Achieving Emissions Reductions for Environmental Justice Communities Through Climate Change Mitigation Policy

Nicky Sheats

INTRODUCTION

The Clean Power Plan rule is the U.S. Environmental Protection Agency’s (“EPA”) regulatory method of reducing the nation’s carbon dioxide emissions and, by doing so, of fighting climate change.1 There was very little in the original Clean Power Plan proposal that addressed environmental justice (“EJ”)2 using section 111(d) of the Clean Air Act3 as authorization; it instead featured averaging carbon dioxide emissions rates4 and facilitated emissions trading.5 The EJ advocacy community responded to the Clean Power Plan’s failure to address equity by propos- ing a number of ways that EJ could be incorporated into the proposed rule.6 The three primary recommendations were: 1) mandated emissions reductions for EJ communities, i.e., communities of color and low-income communities; 2) prioritized use of energy efficiency and renewable energy in EJ communities; and 3) mandatory EJ analyses included in state plans developed pursuant to the Clean Power Plan that demonstrated the implementation of the first two recommendations and determined the distributive impacts of a state plan on EJ communities within the state.7 There were other important EJ recommendations such as the recommendation that states should not be able to use carbon trading to fulfill their obligations under the Clean Power Plan.8 However, the above three suggestions were also usually core recommendations.

The final version of the rule does provide what might best be characterized as an EJ “foothold” by requiring that states interact with EJ communities during development of their state plans9 and the inclu- sion of an optional incentive program for the use of energy efficiency in low-income neighborhoods.10 However, the Clean Power Plan still pro- vides no mandatory substantive protections for EJ communities and does not attempt to incentivize emissions reductions for any particular communities, including EJ neighborhoods…

NJEJA Statewide Cumulative Impacts Policy

Cumulative Impacts and the Permitting Process

Introduction
This memorandum presents ideas regarding cumulative impacts and the permitting process that have been debated and discussed for several years by members of the New Jersey Environmental Justice Alliance, Environmental Justice Advisory Council to the New Jersey Department of Environmental Protection (NJDEP), Ironbound Community Corporation, Environmental Research Foundation, New Jersey Environmental Federation and Center for the Urban Environment. Although these ideas represent a considerable amount of thought they are not intended to be a final solution but a contribution to a discussion that will involve many participants. 

The concept of cumulative impacts (CI) should be incorporated into the permitting process in such a way that at least two goals are achieved: 1) Applications for new pollution permits can be denied in environmental justice (EJ) communities, and communities already overburdened with pollution, if granting the permit would increase the amount of pollution in the community; 2) The amount of pollution in a community
would be decreased by a facility’s operations or actions when the facility applied for a permit renewal. To achieve these goals NJDEP will have to identify EJ and overburdened communities and then apply the concept of CI in several specific ways…

EJ Bill

Chapter 92

AN ACT concerning the disproportionate environmental and public health impacts of pollution on overburdened communities, and supplementing Title 13 of the Revised Statutes.

BE IT ENACTED by the Senate and General Assembly of the State of New Jersey:

C.13:1D-157 Findings, declarations relative to impact of pollution on overburdened communities.

1. The Legislature finds and declares that all New Jersey residents, regardless of income, race, ethnicity, color, or national origin, have a right to live, work, and recreate in a clean and healthy environment; that, historically, New Jersey’s low-income communities and communities of color have been subject to a disproportionately high number of environmental and public health stressors, including pollution from numerous industrial, commercial, and governmental facilities located in those communities; that, as a result, residents in the State’s overburdened communities have suffered from increased adverse health effects including, but not limited to, asthma, cancer, elevated blood lead levels, cardiovascular disease, and developmental disorders; that children are especially vulnerable to the adverse health effects caused by exposure to pollution, and that such health effects may severely limit a child’s potential for future success; that the adverse effects caused by pollution impede the growth, stability, and long-term well-being of individuals and families living in overburdened communities; that the legacy of siting sources of pollution in overburdened communities continues to pose a threat to the health, well-being, and economic success of the State’s most vulnerable residents; and that it is past time for the State to correct this historical injustice…

Study Reveals Importance of Driving Down Dirty Diesel Emissions in EJ Communities in Newark Area

FOR IMMEDIATE RELEASE: Monday, November 16, 2020 

CONTACTS: 

Dr. Nicky Sheats, New Jersey Environmental Justice Alliance, 609-558-4987

Dr. Ana Baptista, Ironbound Community Corporation, 973-342-6056 

Melissa Miles, New Jersey Environmental Justice Alliance, 347-553-3338 

 

STUDY REVEALS IMPORTANCE OF DRIVING DOWN DIRTY DIESEL EMISSIONS IN EJ COMMUNITIES IN NEWARK AREA 

Transportation is one of the largest contributors to local air pollution and the state’s greenhouse gas (GHG) emissions (1). Reducing emissions from this sector will be critical to improve air quality, especially within environmental justice (EJ) communities, i.e. communities Of Color and low-income communities, which frequently experience disproportionately high pollution burdens including elevated levels of air pollutants known to detrimentally impact human health. To better understand the equity implications of air pollution emissions the New Jersey Environmental Justice Alliance (NJEJA) commissioned a study, Newark Community Impacts of Mobile Source Emissions”, of air pollution emissions from the transportation sector in the Newark area (2). The study examined air pollution emissions such as fine particulate matter (PM2.5), nitrogen oxides (NOx) black carbon (BC) and carbon dioxide (CO2). The study looked at the related emissions exposure from various mobile sources and non road sources including: cars, medium and heavy duty diesel trucks, buses, locomotives, ships, and port related sources such as cargo handling equipment as well as idling from trucks and buses. The study examined emissions impacts on particularly sensitive populations in close proximity to transportation infrastructure such as schools, senior centers, daycares and dialysis centers. Finally, the study explored the potential impacts that electrification would have in the study area. The report confirms some of the concerns that EJ communities express about disproportionate exposure to harmful transportation sector emissions. The findings show that: 

  1. Emissions of the most health harming air pollutants such as PM2.5, BC, and NOx from non-roadway sources, particularly locomotives and port operations, have the highest air quality impact in the total study area, followed by medium- and heavy-duty vehicles. These sources far outweigh the emissions exposure from passenger vehicles and together contribute around 95 percent of the total emissions exposure modeled within the study area. 
  2. While the contribution of different sources varies within the study area, the highest burden can be found in locations close to high density truck and bus routes and locations close to port facilities and rail yards. 
  3. The analysis shows that while electrification of trucks and buses could be one path to reduce emissions of health harming air pollutants, electrification of these vehicles must be accompanied by a focus on emissions reductions from electric generating units co-located within the same community in order to ensure a reduction in overall local air pollution burden. Displacement of air pollution emissions to power plants due to electrification can be a significant factor in impact of local emissions under different electrification scenarios. 

Based on the findings of this study, when evaluating roadway transportation emissions sources, medium-and heavy-duty vehicles have an outsized impact on the harmful local pollutants that impact human health and contribute significantly to transportation sector GHG emissions. This analysis further found that reducing emissions from the medium- and heavy-duty vehicle sector would have meaningful and immediate impacts on air-quality within disproportionately burdened communities. The implications of the report findings are relevant for several ongoing discussions concerning air pollution, climate mitigation and EJ. In New Jersey and regionally (i.e. Transportation and Climate Initiative) much of the focus of transportation sector climate mitigation efforts have been on car electrification. This study highlights the importance of prioritizing dirtier segments of this sector such as the diesel trucks and buses as well as port related emissions that have the greatest detrimental health impact on EJ communities. 

The investigation’s findings also indicate that developing climate mitigation policy that targets air pollution reduction and electrification can be complicated from an EJ perspective, at least partly due to the displacement of emissions to the power sector. Since so many of New Jersey’s existing power plants are located in EJ communities, already overburdened with multiple sources of pollution – shifting emissions from the tailpipe to the power sector could have localized impacts. Development of climate mitigation policies for this sector that takes into account EJ and equity considerations must be performed with careful consideration of the potential impacts that include but are not limited to geographic location, displaced emissions and community vulnerabilities. 

The study also highlights what NJEJA believes to be some of the key shortcomings of the proposed regional TCI approach with respect to EJ. TCI prioritizes light duty passenger vehicles in both its investment and electrification scenarios. This study shows how critical the dirtier segments of the transportation sector are to reducing the health harming impacts of the transportation sector. Without targeted, ambitious and significant attention to the diesel sector, EJ communities that suffer the greatest impact from transportation related pollution will not benefit sufficiently from TCI related policies. Furthermore, the strong emphasis on the electrification of the light duty vehicles may in fact pose a potential harm to those communities that host power plants where emissions of certain co-pollutants may increase. EJ and racial justice demand that we prioritize climate mitigation policies that affirmatively address those most severely affected by pollution. 

When we know better, we must endeavor to do better. This study clearly points the way forward to a more equitable and just approach to transportation sector mitigation policies focused on the communities that are most impacted. This would necessitate moving away from a program like TCI, which does not ensure emissions reductions in EJ communities as its core policy and moving towards targeted emissions reductions policies like Clean Truck Rules. 

“The only two children in my family who have asthma both lived along a truck route in the port-adjacent Ironbound neighborhood in Newark”, said Melissa Miles, Executive Director of the New Jersey Environmental Justice Alliance, a steering committee member of the Coalition for Healthy Ports. “Every year we counted trucks on our corner as part of a community initiative, only to find out through this report that we were also being exposed to heavy emissions from off-road sources like freight trains. New Jersey needs to address the most serious contributors to transportation emissions like trucks and trains, not just passenger vehicles which are the low hanging fruit.”

Quotations about the report and its implications from members of the Coalition for Healthy Ports 

This report illustrates what EJ communities have long known, that living with dirty diesel in your backyard is dangerous to your health. Any climate mitigation policy focused on the transportation sector must prioritize the elimination of this local pollution as a core strategy.” Ana Baptista, PhD, NJEJA

 

(1) https://www.nj.gov/dep/aqes/oce-ghgei.html 

(2) The study was conducted by MJ Bradley and Associates with funding from the Natural Resources Defense Council. The report was also released and reviewed in consultation with members of the Coalition for Healthy Ports members, specifically, Ironbound Community Corporation, GreenFaith, NJ Clean Water Action and New Jersey Environmental Justice Alliance.