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PETER C. HARVEY ATTORNEY GENERAL OF NEW JERSEY Richard J. Hughes Justice Complex 25 Market Street PO ... - page 3 / 53

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discharge of CCPW at numerous sites in and around the Counties of

Hudson and Essex, State of New Jersey.

THE PARTIES

4.

Plaintiff

DEP

is a principal

department

within

the

Executive Branch of the State government vested with the authority

to conserve natural resources, protect the environment, prevent

5.

Plaintiff Administrator is the chief executive officer of

the

New

Jersey Spill Compensation Fund ("the Spill Fund").

N.J.S.A.

58:10-23.11j.

As

chief

executive

officer

of

the

Spill

pollution,

13:1D-9.

and

protect

the

public

health

and

safety.

N.J.S.A.

Fund, plaintiff Administrator is authorized to approve and pay

cleanup and removal costs Plaintiff DEP incurs, N.J.S.A. 58:10-

23.11f.c. and d., and to certify the amount of any claim to be paid

from the Spill Fund, N.J.S.A. 58:10-23.11j.d.

6.

Defendant Honeywell International, Inc. is a

corporation

organized

under

the

laws of

the State

  • o

    f

Delaware, with its

principal

place

of

business

located

at

101 Columbia Road,

Morristown, New Jersey 07960.

7. Defendant Occidental

Petroleum

Corporation

is

a

corporation organized under the laws of the State of Delaware, with

its principal place of business at 10889 Wilshire Boulevard, Los

Angeles, California 90024.

3

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