By: Gwen Farley Deputy Attorney General (609)

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1 JEFFREY S. CHIESA ATTORNEY GENERAL OF NEW JERSEY Richard J. Hughes Justice Complex 25 Market Street P.O. Box 093 Trenton, NJ Attorney for Plaintiffs By: Gwen Farley Deputy Attorney General (609) Barry A. Knopf, Esq. Leonard Z. Kaufmann, Esq. Special Counsel to the Attorney General Cohn, Lifland, Pearlman, Herrmann & Knopf, L.L.P. Park 80 Plaza West-One Saddle Brook, NJ (201) John K. Dema, Esq. Scott E. Kauff, Esq. Special Counsel to the Attorney General Law Offices of John K. Dema, P.C Strand Street, Suite 103 Christiansted, St. Croix U.S. Virgin Islands (340) Duane Miller, Esq. Michael Axline, Esq. Special Counsel to the Attorney General Miller Axline & Sawyer 1050 Fulton Ave. Suite 100 Sacramento, CA (916) Tyler Wren, Esq. Russ Henkin, Esq. Special Counsel to the Attorney General Berger & Montague PC 1622 Locust Street Philadelphia, PA (215)

2 NEW JERSEY DEPARTMENT OF ENVIRONMENTAL PROTECTION; THE COMMISSIONER OF THE NEW JERSEY DEPARTMENT OF ENVIRONMENTAL PROTECTION; and THE ADMINISTRATOR OF THE NEW JERSEY SPILL COMPENSATION FUND, v. Plaintiffs, ATLANTIC RICHFIELD CO., et al., Defendants. : : : : : : : : : : UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK IN RE MTBE LITIGATION MASTER FILE No. 1: MDL No (SAS) Civil Action No. 08 Civ CONSENT DECREE AS TO MARATHON OIL CORPORATION AND MARATHON PETROLEUM COMPANY LP F/K/A MARATHON PETROLEUM COMPANY LLC ONLY This matter was opened to the Court by the Attorney General of New Jersey, Jeffrey S. Chiesa, Deputy Attorney General Gwen Farley appearing, and Leonard Z. Kaufmann, Esq. of Cohn Lifland Pearlman Herrmann & Knopf LLP, and Scott E. Kauff, Esq. of the Law Offices of John K. Dema, P.C., and Michael Axline, Esq. of Miller Axline & Sawyer, and Tyler Wren, Esq. of Berger & Montague P.C., Special Counsel to the Attorney General, appearing, as attorneys for plaintiffs New Jersey Department of Environmental Protection ("DEP" or Department ), the Commissioner of the New Jersey Department of Environmental Protection ("Commissioner"), and the Administrator of the New Jersey Spill Compensation Fund ("Administrator")(collectively, 2

3 "Plaintiffs"), and Steven L. Leifer, Esq. of Baker Botts, appearing as attorneys for defendants Marathon Oil Corporation and Marathon Petroleum Company LP f/k/a Marathon Petroleum Company LLC f/k/a Marathon Ashland Petroleum Company LLC (collectively Marathon ); and these Parties having amicably resolved their dispute before trial: I. BACKGROUND A. The Plaintiffs initiated this action on or around June 28, 2007 by filing a complaint against Marathon and other defendants in the Superior Court of the State of New Jersey, Mercer County, Docket MER-L , pursuant to the Spill Compensation and Control Act, N.J.S.A. 58: to ("the Spill Act"), the Water Pollution Control Act, N.J.S.A. 58:10A-1 to -20, and the common law. The matter was removed to the United States District Court for the District of New Jersey, and later assigned to the multi-district litigation in the United States District Court for the Southern District of New York, MDL No (SAS) ( Multi-District Litigation ). B. The Plaintiffs filed amended complaints; the latest being the Fourth Amended Complaint, was filed June 19, 2012 (the Complaint ). C. Plaintiffs, in their Complaint, seek past and future damages they have incurred and will incur as a result of alleged 3

4 widespread contamination of the waters of New Jersey by methyl tertiary butyl ether ( MTBE ). D. Plaintiffs, in their Complaint, seek past and future costs they have incurred and will incur as a result of alleged widespread contamination of the waters of New Jersey by MTBE. E. Plaintiffs, in their Complaint, seek injunctive relief concerning the remediation of MTBE discharges. F. Marathon Oil Corporation is a Delaware limited liability company with its principal place of business at 555 San Felipe Street, Houston, Texas. G. Marathon Petroleum Company LP f/k/a Marathon Petroleum Company LLC is a Delaware limited partnership with its principal place of business at 539 South Main Street, Findlay, Ohio. Marathon Petroleum Company LLC was formerly known as Marathon Ashland Petroleum Company LLC. H. Marathon filed responsive pleadings in which it denied liability and asserted various defenses to the allegations contained in the Complaint. I. Marathon represents and avers that it has not owned or operated gasoline stations or marketed gasoline at gasoline stations in the State of New Jersey and has not owned or operated underground storage tanks in the State of New Jersey. Marathon has leased two tanks at a terminal in Linden, New Jersey starting on January 1, However, gasoline 4

5 containing MTBE has not been stored in these tanks. Marathon has not manufactured MTBE at its Garyville, Louisiana refinery from which products have been shipped via the Colonial Pipeline to New Jersey. Marathon has blended MTBE into reformulated gasoline that it has refined and of which a de minimis amount has been supplied to New Jersey. J. The Parties to this Consent Decree recognize, and this Court by entering this Consent Decree finds, that the Parties to this Consent Decree have negotiated this Consent Decree in good faith; that the implementation of this Consent Decree will allow the Parties to this Consent Decree to avoid continued, prolonged and complicated litigation; and that this Consent Decree is fair, reasonable, and in the public interest. THEREFORE, with the consent of the Parties to this Consent Decree, it is hereby ORDERED and ADJUDGED: II. JURISDICTION 1. This case was removed to the United States District Court for the District of New Jersey pursuant to 28 U.S.C. 1446(d) and the Energy Policy Act of 2005, 42 U.S.C. 7545, et seq., which expressly authorized the removal of legal actions related to allegations involving MTBE contamination, and then 5

6 assigned to the Southern District of New York ( S.D.N.Y. ) as part of the Multi-District Litigation. 2. For purposes of approving and implementing this Consent Decree, the Parties to this Consent Decree waive all objections and defenses they may have to the jurisdiction of this Court over the Parties and this Consent Decree. The Parties shall not challenge the S.D.N.Y. s jurisdiction to enforce this Consent Decree against the parties to this Consent Decree. III. PARTIES BOUND 3. This Consent Decree applies to, and is binding upon, the Plaintiffs and only the named Settling Defendants, as defined below (each, a Party and collectively, the Parties ). IV. DEFINITIONS 4. Unless otherwise expressly provided, terms used in this Consent Decree that are defined in the Spill Act or in the regulations promulgated under the Spill Act, shall have their statutory or regulatory meaning. Whenever the terms listed below are used in this Consent Decree, the following definitions shall apply: "Consent Decree" shall mean this Consent Decree. "Damages" shall mean all damages alleged in the Complaint for claims arising from discharges of MTBE into Waters 6

7 of the State, as defined below, that were reported to the Department pursuant to N.J.A.C. 7:1E-5 prior to the effective date of this Consent Decree or that occurred at any of the sites identified on the list included as Appendix A to this Consent Decree, including, but not limited to: a. The Plaintiffs costs of assessing injury to Waters of the State; b. The costs of restoring the Waters of the State contaminated with MTBE to their pre-discharge quality, which, for the purpose of the Consent Decree, shall be at or below 1 part per billion; c. Compensation for restoration of, the lost value of, injury to, and/or destruction of, Waters of the State; d. Compensation for the treatment of well water containing MTBE to its pre-discharge condition; and e. Attorneys fees, consultants and experts fees, and other litigation costs. Damages do not include: a. Compliance, during any remediation, with any statutory or regulatory requirement that is not within this definition of damages, for example, without limitation, the mitigation of freshwater wetlands as required by N.J.A.C. 7:7A; and 7

8 b. Past Cleanup and Removal Costs and Future Cleanup and Removal Costs, both as defined below. "Day" shall mean a calendar day unless expressly stated to be a working day. "Working day" shall mean a day other than a Saturday, Sunday, or State holiday. In computing time under this Consent Decree, where the last day would fall on a Saturday, Sunday, or State holiday, time shall run until the close of business of the next working day. "Future Cleanup and Removal Costs" shall mean all direct and indirect costs the Plaintiffs will incur on or after the effective date of this Consent Decree, including oversight costs, to remediate MTBE discharges that were reported to the Department pursuant to N.J.A.C. 7:1E-5 prior to the effective date of this Consent Decree as set forth in Paragraph 28. "Interest" shall mean interest at the rate established by R. 4:42 of the then current edition of the New Jersey Court Rules. Marathon s Representations shall mean Settling Defendants representation, affirmation, and declaration subject to penalties of perjury that it is true and correct that Marathon: i) has not owned or operated gasoline stations or marketed gasoline at gasoline stations in the State of New Jersey; ii) has not owned or operated underground storage tanks in the State of New Jersey; iii) has leased two tanks at a 8

9 terminal in Linden, New Jersey since January 1, 2005, but gasoline containing MTBE has not been stored in these tanks; iv) has not manufactured MTBE at its Garyville, Louisiana refinery from which products are shipped via the Colonial Pipeline to New Jersey; and v) has blended MTBE into reformulated gasoline that it refined and of which a de minimis amount was supplied to New Jersey. MTBE shall mean methyl tertiary butyl ether as well as tertiary butyl alcohol ( TBA ) when TBA is a degradation product of MTBE in the environment or a contaminant in gasoline containing MTBE or in neat MTBE. "Paragraph" shall mean a portion of this Consent Decree identified by an Arabic numeral or an upper case letter. "Past Cleanup and Removal Costs" shall mean all direct and indirect costs the Plaintiffs incurred before the effective date of this Consent Decree, including oversight costs, to remediate MTBE discharges. "Plaintiffs" shall mean plaintiffs DEP, the Commissioner, and the Administrator, and any successor department, agency or official. "Section" shall mean a portion of this Consent Decree identified by a roman numeral. "Settling Defendants" shall mean defendants Marathon Oil Corporation and Marathon Petroleum Company LP. Settling 9

10 Defendants shall also include their parent companies, subsidiary companies (including, but not limited, to Marathon Oil Company), successors, past and present officers, directors, and employees (each, a Related Entity ), but only to the extent that the alleged liability of any Related Entity is based on its status and in its capacity as a Related Entity, and not to the extent that the alleged liability of the Related Entity with respect to MTBE contamination arose independently of its status and capacity as a Related Entity of any Settling Defendant. Waters of the State are the ocean and its estuaries, all springs, streams and bodies of surface or ground water, whether natural or artificial, within the boundaries of the State of New Jersey or subject to its jurisdiction. V. SETTLING DEFENDANTS COMMITMENTS 5. (a) Within fourteen (14) days after the effective date of this Consent Decree, the Settling Defendants shall pay the Plaintiffs Two Hundred and Fifty-five Thousand Dollars ($255,000.00). The Settling Defendants are jointly and severally liable for this payment. (b) The Settling Defendants shall pay the amount specified in Paragraph 5(a) above by certified check made payable to Treasurer, State of New Jersey. The Settling Defendants shall 10

11 mail or otherwise deliver the payment and any payment invoice if previously received from Plaintiffs to: Chief, Office of Natural Resource Restoration Natural and Historic Resources Program New Jersey Department of Environmental Protection Mail Code P.O. Box 420 Trenton, New Jersey ; with a photocopy thereof to: Section Chief, Cost Recovery and Natural Resource Damages Section, Division of Law, Department of Law and Public Safety, Richard J. Hughes Justice Complex, 25 Market Street, P.O. Box 093, Trenton, New Jersey VI. PLAINTIFFS' COVENANTS AND RELEASES 6. (a) In consideration of, and upon receipt of, the payment required in Section V above, and except as otherwise provided in Section VII below, the Plaintiffs covenant not to sue, or to take judicial, administrative or other action against the 11

12 Settling Defendants for reimbursement of Past Cleanup and Removal Costs. (b) In consideration of, and upon receipt of, the payment required in Section V above and Marathon s Representations, and except as otherwise provided in Section VII below, the Plaintiffs covenant not to sue, or to take judicial, administrative or other action against the Settling Defendants for reimbursement of Future Cleanup and Removal Costs. In the event that Marathon s Representations are knowingly false, the covenant not to sue set forth in this sub-paragraph shall not apply. (c) Notwithstanding any other provision of this Consent Decree, in consideration of, and upon receipt of, the payment required in Section V above the Plaintiffs covenant not to sue, or to take judicial, administrative or other action against the Settling Defendants based upon Settling Defendants liability under the (i) common law and (ii) statutory or other theories of products liability with respect to MTBE discharges into Waters of the State that occurred prior to the effective date of this Consent Decree as set forth in Paragraph In further consideration of, and upon the receipt of, the payment required in Section V above, and except as otherwise provided in Section VII below, the Plaintiffs fully and forever release, covenant not to sue, and agree not to otherwise take 12

13 judicial, administrative or other action against the Settling Defendants for Damages. 8. The covenants and releases contained in this Section VI shall take effect upon the Plaintiffs receiving the payment that Settling Defendants are required to make pursuant to Section V above, in full, and in compliance with the terms of this Consent Decree. 9. The covenants and releases contained in this Section VI extend only to Settling Defendants and not to any other defendant, party, person or entity. 10. The covenants and releases contained in this Section VI do not pertain to any matters other than those expressly stated. VII. PLAINTIFFS' RESERVATIONS 11. The Plaintiffs willingness to settle with the Settling Defendants is subject to the Settling Defendants compliance with all remediation requirements set forth in any applicable statute, regulation, or rule, and any agreement, order or other document, including the Site Remediation Reform Act, N.J.S.A. 58:10C-1, et seq., notwithstanding N.J.S.A. 58:10C-27(e). The Plaintiffs reserve their rights to enforce such compliance. Failure to comply with any remediation requirement may give rise to additional liability for Damages to 13

14 the extent that noncompliance increases the scope or duration of injuries to Waters of the State, and the Plaintiffs expressly reserve their rights to pursue the Settling Defendants for such increased scope or duration of injuries to Waters of the State caused by Settling Defendants noncompliance. 12. The Plaintiffs reserve, and this Consent Decree is without prejudice to, all rights against the Settling Defendants concerning any matter not addressed in this Consent Decree, including, but not limited to, the following: a. claims based on a Settling Defendants failure to satisfy any term or provision of this Consent Decree; b. liability arising from the Settling Defendants being in any way responsible for a hazardous substance other than MTBE that is discharged into the Waters of the State; c. liability for cleanup and removal costs for remediation of discharges not reported to the Department pursuant to N.J.A.C. 7:1E-5 prior to the effective date of this Consent Decree as provided in Paragraph 28; d. liability for any future discharge or unsatisfactory storage or containment of any hazardous substance by a Settling Defendant, other than as provided for in an 14

15 administrative consent order or as otherwise ordered or approved by plaintiff DEP; e. criminal liability; and f. liability for any violation by a Settling Defendant of federal or state law that occurs after the effective date of this Consent Decree. VIII. SETTLING DEFENDANTS COVENANT 13. The Settling Defendants covenant not to sue or assert any claim or cause of action against the State, including any department, agency or instrumentality of the State, concerning the matters addressed in the Complaint and this Consent Decree. 14. The Settling Defendants covenant in Paragraph 13 above does not apply where the Plaintiffs sue or take administrative action against the Settling Defendants pursuant to Section VII above. IX. FINDINGS AND ADMISSIONS OF LIABILITY 15. Nothing contained in this Consent Decree shall be considered an admission by the Settling Defendants, or a finding by the Plaintiffs, of any wrongdoing or liability on the Settling Defendants part. X. EFFECT OF SETTLEMENT AND CONTRIBUTION PROTECTION 15

16 16. Nothing in this Consent Decree shall be construed to create any rights in, or grant any cause of action to, any person not a Party to this Consent Decree. The preceding sentence shall not be construed to waive or nullify any rights that any person not a signatory to this Consent Decree may have under applicable law. 17. Settling Defendants expressly reserve all rights, including any right to contribution, defenses, claims, demands, and causes of action that the Settling Defendants may have concerning any matter, transaction, or occurrence against any person not a Party to this Consent Decree. 18. When entered, this Consent Decree will constitute a judicially approved settlement within the meaning of N.J.S.A. 58: f.a.(2)(b) and 42 U.S.C. 9613(f)(2) for the purpose of providing contribution protection to the Settling Defendants from contribution actions related to the causes of action pled in the Complaint. The Parties agree, and by entering this Consent Decree this Court finds, the Settling Defendants are entitled, upon fully satisfying their obligations under this Consent Decree, to protection from contribution actions or claims for matters addressed in the Complaint and this Consent Decree. 19. In order for the Settling Defendants to obtain protection under N.J.S.A. 58: f.a.(2)(b) from 16

17 contribution actions or claims for matters addressed in the Complaint and this Consent Decree, the Plaintiffs published a copy of the draft Consent Decree on Plaintiffs website and published notice of this Consent Decree in the New Jersey Register, and arranged for notice, as described in the following paragraph, to other parties in this case and to the other potentially responsible parties in accordance with N.J.S.A. 58: e2. Such notice included the following information: a. the caption of this case; b. the name of the Settling Defendants; c. a summary of the terms of this Consent Decree; and d. that a copy of the draft Consent Decree is available on the Plaintiffs website. 20. In fulfillment of N.J.S.A. 58: e2, the Parties have provided written notice of this Consent Decree to all other parties in the case and to other potentially responsible parties by: a. sending a letter to liaison defense counsel and serving a copy of such letter on counsel of record in the above captioned litigation via LexisNexis File and Serve; and b. publishing notice in the following newspapers: i. Asbury Park Press; ii. Atlantic City Press; iii. Bergen Record; 17

18 iv. Burlington County Times; v. New Jersey Herald; vi. South Jersey Times; and vii. Star Ledger; and c. distributing a copy of the New Jersey Register Notice via the Site Remediation Program s listserv which the public can access at This notice is deemed compliant with the notice requirement of N.J.S.A. 58: e The Plaintiffs will submit this Consent Decree to the Court for entry pursuant to Paragraph 35 below unless, as a result of the notice of this Consent Decree pursuant to Paragraphs 19 and 20 above, the Plaintiffs receive information that discloses facts or considerations that indicate to Plaintiffs, in their sole discretion, that the Consent Decree is inappropriate, improper or inadequate. 22. In any subsequent administrative or judicial proceeding initiated by the Plaintiffs for injunctive relief, recovery of costs, and/or damages, or other appropriate relief not alleged in the Complaint, the Settling Defendants shall not assert, and may not maintain, any defense or claim based upon the principles of the entire controversy doctrine; provided, however, that nothing in this Paragraph affects the enforceability of this Consent Decree. 18

19 XI. GENERAL PROVISIONS 23. Nothing in this Consent Decree shall be deemed to constitute preauthorization of a claim against the Spill Fund within the meaning of N.J.S.A. 58: k. or N.J.A.C. 7:1J. 24. The Plaintiffs enter into this Consent Decree pursuant to the police powers of the State of New Jersey for the enforcement of the laws of the State and the protection of the public health and safety and the environment. All obligations imposed upon the Settling Defendants by this Consent Decree are continuing regulatory obligations pursuant to the police powers of the State of New Jersey. 25. No payment owed or made pursuant to this Consent Decree is intended to constitute a debt, damage claim, penalty or other claim that may be limited or discharged in a bankruptcy proceeding. 26. This Consent Decree shall be governed and interpreted under the laws of the State of New Jersey. 27. If any provision of this Consent Decree or the application thereof to any person or circumstance, to any extent, be invalid or unenforceable, the remainder of this Consent Decree or the application of such provision to persons or circumstances other than those as to which it is held invalid or unenforceable, shall not be affected thereby and each 19

20 provision of this Consent Decree shall be valid and enforced to the fullest extent permitted by law. XII. EFFECTIVE DATE 28. The effective date of this Consent Decree shall be the date upon which this Consent Decree is entered by the Court. XIII. RETENTION OF JURISDICTION 29. This Court retains jurisdiction over both the subject matter of this Consent Decree and the Parties for the duration of the performance of the terms and provisions of this Consent Decree for the purpose of enabling any of the Parties to apply to the Court at any time for such further order, direction, and relief as may be necessary or appropriate for the construction or modification of this Consent Decree, or to effectuate or enforce compliance with its terms. XIV. COOPERATION AND DOCUMENT RETENTION 30. The Settling Defendants agree to make current and former employees available for interviews and to testify at or prior to trial without the need to serve subpoenas so long as Plaintiffs pay the costs of such employees travel for the purpose of providing testimony. The Settling Defendants further 20

21 agree to provide documents in response to reasonable requests by Plaintiffs without requiring the use of a subpoena. 31. The Settling Defendants shall preserve so long as this case is pending in the S.D.N.Y., the United States District Court for the District of New Jersey, the state courts of New Jersey, or on appeal in the federal or state courts, all data and information, including technical records, potential evidentiary documentation and contractual documents, in the Settling Defendants possession or in the possession of their parent companies, subsidiary companies, successors, divisions, past and present officers, directors, employees, agents, accountants, contractors, or attorneys, which in any way concern the issues raised by the Complaint. However, Settling Defendants may discard back-up tapes that contain relevant information duplicated in other materials to be preserved pursuant to this Consent Decree. XV. MODIFICATION 32. This Consent Decree may only be modified by written agreement between the Parties approved by the Court. 33. Nothing in this Consent Decree shall be deemed to alter the Court's power to enforce, supervise or approve modifications to this Consent Decree. 21

22 XVI. ENTRY OF THIS CONSENT DECREE 34. The Settling Defendants consent to the entry of this Consent Decree without further notice after the comment period specified in Paragraphs 19 and 20 above. 35. Upon conclusion of the Plaintiffs review of any public comment received as a result of the notice described in Paragraphs 19 and 20 above, the Plaintiffs shall promptly submit this Consent Decree to the Court for entry. 36. If for any reason the Court should decline to approve this Consent Decree in the form presented, this agreement is voidable at the sole discretion of any Party and the terms of the agreement may not be used as evidence in any litigation among the Parties or third parties. 37. Within thirty days of the Plaintiffs receipt of payment as set forth in Section V above, Plaintiffs shall request that the Court dismiss this action as to the Settling Defendants with prejudice pursuant to Fed. R. Civ. P. 41(a)(2). XVII. SIGNATORIES/SERVICE 38. Each undersigned representative of a Party to this Consent Decree certifies that he or she is authorized to enter into the terms and conditions of this Consent Decree, and to execute and legally bind such Party to this Consent Decree. 22

23 39. This Consent Decree may be signed and dated in any number of counterparts, each of which shall be an original, and such counterparts shall together be one and the same Consent Decree. 40. Settling Defendants shall identify on the attached signature pages, the name, address and telephone number of an agent who is authorized to accept service of process by mail on their behalf with respect to all matters arising under or relating to this Consent Decree. The Settling Defendants agree to accept service in this manner, and to waive the formal service requirements set forth in R. 4:4-4, including service of a summons. 41. The Parties to this Consent Decree agree that it was negotiated fairly between them at arms' length and that the final terms of this Consent Decree shall be deemed to have been jointly and equally drafted by them, and that the provisions of this Consent Decree therefore should not be construed against a Party to it on the grounds that the Party drafted or was more responsible for drafting the provision(s). SO ORDERED this day of,. 23 Shira A. Scheindlin, U.S.D.J.

24 NEW JERSEY DEPARTMENT OF ENVIRONMENTAL PROTECTION By: Anthony J. Farro, Director Publicly Funded Site Remediation Site Remediation Program Dated: Dated: By: Rich Boornazian, Assistant Commissioner Natural & Historic Resources NEW JERSEY SPILL COMPENSATION FUND Dated: By: Anthony J. Farro, Administrator New Jersey Spill Compensation Fund Jeffrey S. Chiesa, Attorney General of New Jersey Attorney for Plaintiffs Dated: By: Gwen Farley Deputy Attorney General 24

25 Marathon Oil Corporation By: Sylvia Kerrigan Vice President and General Counsel Dated: Person or Entity Authorized to Accept Service on Behalf of Marathon Oil Corporation: CT Corporation System 350 North St. Paul Street Suite 2900 Dallas, TX

26 Marathon Petroleum Company LP By: Gary Heminger, MPC Investment LLC President and Chief Executive Officer Dated: Person or Entity Authorized to Accept Service on Behalf of Marathon Petroleum Company LP: CT Corporation System 1300 East Ninth Street Cleveland, OH

27 APPENDIX A 27

28 No PETRILLIS MOBIL SERVICE STATION 1444 STUYVESANT AVE UNION TWP UNION BP SERVICE STATION # STUYVESANT AVE UNION TWP UNION RED DEVIL INC 2400 VAUXHALL RD UNION TWP UNION SUNOCO SERVICE STATION # VAUXHALL RD UNION TWP UNION DOUBLE D SERVICE CO INC 2674 MORRIS AVE UNION TWP UNION BP SERVICE STATION # GALLOPING HILL RD & CHESTNUT ST UNION TWP UNION GETTY SERVICE STATION #57712 GARDEN STATE PKWY MM UNION TWP UNION BP SERVICE STATION # RT 22 UNION TWP UNION BASF CATALYSTS CORP 2655 RT 22 W UNION TWP UNION FUEL STOP SERVICE STATION RT 22 UNION TWP UNION EXXON SERVICE STATION # RT 22 & SAYRE RD UNION TWP UNION SHELL SERVICE STATION # MORRIS AVE & BURNETT AVE UNION TWP UNION BP SERVICE STATION # MEISEL AVE & MORRIS AVE SPRINGFIELD TWP UNION EXXON SERVICE STATION # CENTRAL AVE B&M AUTO CARE INC WESTFIELD TOWN UNION ROMEOS GULF SERVICE STATION # CENTRAL AVE & ROSS PL WESTFIELD TOWN UNION C&G GULF SERVICE STATION # CENTRAL AVE & GROVE ST WESTFIELD TOWN UNION UNION CNTY DPW COMPLEX POLICE HDQTRS & FORENSIC LAB 300 NORTH AVE WESTFIELD TOWN UNION BP SERVICE STATION # SOUTH AVE WESTFIELD TOWN UNION SCOTT AINSWIRTH SCHOOL BUS SERVICE WATER ST & HOWELL ST BELVIDERE TOWN WARREN BLAIRSTOWN SUNOCO SERVICE STATION 59 RT 94 BLAIRSTOWN TWP WARREN MAIN STREET SUNOCO SERVICE STATION 104 MAIN ST HACKETTSTOWN TOWN WARREN SHELL SERVICE STATION # MILL ST & MOUNTAN AVE HACKETTSTOWN TOWN WARREN HARMONY HARDWARE 2527 BELVIDERE RD HARMONY TWP WARREN LIGUORIS SUNOCO SERVICE STATION 423 HOPE BLAIRSTOWN RD AKA RT 521 HOPE TWP WARREN HOPE AUTO CARE GARAGE 424 GREAT MEADOWS RD AKA RT 611 HOPE TWP WARREN SHELL SERVICE STATION # RT 517 & OLD ALLAMUCHY RD INDEPENDENCE TWP WARREN TRAVEL CENTERS OF AMERICA I 80 & RT 94 KNOWLTON TWP WARREN NJDOT HACKETTSTOWN MAINTENANCE YARD RT 46 & HILL ST INDEPENDENCE TWP WARREN GETTY SERVICE STATION # BELVIDERE RD LOPATCONG TWP WARREN GASCO USA CO INC SERVICE STATION RT 31 N & KENT ST OXFORD TWP WARREN EXXON SERVICE STATION # MEMORIAL PKWY PHILLIPSBURG TOWN WARREN EXPRESS FUEL CLARK SERVICE STATION 168 S MAIN ST PHILLIPSBURG TOWN WARREN BRITTONE TIRE & SERVICE STATION 474 CENTER ST & GREEN ST LOPATCONG TWP WARREN GETTY SERVICE STATION # E WASHINGTON AVE & RT 31 & 57 WASHINGTON BORO WARREN CANDY APPLE AUTO BODY 176 JEFFERSON ST WASHINGTON BORO WARREN CARLS SERVICE STATION 1276 STUYVESANT AVE UNION TWP UNION EXXON SERVICE STATION # SPRINGFIELD AVE & VAUX HALL RD UNION TWP UNION SHELL SERVICE STATION # STUYVESANT AVE & STANLEY TER UNION TWP UNION BP SERVICE STATION # SPRINGFIELD AVE UNION TWP UNION LUKOIL SERVICE STATION # SPRINGFIELD AVE & VAUXHALL RD UNION TWP UNION SHELL SERVICE STATION # RT 22 & SPRINGFIELD AVE UNION TWP UNION RACEWAY SERVICE STATION # RT 22 UNION TWP UNION AMERADA HESS SERVICE STATION # RT 22 UNION TWP UNION PETER A DROBACH CO 2240 RT 22 UNION TWP UNION K KALUSTYAN ORIENT EXPERT CORP 855 RAHWAY AVE UNION TWP UNION AMERICAN PRODUCTS CO INC 610 RAHWAY AVE UNION TWP UNION UNION TWP BD OF ED ADMIN BUILDING & GARAGE 2369 MORRIS AVE UNION TWP UNION TOMS GULF SERVICE STATION # MAGIE AVE & GALLOPING UNION TWP UNION DELTA SERVICE STATION 437 LEHIGH AVE UNION TWP UNION Page 1 of 106

29 No CHEVRON OIL CO 12 GELB AVE UNION TWP UNION SHELL SERVICE STATION # CHESTNUT ST & COLONIAL AVE UNION TWP UNION EXXON SERVICE STATION # ASHWOOD AVE CHARLES MITCHELLI SUMMIT CITY UNION SHELL SERVICE STATION # RIVER RD & PASSAIC SUMMIT CITY UNION GETTY SERVICE STATION # RIVER RD SUMMIT CITY UNION SHELL SERVICE STATION # MORRIS AVE 336 SUMMIT AVE SUMMIT CITY UNION SHELL SERVICE STATION # MOUNTAIN AVE & SPRINGFIELD AVE SPRINGFIELD TWP UNION EXXON SERVICE STATION # CALDWELL PL & MORRIS AVE SPRINGFIELD TWP UNION SHELL SERVICE STATION # RT 22 E & SCOTLAND ST SCOTCH PLAINS TWP UNION BLUE STAR EXXON SERVICE STATION # RT 22 & GLENSIDE AVE SCOTCH PLAINS TWP UNION BENDIX GULF SERVICE STATION # RT 22 & MOUNTAIN AVE SCOTCH PLAINS TWP UNION MOBIL SERVICE STATION # NORTH AVE SCOTCH PLAINS TWP UNION CUMBERLAND FARMS GULF SERVICE STATION # NORTH AVE SCOTCH PLAINS TWP UNION EXXON SERVICE STATION # W 1ST AVE ROSELLE BORO UNION GETTY SERVICE STATION # W 1ST AVE & LOCUST ST ROSELLE BORO UNION PERROTTI BROTHERS VALERO SERVICE STATION 105 CHESTNUT ST & ST GEORGES AVE ROSELLE BORO UNION GETTY SERVICE STATION # RT 1/9 & GRAND AVE RAHWAY CITY UNION BP SERVICE STATION # ST GEORGES AVE RAHWAY CITY UNION GETTY SERVICE STATION # ST GEORGES AVE & W INMAN AVE RAHWAY CITY UNION RAHWAY CITY 1045 WESTFIELD AVE RAHWAY CITY UNION GETTY SERVICE STATION # RT 1/9 RAHWAY CITY UNION B&G AUTOMOTIVE 149 REGINA AVE RAHWAY CITY UNION GOLDEN AGE TOWERS INC E MILTON AVE RAHWAY CITY UNION EXXON SERVICE STATION # ST GEORGES AVE & CHESTNUT ST ROSELLE BORO UNION BP SERVICE STATION # TERRILL RD PLAINFIELD CITY UNION FABLOK MILLS INC 140 SPRING ST & FLORAL AVE NEW PROVIDENCE BORO UNION NEW PROVIDENCE FUEL SERVICE STATION 50 SOUTH ST HPM NEW PROVIDENCE AUTO REPAIR NEW PROVIDENCE BORO UNION POTTERS CORNER 1682 SPRINGFIELD AVE NEW PROVIDENCE BORO UNION BILLS CITGO SERVICE STATION 1789 SPRINGFIELD AVE NEW PROVIDENCE BORO UNION BP SERVICE STATION # RT 22 MOUNTAINSIDE BORO UNION FISCHBACH CORP 675 CENTRAL AVE NEW PROVIDENCE BORO UNION DELTA SERVICE STATION 2 W ST GEORGES AVE LINDEN CITY UNION BP SERVICE STATION # E ST GEORGES AVE LINDEN CITY UNION SONOL GAS SERVICE STATION 801 W ELIZABETH AVE LINDEN CITY UNION COLORCO INC 1261 W ELIZABETH AVE LINDEN CITY UNION LINDEN BULK TRANSPORTATION CO 4200 TREMLEY POINT RD LINDEN CITY UNION CONOCO PHILLIPS CO REFINERY 1400 PARK AVE LINDEN CITY UNION NEW PROVIDENCE BORO DPW COMPLEX WWTP 10 PARK PL NEW PROVIDENCE BORO UNION VALERO LINDEN TERMINAL 3700 S WOOD AVE LINDEN CITY UNION EXXON SERVICE STATION # W ST GEORGES AVE LINDEN CITY UNION EXXON SERVICE STATION # MORRIS AVE & BURNET AVE UNION TWP UNION SQUIRE CORRUGATED CONTAINER CORP 1500 LOWER RD LINDEN CITY UNION HETEM BROTHERS INC 601 COMMERCE RD LINDEN CITY UNION SHELL SERVICE STATION # GALLOPING HILL RD & 31ST ST KENILWORTH BORO UNION CONSOLIDATED STEEL & ALUMINUM 316 N 12TH ST KENILWORTH BORO UNION DABB & DABB TEXACO SERVICE STATION 430 RT 22 & BLOY ST HILLSIDE TWP UNION BP SERVICE STATION # RT 22 HILLSIDE TWP UNION APACHE BUILDING PRODUCTS CO 2025 E LINDEN AVE LINDEN CITY UNION HESS SERVICE STATION # NORTH AVE GARWOOD BORO UNION Page 2 of 106

30 No OMEGA GAS SERVICE STATION 59 S MARTINE AVE FANWOOD BORO UNION UNIVERSAL MARITIME SERVICE CORP 5080 MCLESTER ST & TRIPOLI ST ELIZABETH CITY UNION LUKOIL SERVICE STATION # S BROAD ST ELIZABETH CITY UNION BP SERVICE STATION # LIBERTY AVE HILLSIDE TWP UNION PINE STREET AMOCO SERVICE STATION 232 3RD ST & PINE ST ELIZABETH CITY UNION EXXON SERVICE STATION # RD AVE ELIZABETH CITY UNION EXXON SERVICE STATION # WESTFIELD AVE & ELMORA AVE ELIZABETH CITY UNION RV STATIONS INC SERVICE STATION 489 SPRING ST ELIZABETH CITY UNION SHELL SERVICE STATION # SPRING ST & FAIRMOUNT AVE ELIZABETH CITY UNION HESS SERVICE STATION # SPRING ST ELIZABETH CITY UNION EXXON SERVICE STATION # SPRING ST & RT 1/9 ELIZABETH CITY UNION GETTY SERVICE STATION # SPRING ST ELIZABETH CITY UNION SHELL SERVICE STATION # RAHWAY AVE & ELMORA AVE ELIZABETH CITY UNION BP SERVICE STATION # S ELMORA AVE ELIZABETH CITY UNION BOB & RICHIES SUNOCO SERVICE STATION NEWARK AVE ELIZABETH CITY UNION SIERRA EXXON SERVICE STATION # ELIZABETH AVE & 5TH AVE ELIZABETH CITY UNION SHELL SERVICE STATION # ELIZABETH AVE & SCOTT ELIZABETH CITY UNION SUNOCO SERVICE STATION 300 ELIZABETH AVE ELIZABETH CITY UNION BP SERVICE STATION # BAYWAY AVE ELIZABETH CITY UNION SHELL SERVICE STATION # BAYWAY CIR ELIZABETH CITY UNION GRECOS GARAGE INC 301 E SOUTH AVE CRANFORD TWP UNION ELIZABETH AUTO & TRUCK INC 600 BOND ST ELIZABETH CITY UNION SUNOCO SERVICE STATION # LINCOLN AVE & SOUTH AVE W CRANFORD TWP UNION GETTY SERVICE STATION # W SOUTH AVE CRANFORD TWP UNION SHELL SERVICE STATION # RARITAN RD & COLIN KELLY ST CRANFORD TWP UNION TEXACO SERVICE STATION # RARITAN RD & WALNUT AVE CRANFORD TWP UNION SUNOCO SERVICE STATION # NORTH AVE & ELIZABETH AVE CRANFORD TWP UNION SHELL SERVICE STATION # NORTH AVE & ELIZABETH AVE CRANFORD TWP UNION AMOCO SERVICE STATION # CENTENNIAL AVE CRANFORD TWP UNION EXXON SERVICE STATION # RARITAN RD CLARK TWP UNION CLARK CITGO SERVICE STATION 104 WESTFIELD AVE CLARK TWP UNION LOREAL USA TERMINAL AVE IND PK TERMINAL AVE AKA LOREAL WAY CLARK TWP UNION GETTY SERVICE STATION # RARITAN RD & CENTRAL AVE CLARK TWP UNION EXXON SERVICE STATION # RARITAN RD & CENTRAL AVE CLARK TWP UNION GETTY SERVICE STATION # SPRINGFIELD AVE BERKELEY HEIGHTS TWP UNION EXXON SERVICE STATION # SPRINGFIELD AVE JAYS BERKELEY HEIGHTS EXXON BERKELEY HEIGHTS TWP UNION GETTY SERVICE STATION # PLAINFIELD AVE & SPRINGFIELD AVE BERKELEY HEIGHTS TWP UNION LUKOIL SERVICE STATION # RT 23 & RT 565 WANTAGE TWP SUSSEX MCAFEE TEXACO SERVICE STATION RT 94 N & 517 S VERNON TWP SUSSEX GAS GO GULF SERVICE STATION 259 RT 94 VERNON TWP SUSSEX BALDWIN ENTERPRISES INC 5 OMEGA DR VERNON TWP SUSSEX GPMI LUKOIL SERVICE STATION # RT 94 & RT 515 VERNON TWP SUSSEX EXXON SERVICE STATION # BANK ST SUSSEX BORO SUSSEX SUSSEX AUTO REPAIR INC # MAIN ST SUSSEX BORO SUSSEX AMERADA HESS SERVICE STATION #30267 RT 206 STANHOPE BORO SUSSEX HESS SERVICE STATION # N WATER ST RT 94 & 206 NEWTON TOWN SUSSEX US OIL SERVICE STATION 65 SPARTA AVE NEWTON TOWN SUSSEX NEWTON GULF SERVICE STATION # WOODSIDE AVE NEWTON TOWN SUSSEX BGB NEWTON SERVICE STATION 86 MILL ST NEWTON TOWN SUSSEX Page 3 of 106

31 No CUMBERLAND FARMS GULF SERVICE STATION TRI STATE MALL 912 RT 23 MONTAGUE TWP SUSSEX GETTY SERVICE STATION # RT 206 MONTAGUE TWP SUSSEX MONTAGUE CITGO SERVICE STATION & FOOD BAG 6 14 RT 23 & CLOVE RD MONTAGUE TWP SUSSEX GRINNELL ENTERPRISES INC 482 HOUSES CORNERS RD SPARTA TWP SUSSEX SPARTA TWP MUNICIPAL BUILDING 65 MAIN ST TOWN HALL SPARTA TWP SUSSEX SHELL SERVICE STATION # HOPATCONG RD & SHARP AVE HOPATCONG BORO SUSSEX HOPATCONG AUTO SERVICE 450 RIVER STYX RD HOPATCONG BORO SUSSEX SPARTAN HIGHTSTOWN SERVICE STATION RT 94 & N CHURCH RD HARDYSTON TWP SUSSEX GETTY SERVICE STATION # RT 23 HARDYSTON TWP SUSSEX GETTY SERVICE STATION # RT 23 N HAMBURG BORO SUSSEX EXXON SERVICE STATION # WOODPORT RD AKA RT 181 SPARTA TWP SUSSEX TRINCA AIRPORT AIRPORT RD AKA RT 603 GREEN TWP SUSSEX HESS SERVICE STATION # RT 23 FRANKLIN BORO SUSSEX LUKOIL SERVICE STATION # FRANKLIN AVE & RT 23 FRANKLIN BORO SUSSEX FRANKLIN TEXACO SERVICE STATION 425 RT 23 FRANKLIN BORO SUSSEX FRANKLIN SPARTAN SERVICE STATION 460 RT 23 FRANKLIN BORO SUSSEX BYRAM SHELL SERVICE STATION # RT 206 & WATERLOO RD BYRAM TWP SUSSEX EXXON SERVICE STATION ROSS CORNER 77 RT 206 & RT 15 FRANKFORD TWP SUSSEX EXXON SERVICE STATION # RT 206 & ACORN ST BYRAM TWP SUSSEX SELECTIVE INSURANCE CO OF AMERICA 40 WANTAGE AVE BRANCHVILLE BORO SUSSEX GETTY SERVICE STATION # RT 22 & MOUNTAIN AVE WATCHUNG BORO SOMERSET KIMBER BETHEL SERVICE STATION 171 MT BETHEL RD WARREN TWP SOMERSET WARREN CAR CARE CENTER INC # STIRLING RD WARREN TWP SOMERSET DELTA SERVICE STATION 2 MT BETHEL RD WARREN TWP SOMERSET EXXON SERVICE STATION # RT 202 BRANCHBURG TWP SOMERSET LUKOIL SERVICE STATION # RT 22 & DAVENPORT ST SOMERVILLE BORO SOMERSET SOMERVILLE GETTY SERVICE STATION # W END AVE SOMERVILLE BORO SOMERSET SHELL SERVICE STATION # RT 22 & MERCER ST SOMERVILLE BORO SOMERSET SOMERVILLE DODGE INC 1050 RT 22 SOMERVILLE BORO SOMERSET SOMERVILLE SERVICE STATION 131 N GASTON AVE & WILLIAM ST SOMERVILLE BORO SOMERSET EXXON SERVICE STATION # SOMERSET ST & RT 206 SOMERVILLE BORO SOMERSET HESS SERVICE STATION # RT 202/206 SOMERVILLE BORO SOMERSET SOMERVILLE GULF SERVICE STATION # MOUNTAIN AVE & W END AVE SOMERVILLE BORO SOMERSET SUNOCO SERVICE STATION # RT 22 SOMERVILLE BORO SOMERSET GETTY SERVICE STATION # SOMERSET ST WATCHUNG BORO SOMERSET TORRS VALERO SERVICE STATION 15 STIRLING RD WATCHUNG BORO SOMERSET AMOCO SERVICE STATION # E MAIN ST & PARK AVE SOMERVILLE BORO SOMERSET RARITAN MOBIL SERVICE STATION RPC # ST AVE & RT 202 RARITAN BORO SOMERSET MK GASOLINE INC 925 RT 22 NORTH PLAINFIELD BORO SOMERSET ETTMANS EXXON SERVICE STATION # RT 22 NORTH PLAINFIELD BORO SOMERSET EXXON SERVICE STATION # RT 22 NORTH PLAINFIELD BORO SOMERSET GETTY SERVICE STATION #00665 FORMER 1292 RT 22 NORTH PLAINFIELD BORO SOMERSET SHELL SERVICE STATION # WATCHUNG AVE & RT 22 NORTH PLAINFIELD BORO SOMERSET SUNOCO SERVICE STATION # SOMERSET ST & GRANDVIEW AVE NORTH PLAINFIELD BORO SOMERSET SOMERSET GLOBAL SERVICE STATION 421 SOMERSET ST & GREENBROOK RD NORTH PLAINFIELD BORO SOMERSET GETTY SERVICE STATION # GREENBROOK RD & GROVE ST NORTH PLAINFIELD BORO SOMERSET GETTY SERVICE STATION # AMWELL RD & MAIN ST MILLSTONE BORO SOMERSET WESTON SERVICE CENTER INC 710 S MAIN ST MANVILLE BORO SOMERSET Page 4 of 106

32 No TEXACO SERVICE STATION # RT 206 & PARK AVE HILLSBOROUGH TWP SOMERSET BP SERVICE STATION # RT 206 HILLSBOROUGH TWP SOMERSET CJ KUPPER AIRPORT MILLSTONE RIVER RD C J KUPPER AIRPORT HILLSBOROUGH TWP SOMERSET AMOCO SERVICE STATION # RT 22 & WARRENVILLE RD GREEN BROOK TWP SOMERSET EXXON SERVICE STATION # RT 22 & WARRENVILLE RD GREEN BROOK TWP SOMERSET TEXACO SERVICE STATION # RT 22 W GREEN BROOK TWP SOMERSET SICORA MOTORS EXXON SERVICE STATION # SOMERSET ST AKA RT 27 FRANKLIN TWP SOMERSET GETTY SERVICE STATION # SOMERSET ST AKA RT 27 FRANKLIN TWP SOMERSET RACEWAY SERVICE STATION 2893 RT 27 FRANKLIN TWP SOMERSET SUNOCO SERVICE STATION # LINCOLN HWY SOUTH BRUNSWICK TWP MIDDLESEX RESTAS MOBIL SERVICE STATION 1873 AMWELL RD FRANKLIN TWP SOMERSET GETTY SERVICE STATION # RT 27 & VERONICA AVE FRANKLIN TWP SOMERSET DELTA SERVICE STATION 882 HAMILTON ST & MILLSTONE AVE FRANKLIN TWP SOMERSET COASTAL OIL CO SERVICE STATION 1376 HAMILTON ST FRANKLIN TWP SOMERSET ACADEMY AUTO & TRUCK CENTER & SERVICE STATION 541 HAMILTON ST FRANKLIN TWP SOMERSET SOMERSET BP SERVICE STATION 803 HAMILTON ST FRANKLIN TWP SOMERSET EXXON SERVICE STATION # EASTON AVE FRANKLIN TWP SOMERSET KIMBER PETROLEUM CORP 1770 EASTON AVE FRANKLIN TWP SOMERSET EXXON SERVICE STATION # FRANKLIN BLVD FRANKLIN TWP SOMERSET EXXON SERVICE STATION #34159 RT 22 & THOMPSON AVE BRIDGEWATER TWP SOMERSET NJDOT BRIDGEWATER MAINTENANCE FACILITY 505 RT 202/206 & I 287 BRIDGEWATER TWP SOMERSET DENSONS AUTO REPAIR INC 1972 WASHINGTON VALLEY RD BRIDGEWATER TWP SOMERSET EXXON SERVICE STATION # WASHINGTON VALLEY RD BRIDGEWATER TWP SOMERSET MCFARLANDS PITSTOP N WASH SERVICE STATION 555 W UNION AVE BRIDGEWATER TWP SOMERSET BP SERVICE STATION # RT 22 & ADAMSVILLE RD BRIDGEWATER TWP SOMERSET AMERADA HESS SERVICE STATION #30320 RT 22 W BRIDGEWATER TWP SOMERSET SHOPLOCK SUNOCO SERVICE STATION 954 RT 202 BRANCHBURG TWP SOMERSET ALAN & SON CAR CARE CENTER 988 RT 202 BRANCHBURG TWP SOMERSET RACEWAY SERVICE STATION BRANCHBURG 1004 RT 202 BRANCHBURG TWP SOMERSET SAFETY KLEEN CORP # E MAIN ST BOUND BROOK BORO SOMERSET FOOTHILLS SERVICE STATION INC 300 TALMAGE AVE & VASELLER AVE BOUND BROOK BORO SOMERSET ROYAL CHEVROLET INC 476 W UNION AVE BOUND BROOK BORO SOMERSET BRANCHBURG COASTAL SERVICE STATION 977 RT 202 BRANCHBURG TWP SOMERSET MOBIL SERVICE STATION #15DJ6 RT 28 & TEA ST BOUND BROOK BORO SOMERSET BP SERVICE STATION #3249 RT 202 & CHILDS RD BERNARDSVILLE BORO SOMERSET TRI CORNER EXXON SERVICE STATION 1 CHURCH ST BERNARDS TWP SOMERSET TEXACO SERVICE STATION # MORRISTOWN RD AKA RT 202& CHURCH ST BERNARDSVILLE BORO SOMERSET LUKOIL SERVICE STATION # MADISONVILLE RD & BROOKSIDE RD BERNARDS TWP SOMERSET VERIZON CORPORATE SERVICES GROUP INC 295 N MAPLE AVE AKA 1 VERIZON WAY BERNARDS TWP SOMERSET KIMBER PETROLEUM 78 AMOCO SERVICE STATION I 78 & MARTINSVILLE RD BERNARDS TWP SOMERSET NJDOT BEDMINSTER MAINTENANCE YARD 455 RT 202/206 BEDMINSTER TWP SOMERSET SHELL SERVICE STATION # RT 206 & LAMINGTON RD BEDMINSTER TWP SOMERSET EXXON SERVICE STATION #33480 RT 202/206 & WASHINGTON VALLEY RD BEDMINSTER TWP SOMERSET PLUCKEMIN GULF SERVICE STATION # RT 202/206 BOX 206 BEDMINSTER TWP SOMERSET HESS SERVICE STATION #30247 RT 45 & HARDING HWY AKA RT 45 & 40 PILESGROVE TWP SALEM MOBIL SERVICE STATION #15EB2 N MAIN ST & EAST AVE AKA RT 40 & 45 WOODSTOWN BORO SALEM WOODSTOWN AMOCO SERVICE STATION 90 WEST AVE & GREEN ST WOODSTOWN BORO SALEM PILOT TRAVEL CENTER # PENNSVILLE AUBURN RD CARNEYS POINT TWP SALEM LOU PAGNOTTOOS SERVICE STATION 251 SHELL RD CARNEYS POINT TWP SALEM Page 5 of 106

33 No SUNOCO SERVICE STATION # W BROADWAY RT 49 & 5TH ST SALEM CITY SALEM SUNOCO SERVICE STATION # HOOK RD & RT 49 PENNSVILLE TWP SALEM SUNOCO SERVICE STATION # HARDING HWY AKA RT 40 & E LAKE RD PILESGROVE TWP SALEM SUNOCO SERVICE STATION # S BROADWAY AKA RT 49 & MAHONEY RD PENNSVILLE TWP SALEM SUNOCO SERVICE STATION # S BROADWAY & PLANT ST PENNSVILLE TWP SALEM SUNOCO SERVICE STATION # S BROADWAY AKA RT 49 & 1ST ST PENNSVILLE TWP SALEM SUNOCO SERVICE STATION # MARKET ST & GRIFFITH ST SALEM CITY SALEM SUNOCO SERVICE STATION # RT 49 & YORK ST SALEM CITY SALEM SUNOCO SERVICE STATION # E BROADWAY & LINDEN ST SALEM CITY SALEM FRED HARZ & SON INC 26 HARDING HWY AKA RT 40 ELMER BORO SALEM SICO CO DIRECT SERVICE STATION # LANDIS AVE & GERSHAL AVE PITTSGROVE TWP SALEM PENNS GROVE SHELL SERVICE STATION 135 E MAIN ST & N VIRGINIA AVE PENNS GROVE BORO SALEM NJ TURNPIKE AUTH CLARA BARTON SERVICE AREA #1S NEW JERSEY TPKE MM 5.4 S OLDMANS TWP SALEM JOE & SANDIS COUNTRY STORE 986 MAIN ST CANTON LOWER ALLOWAYS CREEK TWP SALEM SUNOCO SERVICE STATION # CHESTNUT ST AKA RT 40 & MAIN ST ELMER BORO SALEM MOBIL SERVICE STATION # SQUIRRELWOOD RD I 80 & ROCKLAND AVE WOODLAND PARK BORO PASSAIC D&A SERVICE STATION FORMER GETTY SERVICE STATION # MCBRIDE AVE WOODLAND PARK BORO PASSAIC GETTY SERVICE STATION # RT 23 WEST MILFORD TWP PASSAIC TOBYS SERVICE STATION 555 WARWICK TPKE WEST MILFORD TWP PASSAIC GETTY SERVICE STATION # UNION VALLEY RD WEST MILFORD TWP PASSAIC A TO Z AUTOMOTIVE REPAIR CENTER 1692 UNION VALLEY RD WEST MILFORD TWP PASSAIC GETTY SERVICE STATION # UNION VALLEY RD WEST MILFORD TWP PASSAIC HEWITT EXXON SERVICE STATION # LAKESIDE RD WEST MILFORD TWP PASSAIC R&S STRAUSS # RT 23 WAYNE TWP PASSAIC EXXON SERVICE STATION # RT 23 WAYNE TWP PASSAIC EXXON SERVICE STATION # RT 23 WAYNE TWP PASSAIC EXXON SERVICE STATION # RT 23 & PACKANACK LK RD WAYNE TWP PASSAIC JASPER CLEANERS 689 PATERSON HAMBURG TPKE WAYNE TWP PASSAIC GETTY SERVICE STATION # RT 23 & NEW YORK AVE WAYNE TWP PASSAIC GETTY SERVICE STATION # PATERSON HAMBURG TPKE WAYNE TWP PASSAIC ENTENMANNS BAKERY 24 NEWARK POMPTON TPKE WAYNE TWP PASSAIC EXXON SERVICE STATION # PATERSON HAMBURG TPKE WAYNE TWP PASSAIC CITGO SERVICE STATION 263 VALLEY RD WAYNE TWP PASSAIC SHELL SERVICE STATION # RT 23 & NEW YORK AVE WAYNE TWP PASSAIC WAYNE SERVICE STATION 1750 PATERSON HAMBURG TPKE WAYNE TWP PASSAIC AUTOMOTIVE SERVICES INC 2075 PATERSON HAMBURG TPKE WAYNE TWP PASSAIC EDDIES AUTO SERVICE 2176 PATERSON HAMBURG TPKE WAYNE TWP PASSAIC MASTERCRAFT AUTO BODY 34 BURGESS PL WAYNE TWP PASSAIC EXXON SERVICE STATION # ALPS RD & PATERSON HAMBURG TPKE WAYNE TWP PASSAIC EXXON SERVICE STATION # ALPS RD & FRENCH HILL RD WAYNE TWP PASSAIC SHELL SERVICE STATION # ALPS RD WAYNE TWP PASSAIC SKYLINE SERVICE CENTER INC 236 SKYLINE DR RINGWOOD BORO PASSAIC EXXON SERVICE STATION # SKYLINE DR RINGWOOD BORO PASSAIC LUKOIL SERVICE STATION # SKYLINE DR RINGWOOD BORO PASSAIC GETTY SERVICE STATION # N 8TH ST PROSPECT PARK BORO PASSAIC RINGWOOD GULF SERVICE STATION # GREENWOOD LAKE TPKE RINGWOOD BORO PASSAIC GETTY SERVICE STATION # PATERSON HAMBURG TPKE POMPTON LAKES BORO PASSAIC BARRYS CITGO SERVICE CENTER RINGWOOD AVE POMPTON LAKES BORO PASSAIC Page 6 of 106

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