• OPERATION NAME: Johnson Creek Thinning 2020
  • SUBMIT DATE: 05-15-2020
  • NOAP ID: 2020-553-06058
  • LANDOWNER STATUS: The Landowner is not a Small Forestland Owner.
  • Apply for a permit to use fire or power-driven machinery (PDM) (ORS 477.625)
  • Notify for an operation (excludes applying pesticides by helicopter) (ORS 527.670)
  • Notify the Departments of Forestry and Revenue of my intent to harvest timber (ORS 321.550)

Oregon Department of Forestry Contact Information

ODF OFFICE: TOLEDO
ODF DISTRICT:
West Oregon
ADDRESS:
763 NW Forestry Rd
Toledo, Oregon, 97391
PHONE:
(541) 336-2273
ODF FORESTER
NAME:
Leo Williamson

Notifier

RODERICK SPRINGER
COMPANY:
Springer Invvestment Company
ADDRESS:
35 Snow Cap Drive, C/O Rick Springer
Plains, Montana, 59859
PHONE:
(406) 210-8617
EMAIL:
Not Available

Notifier Comment

No Notifier comments have been made on this NOAP.

Landowner(s)

Landowner Responsibility
RODERICK SPRINGER
COMPANY:
Springer Investments
ADDRESS:
35 Snow Cap Drive
Plains, Montana, 59859
PHONE:
(406) 826-4402
Landowner Responsibility

The Landowner is responsible for reforestation. Early consultation with the ODF Forester is advised.

On-site inspections may be conducted by Oregon Department of Forestry employees to ensure compliance with all laws and rules governing fire protection and forest practices on private land.

For activities or operations changing the land to a non-forest use, the applicant is advised to contact the appropriate local government regarding land use regulations which may apply to the future use or development of this site.)

Timber Owner

Timber Owner Responsibility
RODERICK SPRINGER
COMPANY:
Springer Investments
ADDRESS:
35 Snow Cap Drive
Plains, Montana, 59859
PHONE:
(406) 826-4402
Timber Owner Responsibility

If timber harvesting is part of the proposed operation, the party shown below, owning the timber at the point it is first measured, is responsible for payment of Oregon timber taxes.

Fire Emergency Contact

NAME:
Norman Springer
PHONE:

Units / Activities / Operators

9.7 ACRES
  • Commercial Thinning/Selective Cutting

    METHOD(S):
    Cable
    OPERATOR:
    Roderick Springer
    COMPANY:
    Springer Invvestment Company

This Unit falls within the following Regulated Use Areas: WO-2

33 ACRES
  • Commercial Thinning/Selective Cutting

    METHOD(S):
    Ground
    OPERATOR:
    Matthew Mattioda
    COMPANY:
    Miller Timber Services

This Unit falls within the following Regulated Use Areas: WO-2

A Statutory Written Plan is required for the resources detected in or near this Unit if activities occur within:

100 Feet of
  • Unknown: - Type F Stream
300 Feet of
  • None detected.
10.3 ACRES
  • Commercial Thinning/Selective Cutting

    METHOD(S):
    Ground
    OPERATOR:
    Matthew Mattioda
    COMPANY:
    Miller Timber Services

This Unit falls within the following Regulated Use Areas: WO-2

A Statutory Written Plan is required for the resources detected in or near this Unit if activities occur within:

100 Feet of
  • Unknown: - Type F Stream
300 Feet of
  • None detected.
6.2 ACRES
  • Commercial Thinning/Selective Cutting

    METHOD(S):
    Ground
    OPERATOR:
    Matthew Mattioda
    COMPANY:
    Miller Timber Services

This Unit falls within the following Regulated Use Areas: WO-2

5 ACRES
  • Commercial Thinning/Selective Cutting

    METHOD(S):
    Ground
    OPERATOR:
    Matthew Mattioda
    COMPANY:
    Miller Timber Services

This Unit falls within the following Regulated Use Areas: WO-2

A Statutory Written Plan is required for the resources detected in or near this Unit if activities occur within:

100 Feet of
  • Unknown: - Type F Stream
300 Feet of
  • None detected.

Site Conditions

RESOURCES THAT MAY REQUIRE A WRITTEN PLAN
  • Stream within 100 feet of area.
  • Seep or spring within 100 feet of area.
ADDITIONAL REGULATIONS MAY APPLY
  • Slope of steepest 1/3 area: 55 %.

Uploaded Documents

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Formal Comments

COMMENTS
  • Leo Williamson
    6/4/2020 8:56:38 AM
    After reviewing your Statutory Written Plan, I offer you the following comments: Fully implementing this written plan is likely to achieve the resource protection standards. This operation will be evaluated on the basis of how well required practices are applied and how well required resource protection is achieved.
  • Leo Williamson
    5/22/2020 9:31:14 AM
    A Statutory Written Plan is required, and has been submitted with this NOAP, for any operational activity that will directly affect the RMA of the Type F / Type D / Type SSBT stream(s). Stewardship Forester comments may be provided following the 14-day open comment period.