In State v. North Beach 1003, LLC, 451 N.J. Super. 214, 223 (App. Div. 2017), this court held that the Department of Environmental Protection (DEP) had the authority to "condemn private property to take perpetual easements for shore protection purposes" as part of the Manasquan Inlet to Barnegat Inlet Hurricane and Storm Damage Reduction Project to reduce flooding in the aftermath of Superstorm Sandy. This court also held that "easements that allow for publicly funded beach protection projects can include public access and use." However, this court expressly did not extend its holding to properties that were protected from flooding by an existing revetment.
In these sixty-seven consolidated condemnation appeals, this court affirmed the trial judge's final judgments upholding DEP's taking of permanent easements where the properties were protected by the revetment. This court agreed with the trial judge's conclusions that DEP properly determined that the revetment provided insufficient protection, and that the taking was not the product of fraud, bad faith, or manifest abuse of power.