intentionally manipulate ecological systems in wilderness. There is one required measure for this indicator.
 
=== 2.3.1 Measure: Number of Unauthorized Actions and Persistent Structures by Agencies, Organizations, or Individuals That Manipulate Plants, Animals, Pathogens, Soil, Water, or Fire ===
 
This measure assesses the 3-year rolling average of unauthorized trammeling actions based on an annual count of known actions not authorized by the Forest Service taken by other federal and state agencies, organizations, or individuals that are intended to manipulate any component of the biophysical environment within wilderness (including vegetation, fish, wildlife, insects, pathogens, soil, water, or fire). Local data are compiled and entered in NRM-WCM annually. NRM-WCM calculates the annual value, and the WCMD then calculates the 3-year rolling average (the measure value). Table 2.2.3 describes key features for this measure.
 
[[File:T2.2.3.pdf.png|thumb|Table 2.2.3—Summary of measure type, protocol options, local tasks, national tasks, and frequency of data reporting for measure "Number of Unauthorized Actions that Manipulate Plants, Animals, Pathogens, Soil, Water, or Fire."]]
 
==== Protocol ====
 
'''Step 1: Ensure users understand what constitutes unauthorized trammeling and then compile data.''' Section 2.1 provides detailed information about how to determine what is, is not, and may be a trammeling action, including numerous examples. Unauthorized trammeling actions may be taken by different branches of the Forest Service, other federal agencies, tribal and state agencies, organizations, or private citizens. Actions taken by state or other government agencies with the knowledge and approval of the Forest Service through a SUP or cooperative agreement are considered authorized actions and counted under the measure Number of Authorized Actions and Persistent Structures Designed to Manipulate Plants, Animals, Pathogens, Soil, Water, or Fire (see section 2.2.1 in part 2). Actions taken by states or other government agencies with the knowledge of the Forest Service but without explicit approval through a SUP or another instrument are counted under this measure.
 
Due to the wide variety of types of actions counted under this measure, there is no single source for data. The complexity of data compilation for this measure depends on the size of a given wilderness, its location, and whether its management is shared with another local unit, national forest, or federal agency. The complexity is also influenced by the fact that unauthorized actions are not predictable on a year-to-year basis, and unauthorized actions often go unreported or even undiscovered.
 
A recommended starting point in the compilation of data for this measure is to coordinate with wilderness rangers, wilderness managers, interdisciplinary team members, law enforcement, and the local unit line officer to compile a list of readily known unauthorized actions and persistent structures, and to gauge the level of confidence that the list is comprehensive. Other potential data sources include the Forest Service Law Enforcement and Investigations Management Attainment Reporting System (LEIMARS), state agency records, partner or watchdog organizations, and volunteers.
 
'''Step 2: Count the number of unauthorized trammeling actions that occurred during the fiscal year.''' Where questions arise as to whether a seemingly inconsequential action truly manipulates "the earth and its community of life," the scale of an action can help determine whether or not the action constitutes trammeling. If the magnitude of an action's consequences will exceed a certain threshold, the action is counted as a trammeling. All trammeling actions that cross this threshold are counted equally, regardless of the extent of their effects. Below the established threshold, actions are not considered to be of sufficient magnitude to be counted as a trammeling for this monitoring effort.
 
The counting protocol for unauthorized trammeling actions is as follows, with counting instructions grouped in categories including scale of action, timing of action, location of action, persistent structures, and other clarifications:
 
:Scale of Action
 
:* Only count actions that are of sufficient scale to qualify as trammeling actions for practicable monitoring, as described above and in section 2.1 in part 2.
:* All actions that meet the scale requirements for monitoring trammeling actions are counted equally, regardless of the magnitude of their effects. Due to the uncertainty as to who is responsible for a given trammeling action, evidence of each unauthorized trammeling action that is discovered at different times or in different places is counted as a distinct trammeling action.
:* Actions taken by a single individual or entity that are individually too small in scale to be counted as trammeling actions are considered a trammeling action if their cumulative effects crossed the threshold described above and in section 2.1 in part 2. For instance, illegal cutting of a single tree is not considered a trammeling action. However, illegal theft of timber over a larger area or the illegal cutting of a ski run may be considered trammeling actions. Local units must use discretion and judgment in determining when cumulative effects cross the threshold resulting in a series of otherwise minor actions constituting a trammeling, including whether subsequent yet discrete actions add to these cumulative effects and constitute additional trammeling actions.
 
:Timing of Action
 
:* Ongoing, multi-year unauthorized actions are counted once annually per fiscal year (e.g., marijuana cultivation or repeated unauthorized state fish and game agency management actions).
 
:Location of Action
 
:* Unauthorized actions taken in multiple locations in a wilderness by a single individual or entity is counted as a single action. For example, concurrently stocking fish in multiple lakes across a wilderness counts as a single trammeling action.
:* Unauthorized actions that occur outside of wilderness intended to manipulate the biophysical environment within wilderness count as trammeling actions. For example, the introduction of game species outside of wilderness with the intent that they travel into wilderness, when not explicitly authorized by the agency based on the results of a minimum requirements analysis (MRA), counts as a trammeling action.
 
:Persistent Structures
 
:* To be counted as a trammeling action, a persistent structure must be intended to purposefully alter, hinder, restrict, control, or manipulate the "the earth and its community of life." Examples of persistent structures that would be counted under this measure include, but are not limited to fish barriers, dams, water diversions, guzzlers, bat gates, or fencing (e.g., wildlife or cattle enclosure areas). Each unique, unauthorized persistent structure that manipulates any component of the biophysical environment is counted for each year that it exists.
:* The unauthorized installation of a persistent structure that alters the biophysical environment in wilderness (e.g., an impoundment and irrigation tubing for illegal marijuana cultivation, unauthorized installation of fencing) is counted once as a trammeling in the year that the installation occurred, and once per year subsequently as long as the structure persists. The installation and existence of the structure in the first year are not double counted as two trammeling actions. Persistent structures that are no longer functioning are not counted as a trammeling if it can be demonstrated they do not alter or manipulate any component of the biophysical environment (e.g., fencing previously used to form a cattle exclosure that has fallen down).
 
:Other Clarifications
 
:* Evidence of an unauthorized trammeling, as opposed to an agency employee witnessing the trammeling action in progress (e.g., the discovery of an abandoned marijuana grow site), is sufficient to count as a trammeling action.
:* Related yet distinct types of actions count as multiple trammeling actions. For example, an unauthorized state wildlife management project that involves introducing game species and controlling predators via increased bag limits count as two trammeling actions. The magnitude or effects of these actions does not have any bearing on the number of trammeling actions reported.


Another group of examples that are not a trammeling encompass those small-scale
'''Step 3: Enter data in NRM and the WCMD.''' Track trammeling actions annually and enter them into the NRM-WCM application for each fiscal year. NRM-WCM will sum the counts of all unauthorized trammeling actions to generate an annual value. Local units must then validate the value generated by NRM-WCM and correct records in NRM as necessary. Once validated, enter the annual value in the WCMD. The WCMD automatically calculates 3-year rolling averages based on the annual values. The measure value is the 3-year rolling average number of trammeling actions.
actions with no intent to manipulate “the earth and its community of life,” such as
installing meteorological or other science instrumentation, landing a helicopter for
search and rescue operations, and removing trash. Camping violations, incidental
development of campsites, unauthorized motorized incursions, littering, and other
illegal activities not intended to manipulate the biophysical environment also are not
counted as trammeling actions because legality is irrelevant in determining whether
an action is a trammeling.
Hunting, for sport or subsistence, has provoked an enormous amount of interagency
discussion about whether it degrades the Untrammeled Quality. The general
interagency consensus is that hunting is not a trammeling action because individual
hunters are taking individual animals without the intention to manipulate the
wildlife population. However, if a state wildlife agency increases predator bag limits
in a wilderness to purposefully alter the predator-prey relationship to maximize the
viability of a game species, this manipulation of the “community of life” would degrade
the Untrammeled Quality.
2.1.3 Activities That May Be Trammeling Actions
There are two types of actions that may or may not be considered trammeling actions.
The first includes intentional manipulations that interfere with or control an aspect of
wilderness ecosystems but are too small in scale or scope to be practically monitored.
The second type encompasses those nuanced cases where the primary purpose of the
action is not to manipulate the ecosystem, but a foreseeable and substantial effect
on the earth and its community is required to achieve this purpose. This second type
of action can be confusing because it still results in intentional manipulations of the
biophysical environment even though that was not the primary purpose. As shown in
table 2.2.1, several example situations illustrate how an action may or may not be a
trammeling, depending on the extent of the action and its effects. The table columns
“Likely Not a Trammeling” and “Likely a Trammeling” present situations where the
action being taken would not, or would be considered a trammeling.


[Table 2.2.1—Examples of actions that likely are not and likely are trammeling actions based on the
==== Caveats and Cautions ====
scale and scope of the action and its effects on “the earth and its community of life.”
Action Likely not a trammeling Likely a trammeling]


2.1.4 Trammeling Flowchart
This measure depends on a combination of incidental, chance encounters and the amount of effort spent to find unauthorized actions. For instance, the reintroduction of game species by a state agency without explicit authorization might be incidentally discovered through media reports. Conversely, water diversions associated with a marijuana grow site are typically discovered because of law enforcement investigations, though such a use could also be discovered after an incidental report from the public. Due to the unpredictable nature by which unauthorized trammeling actions and persistent structures are discovered, information about the method and level of effort required for a given discovery should be documented in the WCMD to allow for an understanding of data adequacy when comparing results across multiple years of reporting.
The flowchart depicted in figure 2.2.1 provides general guidelines using a series
of questions to help agency staff determine when an action should be considered
a trammeling. The first question asks if there is an opportunity for restraint, and
is placed first to help avoid confusing those actions that are beyond the scope of
management control, or are unauthorized accidents, from actions that Forest Service
land managers or others do have an opportunity to influence. Political considerations
are not a factor in determining whether or not there is an opportunity for restraint.
The second question examines the intentionality of the action and whether the
purpose is to manipulate “the earth and its community of life.” If there is a clear intent
to manipulate, then the action is counted as a trammeling unless it does not meet a
minimum threshold for practicable monitoring. If the purpose of the activity is not to
manipulate the ecological system, the action is nonetheless considered a trammeling
if it results in foreseeable and substantial effects to the wilderness ecosystem.


[Figure 2.2.1—Flowchart to determine if an action qualifies as a trammeling.]
When deciding which specific 3 years of data to include to calculate the rolling average for this measure, always defer to the highest data adequacy available (section 1.2.3 in part 2). Ideally the data with the highest degree of adequacy will also be the most recent data collected, but this might not always be the case.


2.2 Indicator: Actions Authorized by the Federal Land Manager that
==== Data Adequacy ====
Intentionally Manipulate the Biophysical Environment
This indicator focuses on actions and persistent structures authorized by the agency
that intentionally manipulate the biophysical environment. There is one required
measure for this indicator.
2.2.1 Measure: Number of Authorized Actions and Persistent Structures Designed to
Manipulate Plants, Animals, Pathogens, Soil, Water, or Fire
This measure assesses the 3-year rolling average of authorized trammeling actions,
based on an annual count of authorized actions and persistent structures intended
to manipulate any component of the biophysical environment within wilderness
(including vegetation, fish, wildlife, insects, pathogens, soil, water, or fire). Local data
are compiled and entered in NRM-WCM annually. NRM-WCM calculates the annual
value, and the WCMD then calculates the 3-year rolling average (the measure value).
Table 2.2.2 describes the key tasks for this measure.


[Table 2.2.2—Summary of measure type, protocol options, local tasks, national tasks, and frequency of
Data adequacy is medium or low, though this should be verified and documented by the local unit. It may not be feasible to reliably gather all applicable data, and knowledge of some unauthorized actions may rely on incidental, chance encounters. Data quantity is partial and data quality is moderate. Additionally, knowledge of unauthorized actions is dependent on field or law enforcement presence and the amount of effort put into identifying unauthorized actions, which should be documented in the WCMD.
data reporting for the measure “Number of Authorized Actions and Persistent Structures Designed to
Manipulate Plants Animals, Pathogens, Soil, Water, or Fire.”]


Protocol
==== Frequency ====
Step 1: Ensure users understand what constitutes authorized trammeling
and then compile data. Detailed information about how to determine what is, is
not, and may be a trammeling action, including numerous examples, can be found
in section 2.1 in part 2. This measure includes discretionary and non-discretionary
actions required to uphold Federal law, including those explicitly allowed under
the Wilderness Act and subsequent wilderness legislation. For example, permitted
livestock grazing authorized by the designating legislation for a wilderness is counted
as a trammeling action. Intentional manipulations taken by other federal agencies,
tribal or state agencies, organizations, and private citizens are also included under this
measure if these actions are authorized by the Forest Service. This includes actions
authorized through special use permits (SUPs) or other instruments (e.g., research
actions, state fish and wildlife management actions).
Due to the wide variety of types of actions counted under this measure, there is no
single source for data. The complexity of data compilation for this measure depends
on the size of a given wilderness, its location, whether its management is shared with
another district, forest, or agency, and on other factors that may not be predictable on
a year-to-year basis. A recommended starting point in the compilation of data for this
measure is to coordinate with wilderness rangers, wilderness managers, forest and
district specialists, and the unit line officer to compile a list of readily known actions
(including persistent structures), and to gauge the level of confidence that this list
is comprehensive. If this initial list of actions is not comprehensive, other potential
data sources to confirm whether or not additional actions were implemented include
minimum requirements analyses (MRA), National Environmental Policy Act
(NEPA) documents, Pesticide Use Proposals, SUPs, fire narratives, (ICS-209 forms),
Forest Service corporate databases (e.g., NRM-Wilderness, Forest Service Activity
Tracking System [FACTS], Project Activity Levels [PALS], Fire Statistics System
[FIRESTAT], Wildland Fire Decision Support System [WFDSS]), and state agency
records.
Step 2: Count the number of authorized trammeling actions that
occurred during the fiscal year. Where questions arise as to whether a
seemingly inconsequential action truly manipulates “the earth and its community of
life,” the scale of an action can help determine whether or not the action constitutes
trammeling. If the magnitude of an action’s consequences will exceed a certain
threshold, the action is counted as a trammeling. All trammeling actions that cross this
threshold are counted equally, regardless of the extent of their effects (e.g., spraying
herbicide on a small population of noxious weeds is equivalent to spraying herbicide
across 1,000 acres; an herbicide treatment of weeds targeting one species is equivalent
to an herbicide treatment targeting five species simultaneously). Below the established
threshold, actions are not considered to be of sufficient magnitude to be counted as a
trammeling for this monitoring effort (e.g., hand pulling a small number of invasive
plants, removing a downed tree across a trail, or restoring a campsite).
The counting protocol for authorized trammeling actions is as follows, with counting
instructions grouped in categories including scale of action, timing of action, location
of action, fire-related actions, persistent structures, and other clarifications:
Scale of Action
• Only count actions that are of sufficient scale to qualify as trammeling actions
for practicable monitoring, as described above and in section 2.1 in part 2.
• All actions that meet the scale requirements for monitoring trammeling actions
are counted equally, regardless of the magnitude of their effects.
• Actions that are individually too small in scale to be counted as trammeling
actions are considered a trammeling if their cumulative effects crossed the
threshold described above and in section 2.1 in part 2. For instance, removing
a single hazard tree in a campsite is not considered a trammeling. However, an
insect or disease event that killed many trees in an area with many campsites
and resulted in the removal of a large number of hazard trees could be
considered a trammeling. Local units must use their discretion and judgment
in determining when cumulative effects cross the threshold resulting in a
series of otherwise minor actions constituting a trammeling, including whether
subsequent yet discrete actions add to these cumulative effects and constitute
additional trammeling actions.
Timing of Action
• Ongoing, multi-year actions are counted once annually per fiscal year.
• A single action that incidentally spans the fiscal year is only counted as
a trammeling action for the initial fiscal year. For example, a watershed
stabilization project implemented between September 15 and October 15, 2015,
counts as one action for fiscal year 2019 and zero actions for fiscal year 2020.
Location of Action
• The decision to take an action that occurs simultaneously in multiple locations
in a wilderness is counted as a single action. For example, treatments of
discrete invasive species populations located in different areas using herbicide
counts as a single action. Similarly, concurrently stocking fish in multiple lakes
across a wilderness counts as a single trammeling action.
• Actions that occur outside of wilderness with the explicit intent of manipulating
the biophysical environment within wilderness count as trammeling actions.
Fire-related Actions
• Management or suppression of a wildfire —whether naturally ignited or
human-caused—counts as a single trammeling action per fire, regardless of the
number or type of fire management actions taken. Types of fire management
actions may include:
◦ Fireline construction (handline, tree felling, explosives, dozer line, wet line,
leaf blowers, sprinkler systems, or mechanical clearing of safety zones).
◦ Burn operations (backfiring, burn outs, or black lining).
◦ Extinguishing fire (use of water, dirt, or flappers).
◦ Application of fire retardant.
For example, suppression of a single wildfire by constructing a fireline and
conducting burn operations during the course of the incident would count as one
trammeling action. However, the construction of a fireline on two discrete wildfires
in a wilderness in the same fiscal year counts as two trammeling actions.
• The issue of scale described in section 2.1 does not apply to management of
wildfire because seemingly minor attempts to alter the behavior of a natural fire
can have significant consequences. For instance, cutting down and suppressing
a burning snag started by lightning—an action that is seemingly small in scale—
may prevent a natural fire that otherwise may burn thousands of acres. Note,
however, that actions taken on campfires that are not yet wildfires do not count
as trammeling actions. For example, putting out an abandoned campfire that
is still contained within a fire ring as part of routine wilderness maintenance
would not count as a trammeling action.
• Suppression of a fire adjacent to but outside of wilderness constitutes a
trammeling action when there is reasonable certainty that it would have likely
burned into wilderness absent any suppression action (given factors such as
slope, terrain, fuels, weather, fire behavior, and specific suppression actions
taken) and when the action is taken with the explicit intent of preventing or
limiting fire within wilderness. For example, suppression action taken on a fire
20 miles from the wilderness boundary may count as a trammeling action if
conditions are extremely dry and there are high winds in the direction of the
wilderness. In contrast, suppression action taken on a creeping fire in leaf litter
75 feet from the wilderness boundary may not count as a trammeling action if
there’s 78% percent humidity and it is unlikely the fire will spread.
• The use of prescribed fire, regardless of the tactics used to manage the burn,
counts as a single trammeling action because of the decision to intervene in
natural processes in accordance with the management prescription developed
by the agency. The implementation of multiple prescribed fires in a wilderness
in a single fiscal year also counts as a single trammeling action if each burn was
authorized via the same burn plan. Prescribed fires conducted in the same fiscal
year authorized by multiple burn plans—for instance in a wilderness managed
by two Forest Service regions or forests—counts as multiple trammeling
actions.
• Different types of BAER treatments—where they pass the threshold for scale—
constitute separate trammeling actions for each incident they are associated
with.
Persistent Structures
• To be counted as a trammeling action, a persistent structure must be intended
to purposefully alter, hinder, restrict, control, or manipulate the “the earth
and its community of life.” Examples of persistent structures that would be
counted under this measure include, but are not limited to fish barriers, dams,
water diversions, guzzlers, bat gates, or fencing (e.g., wildlife or cattle enclosure
areas). Each unique persistent structure that manipulates any component of the
biophysical environment is counted for each year that it exists.
• An action to install a persistent structure that alters the biophysical
environment in wilderness is counted once as a trammeling in the year that
the installation occurred and once per year subsequently, as long as the
structure persists. The installation and existence of the structure in the first
year are not double counted as two trammeling actions. Persistent structures
that are no longer functioning as intended are not counted as a trammeling
if it can be demonstrated they do not alter or manipulate any component of
the biophysical environment (e.g., fencing previously used to form a cattle
exclosure that has fallen down).
Other Clarifications
• Single projects or decisions that involve related yet distinct actions count
as multiple trammeling actions. For example, a stream restoration project
that involves both the release of piscicide and restocking native fish count
as two trammeling actions. Treating one or more species of invasive plants
with herbicide and a biological control agent also count as two trammeling
actions—one action for the use of herbicide, and one action for the release of
the biological control agent. The number of species affected by each treatment
is incidental.
• Actions intended to manipulate the biophysical environment within wilderness
that are unsuccessful are still counted as trammeling actions.
Step 3: Enter data in NRM and the WCMD. Track trammeling actions annually
and enter them into the NRM-WCM application for each fiscal year. NRM-WCM will
sum the counts of all authorized trammeling actions to generate an annual value.
Local units must then validate the value generated by NRM-WCM and correct records
in NRM as necessary. Once validated, enter the annual value in the WCMD. The
WCMD automatically calculates 3-year rolling averages based on the annual values.
The measure value is the 3-year rolling average number of trammeling actions.
Caveats and Cautions
When a unit experiences a large wildfire managed by an Incident Management Team,
these data can be difficult to obtain. Units are therefore encouraged to seek out data
on trammeling actions during or soon after the incident. In addition, interpretation of
the number of trammeling actions associated with an action or decision—in particular
with fire management, and occasionally with other types of management actions—may
vary due to the potential complexity of determining what constitutes a trammeling
action. Units should therefore provide a narrative in the WCMD describing the
methodology and considerations behind any nuanced or complex trammeling
interpretations.
When deciding which specific 3 years of data to include to calculate the rolling average
for this measure, always defer to the highest data adequacy available (section 1.2.3
in part 2). Ideally the data with the highest degree of adequacy will also be the most
recent data collected, but this might not always be the case.
Data Adequacy
Data adequacy is typically medium to high, though this should be verified and
documented locally. In many cases it is likely that all data records related to authorized
actions and persistent structures that manipulate the biophysical environment can
be gathered, although this may be difficult for large wildernesses or wildernesses
managed by more than one forest or Forest Service region. Data quantity is therefore
often complete and data quality is good.
Frequency
Data are compiled, analyzed, and entered into the WCMD annually due to the variable
nature of trammeling actions.
Threshold for Change
The threshold for meaningful change is a 5-percent change in the 3-year rolling
average number of authorized actions and persistent structures. Once there are five
measure values, the threshold for meaningful change will switch to regression analysis.
A decrease in the 3-year rolling average beyond the threshold for meaningful change
results in an improving trend in this measure.
2.3 Indicator: Actions Not Authorized by the Federal Land Manager that
Intentionally Manipulate the Biophysical Environment
This indicator focuses on actions that are not authorized by the agency, but that
intentionally manipulate ecological systems in wilderness. There is one required
measure for this indicator.
2.3.1 Measure: Number of Unauthorized Actions and Persistent Structures by Agencies,
Organizations, or Individuals That Manipulate Plants, Animals, Pathogens, Soil, Water, or
Fire
This measure assesses the 3-year rolling average of unauthorized trammeling actions
based on an annual count of known actions not authorized by the Forest Service taken
by other federal and state agencies, organizations, or individuals that are intended
to manipulate any component of the biophysical environment within wilderness
(including vegetation, fish, wildlife, insects, pathogens, soil, water, or fire). Local data
are compiled and entered in NRM-WCM annually. NRM-WCM calculates the annual
value, and the WCMD then calculates the 3-year rolling average (the measure value).
Table 2.2.3 describes key features for this measure.


[Table 2.2.3—Summary of measure type, protocol options, local tasks, national tasks, and frequency
Data are compiled, analyzed, and entered into the WCMD annually due to the variable nature of trammeling actions.
of data reporting for measure “Number of Unauthorized Actions that Manipulate Plants, Animals,
Pathogens, Soil, Water, or Fire.”]


Protocol
==== Threshold for Change ====
Step 1: Ensure users understand what constitutes unauthorized
trammeling and then compile data. Section 2.1 provides detailed information
about how to determine what is, is not, and may be a trammeling action, including
numerous examples. Unauthorized trammeling actions may be taken by different
branches of the Forest Service, other federal agencies, tribal and state agencies,
organizations, or private citizens. Actions taken by state or other government agencies
with the knowledge and approval of the Forest Service through a SUP or cooperative
agreement are considered authorized actions and counted under the measure Number
of Authorized Actions and Persistent Structures Designed to Manipulate Plants,
Animals, Pathogens, Soil, Water, or Fire (see section 2.2.1 in part 2). Actions taken
by states or other government agencies with the knowledge of the Forest Service but
without explicit approval through a SUP or another instrument are counted under this
measure.
Due to the wide variety of types of actions counted under this measure, there is no
single source for data. The complexity of data compilation for this measure depends
on the size of a given wilderness, its location, and whether its management is shared
with another local unit, national forest, or federal agency. The complexity is also
influenced by the fact that unauthorized actions are not predictable on a year-to-year
basis, and unauthorized actions often go unreported or even undiscovered.
A recommended starting point in the compilation of data for this measure is to
coordinate with wilderness rangers, wilderness managers, interdisciplinary team
members, law enforcement, and the local unit line officer to compile a list of readily
known unauthorized actions and persistent structures, and to gauge the level of
confidence that the list is comprehensive. Other potential data sources include
the Forest Service Law Enforcement and Investigations Management Attainment
Reporting System (LEIMARS), state agency records, partner or watchdog
organizations, and volunteers.


Step 2: Count the number of unauthorized trammeling actions that
The threshold for meaningful change is a 5-percent change in the 3-year rolling average number of unauthorized actions and persistent structures. Once there are five measure values, the threshold for meaningful change will switch to regression analysis. A decrease in the 3-year rolling average beyond the threshold for meaningful change results in an improving trend in this measure.
occurred during the fiscal year. Where questions arise as to whether a
seemingly inconsequential action truly manipulates “the earth and its community of
life,” the scale of an action can help determine whether or not the action constitutes
trammeling. If the magnitude of an action’s consequences will exceed a certain
threshold, the action is counted as a trammeling. All trammeling actions that cross
this threshold are counted equally, regardless of the extent of their effects. Below the
established threshold, actions are not considered to be of sufficient magnitude to be
counted as a trammeling for this monitoring effort.
The counting protocol for unauthorized trammeling actions is as follows, with
counting instructions grouped in categories including scale of action, timing of action,
location of action, persistent structures, and other clarifications:
Scale of Action
• Only count actions that are of sufficient scale to qualify as trammeling actions
for practicable monitoring, as described above and in section 2.1 in part 2.
• All actions that meet the scale requirements for monitoring trammeling actions
are counted equally, regardless of the magnitude of their effects. Due to the
uncertainty as to who is responsible for a given trammeling action, evidence of
each unauthorized trammeling action that is discovered at different times or in
different places is counted as a distinct trammeling action.
• Actions taken by a single individual or entity that are individually too small in
scale to be counted as trammeling actions are considered a trammeling action
if their cumulative effects crossed the threshold described above and in section
2.1 in part 2. For instance, illegal cutting of a single tree is not considered a
trammeling action. However, illegal theft of timber over a larger area or the
illegal cutting of a ski run may be considered trammeling actions. Local units
must use discretion and judgment in determining when cumulative effects
cross the threshold resulting in a series of otherwise minor actions constituting
a trammeling, including whether subsequent yet discrete actions add to these
cumulative effects and constitute additional trammeling actions.
Timing of Action
• Ongoing, multi-year unauthorized actions are counted once annually per fiscal
year (e.g., marijuana cultivation or repeated unauthorized state fish and game
agency management actions).
Location of Action
• Unauthorized actions taken in multiple locations in a wilderness by a single
individual or entity is counted as a single action. For example, concurrently
stocking fish in multiple lakes across a wilderness counts as a single
trammeling action.
• Unauthorized actions that occur outside of wilderness intended to manipulate
the biophysical environment within wilderness count as trammeling actions.
For example, the introduction of game species outside of wilderness with
the intent that they travel into wilderness, when not explicitly authorized by
the agency based on the results of a minimum requirements analysis (MRA),
counts as a trammeling action.
Persistent Structures
• To be counted as a trammeling action, a persistent structure must be intended
to purposefully alter, hinder, restrict, control, or manipulate the “the earth
and its community of life.” Examples of persistent structures that would be
counted under this measure include, but are not limited to fish barriers, dams,
water diversions, guzzlers, bat gates, or fencing (e.g., wildlife or cattle enclosure
areas). Each unique, unauthorized persistent structure that manipulates any
component of the biophysical environment is counted for each year that it
exists.
• The unauthorized installation of a persistent structure that alters the
biophysical environment in wilderness (e.g., an impoundment and irrigation
tubing for illegal marijuana cultivation, unauthorized installation of fencing)
is counted once as a trammeling in the year that the installation occurred, and
once per year subsequently as long as the structure persists. The installation
and existence of the structure in the first year are not double counted as two
trammeling actions. Persistent structures that are no longer functioning are
not counted as a trammeling if it can be demonstrated they do not alter or
manipulate any component of the biophysical environment (e.g., fencing
previously used to form a cattle exclosure that has fallen down).
Other Clarifications
• Evidence of an unauthorized trammeling, as opposed to an agency employee
witnessing the trammeling action in progress (e.g., the discovery of an
abandoned marijuana grow site), is sufficient to count as a trammeling action.
• Related yet distinct types of actions count as multiple trammeling actions. For
example, an unauthorized state wildlife management project that involves
introducing game species and controlling predators via increased bag limits
count as two trammeling actions. The magnitude or effects of these actions does
not have any bearing on the number of trammeling actions reported.
Step 3: Enter data in NRM and the WCMD. Track trammeling actions
annually and enter them into the NRM-WCM application for each fiscal
year. NRM-WCM will sum the counts of all unauthorized trammeling actions to
generate an annual value. Local units must then validate the value generated by NRMWCM
and correct records in NRM as necessary. Once validated, enter the annual
value in the WCMD. The WCMD automatically calculates 3-year rolling averages
based on the annual values. The measure value is the 3-year rolling average number of
trammeling actions.
Caveats and Cautions
This measure depends on a combination of incidental, chance encounters and the
amount of effort spent to find unauthorized actions. For instance, the reintroduction
of game species by a state agency without explicit authorization might be incidentally
discovered through media reports. Conversely, water diversions associated
with a marijuana grow site are typically discovered because of law enforcement
investigations, though such a use could also be discovered after an incidental report
from the public. Due to the unpredictable nature by which unauthorized trammeling
actions and persistent structures are discovered, information about the method and
level of effort required for a given discovery should be documented in the WCMD to
allow for an understanding of data adequacy when comparing results across multiple
years of reporting.
When deciding which specific 3 years of data to include to calculate the rolling average
for this measure, always defer to the highest data adequacy available (section 1.2.3
in part 2). Ideally the data with the highest degree of adequacy will also be the most
recent data collected, but this might not always be the case.
Data Adequacy
Data adequacy is medium or low, though this should be verified and documented
by the local unit. It may not be feasible to reliably gather all applicable data, and
knowledge of some unauthorized actions may rely on incidental, chance encounters.
Data quantity is partial and data quality is moderate. Additionally, knowledge
of unauthorized actions is dependent on field or law enforcement presence and
the amount of effort put into identifying unauthorized actions, which should be
documented in the WCMD.
Frequency
Data are compiled, analyzed, and entered into the WCMD annually due to the variable nature
of trammeling actions.
Threshold for Change
The threshold for meaningful change is a 5-percent change in the 3-year rolling average
number of unauthorized actions and persistent structures. Once there are five measure values,
the threshold for meaningful change will switch to regression analysis. A decrease in the 3-year
rolling average beyond the threshold for meaningful change results in an improving trend in
this measure.

Latest revision as of 20:47, 5 March 2023

Monitoring the Untrammeled Quality assesses how management of a wilderness is trending over time toward more or less human manipulation of plant communities, fish and wildlife populations, insects and disease, soil and water resources, and fire processes. Key indicators and measures monitor actions that are either authorized or unauthorized intentional manipulations of the biophysical environment. This section first provides guidance on what a trammeling action is (section 2.1) and then describes detailed protocols for monitoring the following indicators and measures:

2.2 Indicator: Actions Authorized by the Federal Land Manager that Intentionally Manipulate the Biophysical Environment
2.2.1 Measure: Number of authorized actions and persistent structures designed to manipulate plants, animals, pathogens, soil, water, or fire.
2.3 Indicator: Actions Not Authorized by the Federal Land Manager that Intentionally Manipulate the Biophysical Environment
2.3.1 Measure: Number of unauthorized actions and persistent structures by agencies, organizations, or individuals that manipulate plants, animals, pathogens, soil, water, or fire.

2.1 What is a Trammeling Action?

This section provides guidelines and examples to clarify what is and is not a trammeling action, based on the recommendations in Keeping It Wild 2 (Landres et al. 2015). These guidelines and examples should be sufficient to help staff decide most of the cases whether an action is a trammeling or not and provide sufficient guidance for local units to determine novel and rarer cases as they occur. A trammeling action is defined as an action or persistent structure that intentionally manipulates "the earth and its community of life" inside a designated wilderness or inside an area that, by Congressional legislation or agency policy, is managed to preserve wilderness character.

The following terms and phrases clarify the trammeling action definition described above:

  • Intentional—An action done on purpose, deliberately, or willfully.
  • Manipulation—An action that alters, hinders, restricts, controls, or manipulates "the earth and its community of life" including the type, amount, or distribution of plants, animals, or physical resources.
  • Intentional manipulation—An action that purposefully alters, hinders, restricts, controls, or manipulates "the earth and its community of life."

Two concepts are crucial for understanding what is, and is not a trammeling action: (1) restraint and (2) intention. The first concept, restraining our power to manipulate or control "the earth and its community of life," is at the core of the Untrammeled Quality of wilderness character. Wilderness legislation and policies mandate that federal land managers exercise restraint when authorizing actions that interfere with or control wilderness ecosystems. While other agencies, organizations, and the public are not beholden to these same restraints, activities not authorized by the federal land manager that manipulate the wilderness environment are counted as trammeling actions.

The second concept central to the idea of trammeling is intentionality. Actions that deliberately interfere with, manage, or control an aspect of wilderness ecosystems are intentional and clear instances of trammeling. Section 2.0 of this technical guide, Untrammeled Quality, explains that intentional actions are counted as a trammeling regardless of the magnitude of their effects (including aerial extent, intensity, and duration). For pragmatic reasons, however, some actions are not monitored if they fall below a minimum practical threshold of scale and scope (e.g., hand pulling a few individual nonindigenous invasive plants). In general, when such actions have substantial and foreseeable effects on a wilderness ecosystem, they are counted as a trammeling, as shown in figure 2.2.1 in section 2.1.4 in part 2.

Actions initiated outside the boundaries of a designated wilderness generally do not affect the Untrammeled Quality. However, some actions taken outside of wilderness boundaries do intentionally alter, hinder, restrict, control, or manipulate the "the earth and its community of life" within wilderness. Examples include, but are not limited to, the introduction of game species outside a wilderness with the intention that the animals will occupy habitat within a wilderness, ignition of fire outside of wilderness with the anticipation that fire will burn into wilderness, installation of a dam outside of a wilderness boundary that results in the containment of a watershed within wilderness, or seeding of clouds for weather manipulation over wilderness.

This section describes three types of activities:

  1. Activities that are trammeling actions
  2. Activities that are not trammeling actions
  3. Activities that may be trammeling actions

At the end of this section, a flowchart provides general guidance for making determinations about the three types of activities. Additionally, line officers often make (difficult) decisions to exercise restraint and not take action in wilderness, despite a perceived need. Decisions to not take action in wilderness are not explicitly monitored under this quality, but would be reflected in a lower overall tally of intentional actions taken in wilderness, which equates to less impact to the Untrammeled Quality.

2.1.1 Activities That Are Trammeling Actions

There are two broad classes of trammeling actions: (1) those authorized by the federal land manager, and (2) those that are not. Three subclasses under each broad class reflect whether the action is taken on (a) a biological resource, (b) a physical resource, or (c) a resource outside a wilderness with the intent to manipulate biophysical resources within a wilderness.

Agency authorized trammeling actions are actions that are authorized by the Forest Service as well as actions by other agencies, organizations, or individuals that have been approved or permitted by the Forest Service.

  • Examples of actions taken inside wilderness on a biological resource to intentionally affect "the earth and its community of life" include the following:
    • Administrative actions to remove or kill indigenous or nonindigenous vegetation, fish, or wildlife.
    • Adding or restoring indigenous or nonindigenous vegetation, fish, or wildlife.
    • Using chemicals or biocontrol agents to control indigenous or nonindigenous vegetation, fish, or wildlife.
    • Collecting, capturing, or releasing fish and wildlife under a research permit.
    • Enclosing or excluding fish and wildlife from an area.
    • Permitting livestock grazing.
  • Examples of actions taken inside wilderness on a physical resource or natural process to intentionally affect "the earth and its community of life" include the following:
    • Taking suppression action on naturally ignited fire.
    • Igniting fire (under management prescription) for any purpose.
    • Constructing or maintaining a dam, water diversion, guzzler, fish barrier, or other persistent installation intended to continuously alter wilderness hydrology.
    • Installing a bat gate on a cave or constructing fencing to an extent sufficient to alter wildlife behavior (e.g., elk or cattle exclosures).
    • Adding acid-buffering limestone to water to neutralize the effects of acid deposition.
    • Collecting fossils, rocks, paleontological specimens under a collection or research permit.
    • Implementing Burned Area Emergency Response (BAER) activities.
  • Examples of actions taken outside wilderness on a physical or biological resource or process to intentionally affect "the earth and its community of life" inside a wilderness include the following:
    • Cloud seeding to intentionally increase precipitation inside wilderness.
    • Damming a river outside a wilderness to intentionally alter the hydrology inside wilderness.
    • Killing fish and wildlife outside wilderness, or planting or stocking fish or wildlife outside wilderness, to intentionally affect the population or distribution of this species inside wilderness.

Unauthorized trammeling actions are actions taken by other agencies, organizations, or individuals that the federal land manager has not authorized, approved, or permitted.

  • Examples of actions taken inside wilderness on a biological resource to intentionally affect "the earth and its community of life" include the following:
    • Unauthorized removal of or killing indigenous or nonindigenous vegetation, fish, or wildlife with the intent of altering distribution or population dynamics (e.g., predator control).
    • Unauthorized addition or restoration of indigenous or nonindigenous vegetation, fish, or wildlife.
    • Indirect manipulation of fish and wildlife, such as changing hunting regulations with the goal of decreasing predator populations within wilderness.
    • Illegal livestock grazing, provided that there is reasonable certainty that grazing activities in wilderness were intentional as opposed to unintentional (e.g., resulting from poorly maintained fencing).
  • Examples of actions taken inside wilderness on a physical resource or natural process to intentionally affect "the earth and its community of life" include the following:
    • Setting arson fire.
    • Modifying water resources to provide water for wildlife, or otherwise store water or alter the timing of water flow.
  • Examples of actions taken outside wilderness on a physical or biological resource to intentionally affect "the earth and its community of life" inside a wilderness includes the following:
    • Killing individual animals outside of wilderness with the intention to affect populations whose ranges expand into wilderness.
    • Releasing individual animals outside of wilderness with the intention to affect populations whose ranges expand into wilderness.

In some situations, Forest Service land managers may assume that they do not have an opportunity for restraint because an action is required to comply with other laws or agency policies, or to protect human life or property. Examples of such situations include restoring habitat for a listed endangered species, spraying herbicides to eradicate an invasive nonindigenous plant that is degrading wildlife habitat, transplanting an extirpated species back into a wilderness, or suppressing a naturally ignited fire. These are still considered trammeling actions because even in these situations there is a decision to take action, as well as a decision about the type and intensity of action.

2.1.2 Activities That Are Not Trammeling Actions

Actions for which there is no opportunity for restraint are not considered a trammeling. For example, climate change, air pollutants drifting into a wilderness, and the presence of nonindigenous species that naturally dispersed into a wilderness are not the result of deliberate decisions or actions, and therefore, do not provide an opportunity for restraint. Accidental unauthorized actions, such as escaped campfires and oils spills, similarly lack an opportunity to restrain individuals' power over the landscape. Past actions that manipulated the biophysical environment before the designation of the area as wilderness are not considered a trammeling because the provisions of the 1964 Wilderness Act did not apply to the area prior to designation.

Another group of examples that are not a trammeling encompass those small-scale actions with no intent to manipulate "the earth and its community of life," such as installing meteorological or other science instrumentation, landing a helicopter for search and rescue operations, and removing trash. Camping violations, incidental development of campsites, unauthorized motorized incursions, littering, and other illegal activities not intended to manipulate the biophysical environment also are not counted as trammeling actions because legality is irrelevant in determining whether an action is a trammeling.

Hunting, for sport or subsistence, has provoked an enormous amount of interagency discussion about whether it degrades the Untrammeled Quality. The general interagency consensus is that hunting is not a trammeling action because individual hunters are taking individual animals without the intention to manipulate the wildlife population. However, if a state wildlife agency increases predator bag limits in a wilderness to purposefully alter the predator-prey relationship to maximize the viability of a game species, this manipulation of the "community of life" would degrade the Untrammeled Quality.

2.1.3 Activities That May Be Trammeling Actions

There are two types of actions that may or may not be considered trammeling actions. The first includes intentional manipulations that interfere with or control an aspect of wilderness ecosystems but are too small in scale or scope to be practically monitored. The second type encompasses those nuanced cases where the primary purpose of the action is not to manipulate the ecosystem, but a foreseeable and substantial effect on the earth and its community is required to achieve this purpose. This second type of action can be confusing because it still results in intentional manipulations of the biophysical environment even though that was not the primary purpose. As shown in table 2.2.1, several example situations illustrate how an action may or may not be a trammeling, depending on the extent of the action and its effects. The table columns "Likely Not a Trammeling" and "Likely a Trammeling" present situations where the action being taken would not, or would be considered a trammeling.

Table 2.2.1—Examples of actions that likely are not and likely are trammeling actions based on the scale and scope of the action and its effects on "the earth and its community of life."

2.1.4 Trammeling Flowchart

The flowchart depicted in figure 2.2.1 provides general guidelines using a series of questions to help agency staff determine when an action should be considered a trammeling. The first question asks if there is an opportunity for restraint, and is placed first to help avoid confusing those actions that are beyond the scope of management control, or are unauthorized accidents, from actions that Forest Service land managers or others do have an opportunity to influence. Political considerations are not a factor in determining whether or not there is an opportunity for restraint. The second question examines the intentionality of the action and whether the purpose is to manipulate "the earth and its community of life." If there is a clear intent to manipulate, then the action is counted as a trammeling unless it does not meet a minimum threshold for practicable monitoring. If the purpose of the activity is not to manipulate the ecological system, the action is nonetheless considered a trammeling if it results in foreseeable and substantial effects to the wilderness ecosystem.

Figure 2.2.1—Flowchart to determine if an action qualifies as a trammeling.

2.2 Indicator: Actions Authorized by the Federal Land Manager that Intentionally Manipulate the Biophysical Environment

This indicator focuses on actions and persistent structures authorized by the agency that intentionally manipulate the biophysical environment. There is one required measure for this indicator.

2.2.1 Measure: Number of Authorized Actions and Persistent Structures Designed to Manipulate Plants, Animals, Pathogens, Soil, Water, or Fire

This measure assesses the 3-year rolling average of authorized trammeling actions, based on an annual count of authorized actions and persistent structures intended to manipulate any component of the biophysical environment within wilderness (including vegetation, fish, wildlife, insects, pathogens, soil, water, or fire). Local data are compiled and entered in NRM-WCM annually. NRM-WCM calculates the annual value, and the WCMD then calculates the 3-year rolling average (the measure value). Table 2.2.2 describes the key tasks for this measure.

Table 2.2.2—Summary of measure type, protocol options, local tasks, national tasks, and frequency of data reporting for the measure "Number of Authorized Actions and Persistent Structures Designed to Manipulate Plants Animals, Pathogens, Soil, Water, or Fire."

Protocol

Step 1: Ensure users understand what constitutes authorized trammeling and then compile data. Detailed information about how to determine what is, is not, and may be a trammeling action, including numerous examples, can be found in section 2.1 in part 2. This measure includes discretionary and non-discretionary actions required to uphold Federal law, including those explicitly allowed under the Wilderness Act and subsequent wilderness legislation. For example, permitted livestock grazing authorized by the designating legislation for a wilderness is counted as a trammeling action. Intentional manipulations taken by other federal agencies, tribal or state agencies, organizations, and private citizens are also included under this measure if these actions are authorized by the Forest Service. This includes actions authorized through special use permits (SUPs) or other instruments (e.g., research actions, state fish and wildlife management actions).

Due to the wide variety of types of actions counted under this measure, there is no single source for data. The complexity of data compilation for this measure depends on the size of a given wilderness, its location, whether its management is shared with another district, forest, or agency, and on other factors that may not be predictable on a year-to-year basis. A recommended starting point in the compilation of data for this measure is to coordinate with wilderness rangers, wilderness managers, forest and district specialists, and the unit line officer to compile a list of readily known actions (including persistent structures), and to gauge the level of confidence that this list is comprehensive. If this initial list of actions is not comprehensive, other potential data sources to confirm whether or not additional actions were implemented include minimum requirements analyses (MRA), National Environmental Policy Act (NEPA) documents, Pesticide Use Proposals, SUPs, fire narratives, (ICS-209 forms), Forest Service corporate databases (e.g., NRM-Wilderness, Forest Service Activity Tracking System [FACTS], Project Activity Levels [PALS], Fire Statistics System [FIRESTAT], Wildland Fire Decision Support System [WFDSS]), and state agency records.

Step 2: Count the number of authorized trammeling actions that occurred during the fiscal year. Where questions arise as to whether a seemingly inconsequential action truly manipulates "the earth and its community of life," the scale of an action can help determine whether or not the action constitutes trammeling. If the magnitude of an action's consequences will exceed a certain threshold, the action is counted as a trammeling. All trammeling actions that cross this threshold are counted equally, regardless of the extent of their effects (e.g., spraying herbicide on a small population of noxious weeds is equivalent to spraying herbicide across 1,000 acres; an herbicide treatment of weeds targeting one species is equivalent to an herbicide treatment targeting five species simultaneously). Below the established threshold, actions are not considered to be of sufficient magnitude to be counted as a trammeling for this monitoring effort (e.g., hand pulling a small number of invasive plants, removing a downed tree across a trail, or restoring a campsite).

The counting protocol for authorized trammeling actions is as follows, with counting instructions grouped in categories including scale of action, timing of action, location of action, fire-related actions, persistent structures, and other clarifications:

Scale of Action
  • Only count actions that are of sufficient scale to qualify as trammeling actions for practicable monitoring, as described above and in section 2.1 in part 2.
  • All actions that meet the scale requirements for monitoring trammeling actions are counted equally, regardless of the magnitude of their effects.
  • Actions that are individually too small in scale to be counted as trammeling actions are considered a trammeling if their cumulative effects crossed the threshold described above and in section 2.1 in part 2. For instance, removing a single hazard tree in a campsite is not considered a trammeling. However, an insect or disease event that killed many trees in an area with many campsites and resulted in the removal of a large number of hazard trees could be considered a trammeling. Local units must use their discretion and judgment in determining when cumulative effects cross the threshold resulting in a series of otherwise minor actions constituting a trammeling, including whether subsequent yet discrete actions add to these cumulative effects and constitute additional trammeling actions.
Timing of Action
  • Ongoing, multi-year actions are counted once annually per fiscal year.
  • A single action that incidentally spans the fiscal year is only counted as a trammeling action for the initial fiscal year. For example, a watershed stabilization project implemented between September 15 and October 15, 2015, counts as one action for fiscal year 2019 and zero actions for fiscal year 2020.
Location of Action
  • The decision to take an action that occurs simultaneously in multiple locations in a wilderness is counted as a single action. For example, treatments of discrete invasive species populations located in different areas using herbicide counts as a single action. Similarly, concurrently stocking fish in multiple lakes across a wilderness counts as a single trammeling action.
  • Actions that occur outside of wilderness with the explicit intent of manipulating the biophysical environment within wilderness count as trammeling actions.
Fire-related Actions
  • Management or suppression of a wildfire —whether naturally ignited or human-caused—counts as a single trammeling action per fire, regardless of the number or type of fire management actions taken. Types of fire management actions may include:
    • Fireline construction (handline, tree felling, explosives, dozer line, wet line, leaf blowers, sprinkler systems, or mechanical clearing of safety zones).
    • Burn operations (backfiring, burn outs, or black lining).
    • Extinguishing fire (use of water, dirt, or flappers).
    • Application of fire retardant.

For example, suppression of a single wildfire by constructing a fireline and conducting burn operations during the course of the incident would count as one trammeling action. However, the construction of a fireline on two discrete wildfires in a wilderness in the same fiscal year counts as two trammeling actions.

  • The issue of scale described in section 2.1 does not apply to management of wildfire because seemingly minor attempts to alter the behavior of a natural fire can have significant consequences. For instance, cutting down and suppressing a burning snag started by lightning—an action that is seemingly small in scale— may prevent a natural fire that otherwise may burn thousands of acres. Note, however, that actions taken on campfires that are not yet wildfires do not count as trammeling actions. For example, putting out an abandoned campfire that is still contained within a fire ring as part of routine wilderness maintenance would not count as a trammeling action.
  • Suppression of a fire adjacent to but outside of wilderness constitutes a trammeling action when there is reasonable certainty that it would have likely burned into wilderness absent any suppression action (given factors such as slope, terrain, fuels, weather, fire behavior, and specific suppression actions taken) and when the action is taken with the explicit intent of preventing or limiting fire within wilderness. For example, suppression action taken on a fire 20 miles from the wilderness boundary may count as a trammeling action if conditions are extremely dry and there are high winds in the direction of the wilderness. In contrast, suppression action taken on a creeping fire in leaf litter 75 feet from the wilderness boundary may not count as a trammeling action if there's 78% percent humidity and it is unlikely the fire will spread.
  • The use of prescribed fire, regardless of the tactics used to manage the burn, counts as a single trammeling action because of the decision to intervene in natural processes in accordance with the management prescription developed by the agency. The implementation of multiple prescribed fires in a wilderness in a single fiscal year also counts as a single trammeling action if each burn was authorized via the same burn plan. Prescribed fires conducted in the same fiscal year authorized by multiple burn plans—for instance in a wilderness managed by two Forest Service regions or forests—counts as multiple trammeling actions.
  • Different types of BAER treatments—where they pass the threshold for scale— constitute separate trammeling actions for each incident they are associated with.
Persistent Structures
  • To be counted as a trammeling action, a persistent structure must be intended to purposefully alter, hinder, restrict, control, or manipulate the "the earth and its community of life." Examples of persistent structures that would be counted under this measure include, but are not limited to fish barriers, dams, water diversions, guzzlers, bat gates, or fencing (e.g., wildlife or cattle enclosure areas). Each unique persistent structure that manipulates any component of the biophysical environment is counted for each year that it exists.
  • An action to install a persistent structure that alters the biophysical environment in wilderness is counted once as a trammeling in the year that the installation occurred and once per year subsequently, as long as the structure persists. The installation and existence of the structure in the first year are not double counted as two trammeling actions. Persistent structures that are no longer functioning as intended are not counted as a trammeling if it can be demonstrated they do not alter or manipulate any component of the biophysical environment (e.g., fencing previously used to form a cattle exclosure that has fallen down).
Other Clarifications
  • Single projects or decisions that involve related yet distinct actions count as multiple trammeling actions. For example, a stream restoration project that involves both the release of piscicide and restocking native fish count as two trammeling actions. Treating one or more species of invasive plants with herbicide and a biological control agent also count as two trammeling actions—one action for the use of herbicide, and one action for the release of the biological control agent. The number of species affected by each treatment is incidental.
  • Actions intended to manipulate the biophysical environment within wilderness that are unsuccessful are still counted as trammeling actions.'

Step 3: Enter data in NRM and the WCMD. Track trammeling actions annually and enter them into the NRM-WCM application for each fiscal year. NRM-WCM will sum the counts of all authorized trammeling actions to generate an annual value. Local units must then validate the value generated by NRM-WCM and correct records in NRM as necessary. Once validated, enter the annual value in the WCMD. The WCMD automatically calculates 3-year rolling averages based on the annual values. The measure value is the 3-year rolling average number of trammeling actions.

Caveats and Cautions

When a unit experiences a large wildfire managed by an Incident Management Team, these data can be difficult to obtain. Units are therefore encouraged to seek out data on trammeling actions during or soon after the incident. In addition, interpretation of the number of trammeling actions associated with an action or decision—in particular with fire management, and occasionally with other types of management actions—may vary due to the potential complexity of determining what constitutes a trammeling action. Units should therefore provide a narrative in the WCMD describing the methodology and considerations behind any nuanced or complex trammeling interpretations.

When deciding which specific 3 years of data to include to calculate the rolling average for this measure, always defer to the highest data adequacy available (section 1.2.3 in part 2). Ideally the data with the highest degree of adequacy will also be the most recent data collected, but this might not always be the case.

Data Adequacy

Data adequacy is typically medium to high, though this should be verified and documented locally. In many cases it is likely that all data records related to authorized actions and persistent structures that manipulate the biophysical environment can be gathered, although this may be difficult for large wildernesses or wildernesses managed by more than one forest or Forest Service region. Data quantity is therefore often complete and data quality is good.

Frequency

Data are compiled, analyzed, and entered into the WCMD annually due to the variable nature of trammeling actions.

Threshold for Change

The threshold for meaningful change is a 5-percent change in the 3-year rolling average number of authorized actions and persistent structures. Once there are five measure values, the threshold for meaningful change will switch to regression analysis. A decrease in the 3-year rolling average beyond the threshold for meaningful change results in an improving trend in this measure.

2.3 Indicator: Actions Not Authorized by the Federal Land Manager that Intentionally Manipulate the Biophysical Environment

This indicator focuses on actions that are not authorized by the agency, but that intentionally manipulate ecological systems in wilderness. There is one required measure for this indicator.

2.3.1 Measure: Number of Unauthorized Actions and Persistent Structures by Agencies, Organizations, or Individuals That Manipulate Plants, Animals, Pathogens, Soil, Water, or Fire

This measure assesses the 3-year rolling average of unauthorized trammeling actions based on an annual count of known actions not authorized by the Forest Service taken by other federal and state agencies, organizations, or individuals that are intended to manipulate any component of the biophysical environment within wilderness (including vegetation, fish, wildlife, insects, pathogens, soil, water, or fire). Local data are compiled and entered in NRM-WCM annually. NRM-WCM calculates the annual value, and the WCMD then calculates the 3-year rolling average (the measure value). Table 2.2.3 describes key features for this measure.

Table 2.2.3—Summary of measure type, protocol options, local tasks, national tasks, and frequency of data reporting for measure "Number of Unauthorized Actions that Manipulate Plants, Animals, Pathogens, Soil, Water, or Fire."

Protocol

Step 1: Ensure users understand what constitutes unauthorized trammeling and then compile data. Section 2.1 provides detailed information about how to determine what is, is not, and may be a trammeling action, including numerous examples. Unauthorized trammeling actions may be taken by different branches of the Forest Service, other federal agencies, tribal and state agencies, organizations, or private citizens. Actions taken by state or other government agencies with the knowledge and approval of the Forest Service through a SUP or cooperative agreement are considered authorized actions and counted under the measure Number of Authorized Actions and Persistent Structures Designed to Manipulate Plants, Animals, Pathogens, Soil, Water, or Fire (see section 2.2.1 in part 2). Actions taken by states or other government agencies with the knowledge of the Forest Service but without explicit approval through a SUP or another instrument are counted under this measure.

Due to the wide variety of types of actions counted under this measure, there is no single source for data. The complexity of data compilation for this measure depends on the size of a given wilderness, its location, and whether its management is shared with another local unit, national forest, or federal agency. The complexity is also influenced by the fact that unauthorized actions are not predictable on a year-to-year basis, and unauthorized actions often go unreported or even undiscovered.

A recommended starting point in the compilation of data for this measure is to coordinate with wilderness rangers, wilderness managers, interdisciplinary team members, law enforcement, and the local unit line officer to compile a list of readily known unauthorized actions and persistent structures, and to gauge the level of confidence that the list is comprehensive. Other potential data sources include the Forest Service Law Enforcement and Investigations Management Attainment Reporting System (LEIMARS), state agency records, partner or watchdog organizations, and volunteers.

Step 2: Count the number of unauthorized trammeling actions that occurred during the fiscal year. Where questions arise as to whether a seemingly inconsequential action truly manipulates "the earth and its community of life," the scale of an action can help determine whether or not the action constitutes trammeling. If the magnitude of an action's consequences will exceed a certain threshold, the action is counted as a trammeling. All trammeling actions that cross this threshold are counted equally, regardless of the extent of their effects. Below the established threshold, actions are not considered to be of sufficient magnitude to be counted as a trammeling for this monitoring effort.

The counting protocol for unauthorized trammeling actions is as follows, with counting instructions grouped in categories including scale of action, timing of action, location of action, persistent structures, and other clarifications:

Scale of Action
  • Only count actions that are of sufficient scale to qualify as trammeling actions for practicable monitoring, as described above and in section 2.1 in part 2.
  • All actions that meet the scale requirements for monitoring trammeling actions are counted equally, regardless of the magnitude of their effects. Due to the uncertainty as to who is responsible for a given trammeling action, evidence of each unauthorized trammeling action that is discovered at different times or in different places is counted as a distinct trammeling action.
  • Actions taken by a single individual or entity that are individually too small in scale to be counted as trammeling actions are considered a trammeling action if their cumulative effects crossed the threshold described above and in section 2.1 in part 2. For instance, illegal cutting of a single tree is not considered a trammeling action. However, illegal theft of timber over a larger area or the illegal cutting of a ski run may be considered trammeling actions. Local units must use discretion and judgment in determining when cumulative effects cross the threshold resulting in a series of otherwise minor actions constituting a trammeling, including whether subsequent yet discrete actions add to these cumulative effects and constitute additional trammeling actions.
Timing of Action
  • Ongoing, multi-year unauthorized actions are counted once annually per fiscal year (e.g., marijuana cultivation or repeated unauthorized state fish and game agency management actions).
Location of Action
  • Unauthorized actions taken in multiple locations in a wilderness by a single individual or entity is counted as a single action. For example, concurrently stocking fish in multiple lakes across a wilderness counts as a single trammeling action.
  • Unauthorized actions that occur outside of wilderness intended to manipulate the biophysical environment within wilderness count as trammeling actions. For example, the introduction of game species outside of wilderness with the intent that they travel into wilderness, when not explicitly authorized by the agency based on the results of a minimum requirements analysis (MRA), counts as a trammeling action.
Persistent Structures
  • To be counted as a trammeling action, a persistent structure must be intended to purposefully alter, hinder, restrict, control, or manipulate the "the earth and its community of life." Examples of persistent structures that would be counted under this measure include, but are not limited to fish barriers, dams, water diversions, guzzlers, bat gates, or fencing (e.g., wildlife or cattle enclosure areas). Each unique, unauthorized persistent structure that manipulates any component of the biophysical environment is counted for each year that it exists.
  • The unauthorized installation of a persistent structure that alters the biophysical environment in wilderness (e.g., an impoundment and irrigation tubing for illegal marijuana cultivation, unauthorized installation of fencing) is counted once as a trammeling in the year that the installation occurred, and once per year subsequently as long as the structure persists. The installation and existence of the structure in the first year are not double counted as two trammeling actions. Persistent structures that are no longer functioning are not counted as a trammeling if it can be demonstrated they do not alter or manipulate any component of the biophysical environment (e.g., fencing previously used to form a cattle exclosure that has fallen down).
Other Clarifications
  • Evidence of an unauthorized trammeling, as opposed to an agency employee witnessing the trammeling action in progress (e.g., the discovery of an abandoned marijuana grow site), is sufficient to count as a trammeling action.
  • Related yet distinct types of actions count as multiple trammeling actions. For example, an unauthorized state wildlife management project that involves introducing game species and controlling predators via increased bag limits count as two trammeling actions. The magnitude or effects of these actions does not have any bearing on the number of trammeling actions reported.

Step 3: Enter data in NRM and the WCMD. Track trammeling actions annually and enter them into the NRM-WCM application for each fiscal year. NRM-WCM will sum the counts of all unauthorized trammeling actions to generate an annual value. Local units must then validate the value generated by NRM-WCM and correct records in NRM as necessary. Once validated, enter the annual value in the WCMD. The WCMD automatically calculates 3-year rolling averages based on the annual values. The measure value is the 3-year rolling average number of trammeling actions.

Caveats and Cautions

This measure depends on a combination of incidental, chance encounters and the amount of effort spent to find unauthorized actions. For instance, the reintroduction of game species by a state agency without explicit authorization might be incidentally discovered through media reports. Conversely, water diversions associated with a marijuana grow site are typically discovered because of law enforcement investigations, though such a use could also be discovered after an incidental report from the public. Due to the unpredictable nature by which unauthorized trammeling actions and persistent structures are discovered, information about the method and level of effort required for a given discovery should be documented in the WCMD to allow for an understanding of data adequacy when comparing results across multiple years of reporting.

When deciding which specific 3 years of data to include to calculate the rolling average for this measure, always defer to the highest data adequacy available (section 1.2.3 in part 2). Ideally the data with the highest degree of adequacy will also be the most recent data collected, but this might not always be the case.

Data Adequacy

Data adequacy is medium or low, though this should be verified and documented by the local unit. It may not be feasible to reliably gather all applicable data, and knowledge of some unauthorized actions may rely on incidental, chance encounters. Data quantity is partial and data quality is moderate. Additionally, knowledge of unauthorized actions is dependent on field or law enforcement presence and the amount of effort put into identifying unauthorized actions, which should be documented in the WCMD.

Frequency

Data are compiled, analyzed, and entered into the WCMD annually due to the variable nature of trammeling actions.

Threshold for Change

The threshold for meaningful change is a 5-percent change in the 3-year rolling average number of unauthorized actions and persistent structures. Once there are five measure values, the threshold for meaningful change will switch to regression analysis. A decrease in the 3-year rolling average beyond the threshold for meaningful change results in an improving trend in this measure.