ESG and Environmental Justice


What buzzwords define the environmental space in the past two years? Both “ESG” and “environmental justice” (EJ) are strong contenders. This post outlines how these concepts relate and provides guidance as to how companies can stake out appropriate positions on EJ in ESG reporting.

“ESG” — referring to environmental, social, and governance factors that influence decision making — has moved quickly from the fringes of policy to the center of corporate decision making, with the US Securities and Exchange Commission (SEC), the Federal Trade Commission (FTC), and other governmental entities regularly weighing in on what businesses need to report and what they can say advertising in this area. While “E” in ESG stands for “environmental,” “S” stands for “social,” meaning how businesses interact with their employees and — more particularly — the communities in which they operate.

“Environmental justice” sits at the interplay between “environmental” and “social” factors which can be evaluated under the ESG umbrella. The US Environmental Protection Agency (EPA) defines “environmental justice” as “the fair treatment and meaningful involvement of all people regardless of race, color, national origin, or income with respect to the development, implementation and enforcement of environmental laws, regulations and policies.”

Below, we will unpack what EJ is, how it relates to ESG, and outline steps businesses can use to evaluate ESG risks and opportunities relative to EJ concerns.

The Rise of Environmental Justice

While “environmental justice” as a concept dates to the Civil Rights era, consciousness of the effects of social status – including race – on public health date back far longer.

Though past decades have seen significant progress in the environmental space, it has not been uniformly distributed. There is broad acceptance that the benefits of environmental progress, and the burdens of environmentally intensive industries, are not uniformly dispersed among Americans. The Biden Administration’s EPA has made addressing EJ concerns a primary focus by integrating EJ concerns into ESG initiatives at the federal level, including working to increase equity in the environmental space through programming and funding, requiring equitable considerations while advancing the clean energy transition, and inching toward more substantive changes to how federal and state regulators administer and enforce federal environmental laws such as the Clean Air Act and the Clean Water Act.

Key steps EPA has taken to promote equity in the environmental space include:

In terms of substantive changes, the primary substantive changes stem from increased prominence of civil rights issues and assessment of “cumulative impact” in the environmental space.

EJ and ESG

EJ falls at the intersection of the ‘E’ and ‘S’ of ESG, and good governance is required to manage exposure to EJ risks. Assessment of ESG issues frequently involves conducting a quantitative and qualitative assessment of environmental, social, and governance issues. As we have discussed, this has often involved assessments of both environmental and social concerns when addressing issues like plans to reduce carbon emissions.

EJ is similar some other environmental issues in that quantitative metrics are — to some degree — available. For instance, federal environmental permits often require extensive data collection and reporting. (See here, for an example.) In terms of understanding how corporate operations interplay with “environmentally overburdened” communities, various databases exist which track whether communities fall into this category. EJSCREEN, EPA’s primary tool, is discussed in greater detail here. Corporations are also engaging with the communities in which they operate by holding community meetings and reaching out to local organizations.

Well-positioned Companies Understand Corporate Exposure on EJ Issues

Knowing whether business operations are in “environmentally overburdened” communities is a good starting point. When businesses operate in such communities, ensuring consistent community engagement is the first step in minimizing exposure. Additional steps:

In an upcoming post, we will provide greater detail on how environmental justice issues have the potential to lead to litigation in the ESG space.


© 2025 ArentFox Schiff LLP
National Law Review, Volume XIII, Number 44