Wayne State University to Host Environmental Justice and Law Conference
Friday January 26, 2018
Environmental Justice in Practice will focus on emerging legal issues related to environmental injustice and exploration of career opportunities.
The agenda will include expert panels on Careers in Environmental Justice, Energy and Climate Justice, Water Access and Affordability, and Urban Air Quality. In addition to the four panel discussions, there will be a lunchtime keynote address and opportunities for networking.
The conference is intended for law students, environmental law clinicians and doctrinal faculty, environmental justice practitioners, and interested members of the community.
The conference is free to attend. Lunch will be provided.
Register by Jan. 19, 2018.
MDEQ Hosts Hearing January 16
Community Packs Salina Elementary Voicing Opposition to Natural Gas Expansion
The air was thick in South Dearborn last night, and I can only characterize the feeling in my throat as raw and chemically burned feeling after just hours in direct proximity from some of the state’s most polluting industries. People from all over SE Michigan came to voice their opinion casting moral, economic, political, and mechanical reasons WHY Michigan Department of Environmental Quality should not grant the major pollution source expansion permit for Dearborn Industrial Generation’s new natural gas turbine.
One of the most heartening testimonies was a recent graduate of UM-Dearborn excited to get her first teaching job, receiving a position in Salina Elementary. She knew teachers didn’t last in Salina, why– because it’s hard to breathe. She described her students as coughing, constantly.
The major problem here is the burden of pollution already present in the community. And any additional burden would simply compound the injuries to their forming lung tissue. Add insult to injury, the Dearborn Industrial Generation permit opts out of the Best Available Control Technology to reduce pollution, siting cost limits, when its questioned whether they used inflated cost estimates, overlooking cheaper options. The permit also does not even consider cumulative impacts on the community, and does not use the kind of robust air modeling needed to prevent excess contamination.
This is a classic environmental justice issue and we urge MDEQ to reject this permit for a cleaner better future for all. Thank you to all the courageous people who put time and energy into building a more equitable and just future for Michigan kids.
EJ win at Detroit City Council
Residents, Environmental, Health Organizations Unite to Defeat Tarsands Waste
It’s not often that we have a victory in EJ. But thanks to all the amazing work from community members, and a historic coming together of all the communities of SW Detroit, we won an epic 4-year battle. We won historic protections for human and environmental protection against Petroleum Coke and other toxic bulk materials! From Alberta Canada to Detroit Michigan we are saying no to more toxic industry dumping their waste on the land, in the water and poisoning our communities right to breathe.
What did we win with the PET COKE fight?! The passage of a bulk storage ordinance:
- Any facility in the City of Detroit that stores or handles pet coke, met coke, nut coke, coke breeze or coal must only store or handle it in a completely enclosed structure with an impervious floor, four walls, and a roof.
- Any facility that stores or handles other types of general aggregates, such as limestone and steel slag, must submit a fugitive dust plan to the City of Detroit for review. The dust plan must be adequate to protect the public health and environment and to prevent the emission of fugitive dust that causes an unreasonable interference with the comfortable enjoyment of property. The dust plan must also specify what measures facilities will take to control dust emission during high wind conditions.
- Facilities that are currently regulated by the state must describe the control measures, devices, and technologies to be used to minimize and control fugitive dust at the facility, must describe how all control measures, devices, and technologies will be maintained and calibrated to ensure their continued effectiveness, and must describe the training provided to staff regarding the proper application and operation of the control measures, devices, and technologies.
- Facilities that are unregulated by the state must install specified dust control measures for all open storage piles, conveyors and transfer points, truck, railcar, and ship loading and unloading, roadways both within the facility and within 1/4 mile of the facility, and outgoing trucks. Unregulated facilities must also install continuous particulate matter monitors capable of detecting spikes in particulate matter emissions. If there is a spike in particulate matter emissions, the facility must report it to the City and must take immediate action to limit emissions.
- Any outdoor storage pile must be screened from the view of adjacent roadways and properties.
- In connection with the ordinance, BSEED also agreed to partner with the Health Department, local universities, and state and federal regulatory agencies to study ambient air quality in residential communities that are nearby bulk material facilities. Additionally, BSEED will recommend that expenditures for an Air Quality Specialist staff member and acquisition of air quality monitoring technology take place in the 2018-2019 fiscal budget.
HASTA LA VICTORIA!!!!
Governor Snyder’s Environmental Justice Working Group will be hosting Listening Sessions to gather input for their recommendations. The next will focus on Northern Michigan’s. If you are not able to attend but would like to submit comments, please email EnvironmentalJusticeWorkGroup@michigan.gov.
Northern Michigan Session
As a state-wide coalition, there are many issues that differ geographically, but just as often, environmental justice issues like housing quality, access to safe, green spaces, appear throughout urban and rural areas of Michigan.
Some of the most prominent issues concerning our coalition members:
Detroit Water Shut Off
Flint Water Quality
Mining in the Upper Peninsula
Enbridge Pipeline under Mackinac Bridge
Fracking in Michigan
Air Quality in 48217
Michigan Environmental Justice Coalition: Statement On Flint Water Crisis
March 01, 2016
Link to the PDF Version: MEJC Statement On Flint Water Crisis
The Flint water crisis was a preventable tragedy that has decimated an entire community. This crisis is particularly appalling because Flint is an Environmental Justice community –a community in which the majority of its residents are racial minorities, many of whom live below the poverty level, and bear the disproportionate burdens of environmental risks. As this vulnerable community continues to suffer, we at the Michigan Environmental Justice Coalition are reminded of the Michigan Environmental Justice Plan, and how its implementation may have helped to prevent this catastrophe from happening.
On November 21, 2007, then-Governor Jennifer Granholm issued Michigan Executive Directive No. 2007-23 aimed at “Promoting Environmental Justice.” The Directive defined environmental justice as “the fair, nondiscriminatory treatment and meaningful involvement of Michigan residents regarding the development, implementation, and enforcement of environmental laws, regulations, and policies by this state.” Among other things, the Directive mandated that the Michigan Department of Environmental Quality establish an Environmental Justice Working Group which was tasked with creating a state Environmental Justice Plan. The Directive and subsequent Plan were both the result of years of collaboration and compromise between state government, the environmental nonprofit sector, and private industry. While the adopted Plan heavily favored industry, the environmental community was looking forward to working with the state towards environmental justice. However, the Plan has not been implemented by the Snyder Administration.
The Plan would mandate the creation of an Interdepartmental Working Group, the use of environmental justice metrics, and increased public participation. The Working Group would have required MDEQ to cooperate with state departmental leaders from the Department to Civil Rights, the Department of Community Health, the Michigan State Housing Development Authority, and others, to come up with collaborative efforts to respond to the concerning reports from Flint. With environmental justice metrics in place, MDEQ could have measured the severity of the threats to public health, triggering an appropriate response. Increased public participation would have served as a vehicle for transparent communication between MDEQ and the people of Flint, helping to ensure that Flint voices would not be ignored or criticized, as unfortunately happened in this case.
The state has continually ignored the concerns of Environmental Justice communities for many years. While Flint’s residents continue to deal with contaminated water, the people of Detroit continue to suffer from the most polluted air in the state. In a heavily industrialized area, which is currently out of attainment with the National Ambient Air Quality Standards for Sulfur Dioxide, MDEQ is considering a permit that would allow Marathon Petroleum Corp. to increase its emissions of Sulfur Dioxide. Such a decision would yet again place an undue and unacceptable burden on the surrounding vulnerable communities who are already adversely impacted from living in the shadows of Michigan’s most polluting facilities.
We call on Governor Snyder and the Michigan Legislature to implement the Environmental Justice Plan. There are Environmental Justice communities throughout the state that face varying environmental and public health concerns every single day. Failure to take preventative measures places these vulnerable communities at severe risk of becoming the next Flint. And this is a risk that the people of Michigan simply can no longer afford to take.
To view the Michigan Environmental Justice Plan click here.