Comments on the Kuehne Company, Kearny Permit Application

NJEJA, along with signed partners, respectfully submit these comments under the New Jersey EJ Law to the Kuehne Company in Kearny, New Jersey regarding their Title V Operating Permit.

Our thanks to Camden for Clean Air, Clean Water Action, Earthjustice, the EJ Committee of the Metuchen-Edison-Piscataway Branch of the NAACP, the EJ Committee of the NJ State Conference of the NAACP, Environment New Jersey, Ironbound Community Corporation, Newark Science and Sustainability, New School Tishman Environment and Design Center, New Jersey Institute for Social Justice, NY/NJ Baykeeper, Operation Grow, South Ward Environmental Alliance, Surfrider, and Waterspirit for signing on to these comments.

For questions and additional support on NJ EJ Law engagement, please reach out to us at info@njeja.org

Read our full set of comments below:

Comments on the Reworld Union County Permit Application

NJEJA, along with signed partners, respectfully submit these comments under the New Jersey EJ Law to the Reworld Union Facility in Rahway, New Jersey regarding their Title V Operating Permit.

For questions and additional support on NJ EJ Law engagement, please reach out to us at info@njeja.org

Read our full set of comments below:

A Roadmap to the NJ Environmental Justice Rule

As facilities begin to comply with the rules of the Environmental Justice Law (EJ Law), it is important for communities to know how the process works, which facilities are subject to the law, and where pathways for advocacy can be found. This fact sheet can shed light on these important topics.

For questions and additional support, please reach out to us at info@njeja.org

Explore our fact sheet below: