The final
Revised Forest Plan for the Daniel Boone National Forest begins:
For the next 10 to 15 years, the 2004 Land and Resource Management Plan (also called the 2004 Forest Plan or the Plan) will guide coordination of multiple uses (such as outdoor recreation, minerals, timber, watersheds, fish and wildlife, and wilderness, etc.) and promote sustained yields of products and services on the DBNF.
Full Revised Forest Plan document:
https://www.fs.usda.gov/Internet/FSE_DO ... 032532.pdf
For all areas in DBNF along the cliffline, the Revised Forest Plan decrees:
1.C-REC-2. Any new areas developed for cliffline related recreation activities, e.g. rock climbing, bouldering, or rappelling, must receive Forest Service authorization prior to development. Improvements to existing developments that may substantially increase use of a cliffline related area must also receive prior authorization from the Forest Service. Activities that constitute development include, but are not limited to:
a) Permanent installation of safety devices such as bolts, straps, cam devices, or chocks
b) Construction of access trails
c) Clearing of vegetation (Page 51 of the .pdf)
Again, that’s for the entire DBNF. For the Clifty Wilderness (Wall of Denial, Funk Rock, Mariba Fork, etc.), the Revised Plan reads:
2.A-REC-5. No new rock climbing routes with fixed anchors are allowed. However, maintenance or replacement of existing approved fixed anchors is allowed by non-mechnized [sic] means. (page 85 of .pdf)
The Revised Forest Plan called for a Limits of Acceptable (LAC) change statements for the RRG region and for the Clifty Wilderness (See pages 98 and 84 of .pdf) .
The Limits of Acceptable Change process focuses on human-induced impacts to the environment. FS officials, mainly in Winchester, Ky., worked on the LAC document from 2004-2009. Both the Access Fund and the RRGCC were involved in this process. (See
https://www.accessfund.org/news-and-eve ... completion and
https://www.accessfund.org/news-and-eve ... r-gorge-ky)
Full LAC document may be found at
https://www.fs.usda.gov/Internet/FSE_DO ... 346567.pdf
The LAC reads:
The DBNF shall ensure that the following stipulations are carried out:
…
IV. INVENTORY AND EVALUATION A. For actions that are identified by the DBNF through the LAC process and planned for implementation at the completion of LAC (as well as actions proposed in the RRG outside of the LAC process), the DBNF shall complete the identification and National Register evaluation of these project areas in accordance with the DBNF’s existing Agreement with the KYSHPO for the Management of Heritage Resources (Appendix D).
These actions include:
1. construction, realignment, or formal designation of official Forest Service trails, trailheads, campsites, parking areas, toilet facilities, climbing areas, river access points, etc. within the RRG LAC study area; and
2. Reclamation of decommissioned-official or user-created trails, trailheads, campsites, parking areas, river access points, etc. within the RRG LAC study area; The DBNF, ACHP, and KYSHPO will develop a similar but updated Programmatic Agreement (PA) for management of heritage resources throughout the DBNF, initiating consultation in calendar year 2005, with completion during FY 2006.
Note, however, the state historic preservation officer has concerns about even low level visitation by climbers. The LAC reads further:
The draw of a National Forest has led a variety of people seeking recreational activities to the area. Red River Gorge is an internationally known rock climbing venue. In the 1970s, the problems caused by a constantly increasing visitation rate, erosion of slope soils, traffic congestion, littering, theft, rock climbing, camping, and other activities was already noted to be a problem (e.g., Cowan and Wilson 1977).” (See page 14 of pdf version)
Also, the LAC is not entirely binding. It can be voided by any party:
X. FAILURE TO COMPLY / TERMINATION If the DBNF, KYSHPO, or ACHP determines that the terms of this MOA cannot be or are not being carried out, then the DBNF, KYSHPO, and ACHP shall consult to seek amendment of the MOA. If the MOA is not amended, either the DBNF, KYSHPO, or ACHP may terminate it by providing thirty (30) calendar days written notice to the other parties.
I could see KYSHPO terminating the LAC if climbing lead to destruction of a significant archaeological site, but who knows.