Associated Humane Societies Fights to Kill or Dump Five Dogs

In early 2016, the Monmouth County SPCA investigated an Aberdeen Township resident’s dogs. During the Monmouth County SPCA’s inspection, the investigator noted the owner’s dogs were housed in a garage and outside. Additionally, the inspector stated the animals were in good health, had appropriate housing, but lacked access to readily available water. According to the owner, she only kept the dogs outside for a few hours and understood the inspector’s warning that the dogs must have water available when outside. On the same day, the inspector determined that the owner’s dogs were not licensed.

Subsequently, the Monmouth County SPCA notified Associated Humane Societies-Tinton Falls, which serves as Aberdeen Township’s animal control and sheltering organization, that the owner had unlicensed dogs. Shortly after, one of the resident’s dogs contracted rabies and bit several people. AHS-Tinton Falls then impounded the five other dogs living at the residence due to their potential exposure to rabies.

Aberdeen Township and the Monmouth County Health Department conflicted over the fate of these five dogs. Initially, the Monmouth County Health Department allowed the owners of the five dogs, Kim Rogers, to confine the dogs on her property for a six months rabies quarantine period based on the New Jersey Department of Health’s December 2014 guidelines for dogs exposed to a rabid animal without visible bites. In a sharply worded letter sent on February 8, 2016, Aberdeen Township objected and demanded the Monmouth County Health Department order the killing of these five healthy dogs.

Associated Humane Societies Seeks to Kill or Dump the Five Dogs

On the day after Aberdeen Township sought to kill the five dogs, AHS-Tinton Falls General Manager, Veronica Ehrenspeck, sent an email to AHS Executive Director, Roseann Trezza, and former AHS Assistant Executive Director, Scott Crawford. Ms. Ehrenspeck stated the Monmouth County Health Department preferred to have AHS-Tinton Falls confine the dogs for the six month rabies quarantine period and then return the dogs to the owner rather than immediately kill the dogs due to potential backlash from “animal activists.” She went on to state Monmouth County would pay all boarding costs. Despite this generous offer, Ms Eherenspeck claimed AHS would incur costs related to rabies vaccines, medical care, and housing. She also expressed concerns about AHS staff, other animals, and the public being exposed to dogs that may potentially develop rabies. Finally, Ms. Ehrenspect seemed to insinuate killing was the only option when she said “I don’t know any boarding facilities or towns that would want this exposure in their backyard.” Veronica Ehrenspeck Email Part 1

Veronica Ehrenspeck Email Part 2

Within an hour after receiving the AHS-Tinton Falls General Manager’s email, Roseann Trezza fired off an email to New Jersey Department of Health Senior Public Health Veterinarian, Dr. Colin Campbell, to apparently seek assistance. While Ms. Trezza’s email is hard to understand, I interpret it to mean she’d rather kill the dogs than have the dogs go back to the owner, who she alleges is a “breeder”, after the dogs serve the six month quarantine period at her Tinton Falls shelter. Frankly, I find this deeply disturbing as a shelter director should not try to pit a state and county regulator of animal shelters against each other.

Roseann Trezza Email to Colin Campbell Pt 1

Roseann Trezza Email to Colin Campbell Pt 2

Dr. Colin Campbell responded the next day and told Ms. Trezza that they might prevent the owner from receiving the dogs back if the owner gets convicted for animal cruelty or operating an unlicensed kennel. However, Dr. Campbell correctly included Monmouth County Health Officer, Christopher Merkel, to keep him aware of this discussion.

Dr. Colin Campbell Response to Roseann Trezza Pt 1

Dr. Colin Campbell Response to Roseann Trezza Pt 2.jpg

On the very next day, Roseann Trezza forwarded a “rough draft” of a letter prepared by Scott Crawford to Dr. Colin Campbell, but not the Monmouth County Health Officer, arguing AHS-Tinton Falls should kill the dogs. In the rambling letter, Mr. Crawford stated returning the dogs to Kim Rogers was “taken off the table” after a meeting with AHS and the Monmouth County Health Department. Despite AHS achieving their goal of preventing the owner from getting her dog back, Mr. Crawford claimed the five dogs were too great a risk to AHS staff, other animals at their shelter and the general public. In fact, Scott Crawford argued no shelter should adopt out these dogs even after a six month quarantine period citing rabies risk based on unnamed studies. Thus, Mr. Crawford said he’d prefer to kill the five dogs.

Scott Crawford went on in the letter to demand the Monmouth County Health Department let him kick the dogs out of his facility. In the letter, Mr. Crawford acted as if he was doing the Monmouth County Health Department a favor by giving them a few extra days over a holiday weekend to find another facility to house the five dogs. To show just how good a guy he was, Mr. Crawford offered to kill the dogs since in his “professional opinion at one point or another in the near future, a portion of if not all of these dogs originated from Kim Rogers’ residence will be sheading the rabies virus due to the circumstances surrounding this case.”

On the very next day, AHS seemed to succeed in its fight to kill the Aberdeen Five dogs. The Monmouth County Board of Health sent a letter to Kim Rogers stating they would kill her dogs in 7 days unless she provided proof of ownership, such as dog licensing and/or registration, and either a rabies inoculation certificate or documentation from her veterinarian that the animals received care. Ms. Rogers ultimately could not comply with these demands.

Wayne Township Animal Shelter Saves the Aberdeen Five

Miraculously, the Monmouth County Board of Health found alternative placement for the five dogs two weeks later. On February 26, the Monmouth Board of Health ordered AHS-Tinton Falls to transfer the Aberdeen Five to Wayne Township Animal Shelter. Around a month later, the Monmouth County Board of Chosen Freeholders and Wayne Township reached an agreement where Monmouth County would pay $11,000 to Wayne Township to house the five dogs during the remainder of the six month quarantine period.

Wayne Township adopted out four of the five pit bull like dogs shortly after their quarantine period ended in August 2016. The shelter adopted out the following dogs:

  1. Tride Daddy, a three and half year old male, in September 2016
  2. Mamo Moo, a four year old female, in September 2016
  3. Baby Rosie, a nine month old female, in October 2016
  4. Jada, a four year old female, in January 2017

The fifth dog, Trigger, is currently up for adoption at the Wayne Township Animal Shelter. I’d encourage those looking for a dog to consider adopting Trigger.

Associated Humane Societies’ Reprehensible Actions

Scott Crawford’s argument that the five dogs posed a significant rabies risk to the public after the six month quarantine period is not supported by scientific evidence. As discussed above, the New Jersey Department of Health’s rabies policy at the time allowed confining animals potentially exposed to rabies for six months in lieu of killing. Ironically, the Journal of the American Veterinary Medical Association shared its new rabies guidelines reducing the quarantine period from six months to four months the day before Scott Crawford wrote his dissertation on why authorities should kill the Aberdeen Five. Specifically, the Journal of the American Veterinary Medical Association made this recommendation based on cases of animals developing rabies more than six months after exposure being “extaordinarily rare”:

The committee based the guidance on unpublished data from states that provided information on the incubation period for rabies in unvaccinated cats and dogs. There are cases in the literature of animals developing rabies more than six months after exposure, Dr. Brown noted, but these also are extraordinarily rare. She said the mean incubation period is about six weeks.

Subsequently, the New Jersey Department of Health altered their guidelines for handling animals potentially exposed to rabies. In March 2016, the state agency reduced the quarantine period from six months to four months. Furthermore, the New Jersey Department of Health issued another directive in May 2016 stating health departments and shelters should confine rather than kill dogs not exhibiting clinical signs of the disease.

The fact that the Aberdeen Five dogs never came down with rabies after the six month quarantine period proves AHS was dead wrong. If AHS had their way, these five young dogs would never have received the opportunity to begin a new life.

AHS failed to provide one of the key services animal control shelters perform. Holding animals to protect public health is a key function animal control shelters provide. In fact, municipalities contract with third party shelters in part to house animals for rabies observation periods. Frankly, AHS-Tinton Falls effectively argued it was unable to properly quarantine these five dogs and protect its staff, which were not all vaccinated against rabies, other animals and the general public. If this is the case, should AHS-Tinton Falls have a license to operate an animal control shelter? If it was up to me, I would not award AHS a license to operate an animal control shelter unless it does one of the following:

  1. Reduces the number of municipalities it contracts with so it could effectively quarantine dogs with rabies
  2. Removes rabies quarantines from the services it offers
  3. Improves its policies and procedures to the point AHS certifies it can quarantine multiple animals for four month rabies quarantine periods

Personally, I find it difficult to believe AHS could not quarantine these five dogs. If its Tinton Falls facility was unable to do this, AHS could have used its Popcorn Park shelter where it houses a number of domestic and wild animals on a long term basis. Ironically, AHS touts its “open door policy” in its fundraising stories, but it shut the door on the Aberdeen Five. According to the organization’s 2014 Form 990, AHS took in nearly $9 million in revenue and had around $10 million in net assets. In fact, AHS-Tinton Falls received $43,000 in 2016 from Aberdeen Township alone plus an $18 per day fee for each animal housed per a court order (which may not have applied to the Aberdeen Five) and $95-$125 per animal fees charged to owners reclaiming their pets. Clearly, AHS could have used some of that war chest to properly quarantine these dogs at another facility.

AHS refused to quarantine the Aberdeen Five for the mandated period despite Monmouth County’s offer to pay for boarding costs. According to the AHS-Tinton Falls’ General Manager, Veronica Eherenspeck, this offer was insufficient since AHS would incur costs for rabies vaccinations, presumably for staff, and titer checks. Honestly, I am appalled an animal control shelter would require anything above and beyond a boarding fee to house and care for these animals. Vaccinating staff for rabies and monitoring the health of shelter animals should be pre-requisites for obtaining any animal control and sheltering contact. To argue Monmouth County taxpayers should pay these costs in addition to the $43,000 annual fee Aberdeen taxpayers shelled out to AHS-Tinton Falls is absurd. The fact that Wayne Township Animal Shelter took the Aberdeen Five for a $15 per day fee, which was 17% lower than the additional fee AHS charges Aberdeen Township for holding animals per government orders, proves AHS cared more about money than the lives of these five dogs.

AHS-Tinton Falls may have cost Monmouth County taxpayers up to $11,000. If AHS-Tinton Falls performed its duty as an animal control shelter, Monmouth County would not have had to pay Wayne Township Animal Shelter $11,000 to house these five dogs. While the cost to Monmouth County taxpayers may have been less due to Monmouth County SPCA raising funds for caring for the Aberdeen Five and any possible resititution paid by Kim Rogers, Monmouth County taxpayers should not have paid a dime. Simply put, AHS-Tinton Falls’ selfish behavior pushed the bill onto Monmouth County taxpayers.

AHS Actions Prove New Jersey Must Pass Shelter Reform Bill

AHS revealed its kill first mentality. From the very beginning of this ordeal, AHS personnel from the Tinton Falls General Manager all the way up to AHS executives sought to kill these animals. Based on the tone in the emails, you can clearly see killing is a key part of the AHS culture.

When a private animal shelter fights a health department to kill dogs, the organization has a critical problem with its leadership and culture. Health departments, which focus on protecting people from animals, often are quick to kill animals posing little risk to people. Often private shelters fight health departments to keep animals alive. However, AHS did just the opposite and fought with the health department in order to kill these five dogs. Simply put, AHS is a broken organization and its killing culture needs to change.

So how can shelter reform bill S3019 affect the AHS killing culture? First, AHS Executive Director, Roseann Trezza, would need the New Jersey Department of Health to certify that she was properly trained in progressive animal sheltering practices. Second, AHS would have to notify other organizations whenever it wanted to kill an animal. Third, AHS could not kill an animal until it certified it had no empty cages, foster homes and rescues available. Fourth, AHS would have to take active steps to reunite lost pets with their families. Fifth, AHS would have to provide high levels of care to animals, including robust medical treatment, socialization, and enrichment, that would make the pets more adoptable. Sixth, each AHS shelter would receive at least three unannounced inspections per year from qualified inspectors. Thus, shelter reform bill S3019 would put significant pressure on AHS to change its ways.

Clearly, New Jersey animal lovers must pressure AHS to save lives. We can do this by passing shelter reform bill S3019. By making a simple call or writing a quick email, you can do your part. To see how, please read the instructions in this link. The sooner we act, the sooner we’ll save more lives.

Why New Jersey Residents Must Support Animal Shelter Reform Bill S3019

Over the last three years I’ve documented New Jersey animal shelters routinely violating state law, abusing animals and killing pets for ridiculous reasons. During this time, I learned our state’s animal shelter system is broken and desperately needs reform. Recently, Senator Linda Greenstein introduced a bill, S3019, to “establish additional requirements for operation and oversight of animal shelters, pounds, kennels operating as shelters or pounds, and veterinary holding facilities.” Will S3019 improve New Jersey’s animal shelter system? Will more animals make it out of our shelters alive? Will shelters treat animals more humanely?

Bill Requires Shelters to Make Efforts to Save Lives

S3019 requires shelters and municipalities to conduct “community outreach” efforts to increase adoptions. Such efforts include using web sites and social media pages to promote adoptable animals. Furthermore, shelters must notify people who surrender animals, such as a good Samaritan who finds a stray animal and brings the pet to the shelter, prior to killing the animal if the person wants the shelter to contact them. In addition, the municipality where each shelter is located must post information about adoptable animals that is easily accessible to the public.

The bill makes shelters notify rescues, other shelters and interested individuals before killing an animal. Specifically, shelters must contact these organizations in writing or through electronic communication at least two business days before killing an animal. Unfortunately, the law allows shelter directors to still kill animals rescues and other shelters are willing to take if the shelter director determines an organization is “incapable of proper care for the animal.” While shelter directors should have that power when it comes to individuals, this provision provides regressive shelters a big loophole to kill animals other reputable groups want to save. Instead, the law should allow any 501(c)(3) rescue/other animal shelter to save an animal the shelter intends to kill unless the rescuing organization has pending animal cruelty charges, animal cruelty convictions, had its 501(c)(3) status revoked or seriously violated any rescue/shelter regulation.

S3019 also requires shelter directors to attest they made efforts to save an animal before killing the creature. Shelter directors must certify the following conditions apply:

  1. Animal was offered to rescues, other shelters and interested individuals and no suitable one wanted to save the animal.
  2. No cage space, whether permanent or temporary, exists (i.e. prevents killing with empty kennels)
  3. Animal cannot be housed with another animal
  4. No suitable foster homes exist
  5. No TNR programs in the state are willing to take a cat the shelter intends to kill

The bill also requires shelters to consider, study, and if possible, implement a TNR program. In addition, S3019 requires ACOs, NJ SPCA agents and officers and other law enforcement personnel to try and bring cats with no apparent owner to a shelter with a TNR program rather than a catch and kill facility.

Finally, the bill mandates animal shelters be open at least five hours on each weekday and one weekend day and stay open until at least 7 pm on one weekday. Given many New Jersey animal shelters are hardly open to the public, particularly when people are not working, this will greatly increase owner reclaims, adoptions, and transfers to rescues.

S3019 Requires Shelters to Try and Reunite Lost Pets with Families

The bill requires shelters to do three significant things to reunite more families with their lost pets. First, shelters must maintain continuously updated lost pet lists maintained by local law enforcement or other community groups (e.g. various lost pet Facebook pages covering each part of the state) and match the shelter’s animals with these lost pet listings. Once the shelter identifies an owner, the shelter must contact the owner. Second, shelters must post photographs and descriptions of stray animals with no identified owners on the internet (or in the local municipal clerk’s office if a shelter has no web site) along with the facility’s location, hours and contact information. Third, shelters must use universal microchip scanners, which can read all microchips, to identify and contact owners of lost pets. Thus, these required actions will increase the chances owners find their lost pets.

Bill Requires Humane Care

S3019 mandates shelters provide the following to their animals:

  1. Fresh water
  2. Appropriate food
  3. Environmental enrichment, such as socialization with staff or volunteers, toys and healthy treats
  4. Exercise outside of kennels at least once a day and more if required to maintain good condition and health and support recovery from diseases and injuries
  5. Prompt cage cleaning at least twice a day to prevent disease
  6. Not expose animals to spray from hoses and toxic cleaning agents
  7. Prompt and necessary veterinary care, including antibiotics, vaccines, fluid therapy, pain management and cage rest
  8. Specialized care for vulnerable animals, such as nursing females, infant animals, sick and injured animals, scared and reactive animals, older animals, and animals requiring therapeutic exercise
  9. Isolation of sick and diseased animals away from healthy ones
  10. Age appropriate vaccines that cover specific diseases upon intake to shelter
  11. Sick or diseased and injured animals must see a licensed veterinarian immediately and licensed veterinarian must document the animals’ condition, health and any health concerns

Thus, these provisions will make shelter animals healthier and more adoptable.

S3019 Requires Humane Euthanasia Techniques

The bill requires shelters do the following among other things when euthanizing animals:

  1. Only use licensed veterinarians or veterinarian technicians who are certified by the New Jersey Department of Health in humane euthanasia
  2. Use a properly ventilated and disinfected room
  3. No animal can see other animals, whether dead or alive, when sedated and euthanized
  4. Must lower animal after he or she is given the euthanasia drug onto a flat surface where the animal can lie or be held
  5. Shelter personnel must be with animal at all times during euthanasia

Shelters must verify an animal’s death by confirming no heartbeat, no respiration, pale bluish gums and tongue and no eye response to stimuli

Furthermore, S3019 allows shelters to immediately euthanize hopelessly suffering animals when a licensed veterinarian documents this diagnosis. Specifically, the veterinarian must document “the physical condition of the animal indicates that the animal cannot continue to live without severe, unremitting pain even with prompt, necessary, and comprehensive veterinary care, or the animal has an illness that cannot be remediated with prompt, necessary, and comprehensive veterinary care and will cause the animal continuing, unremitting pain.”

Animal Shelters Must Share Animal Intake and Outcome Statistics

Currently, New Jersey Animal Shelters voluntarily submit animal intake and outcome statistics annually to the New Jersey Department of Health. These statistics detail how animals arrived at the shelter (i.e. stray, owner surrender, confiscated by authorities, etc.) and how they left the shelter (returned to owner, adopted, euthanized, rescued, etc.). In addition, shelters report the population of dogs and cats and the facility’s capacity at the beginning and end of the year as well as the municipalities the shelter provides animal control and shelter services to. Based on my review of underlying records of several New Jersey animal shelters, these summary statistics are sometimes inaccurate.

S3019 requires shelters to report most of these statistics each year to the New Jersey Department of Health. This mandate would make these reports subject to inspection and could result in more accurate statistics. In addition, the bill requires the New Jersey Department of Health to publish these statistics, in total and broken out by shelter, on its web site. Furthermore, the New Jersey Department of Health must post other information it gathers under this bill on its web site.

The bill should provide some additional data to improve transparency. Specifically, it should require the additional data shelters currently voluntarily report, such as the population of dogs and cats and the facility’s capacity at the beginning and end of the year as well as the municipalities the facility provides animal control and shelter services to. Additionally, in order to provide more transparency on how shelters handle local animals, the bill should require shelters to report the following:

  1. Number of animals broken out by species impounded from New York and Pennsylvania during the year
  2. Number of animals broken out by species impounded from other states during the year
  3. Number of New Jersey animals broken out by species euthanized during the year

S3019 also should add the required data in the Shelter Animal Count project. The Shelter Animal Count project is led by several major national animal welfare organizations, such as Maddie’s Fund, HSUS, ASPCA and Best Friends, as well as a number of other animal welfare organizations. Shelters voluntarily provide this data and the goal is to use these statistics to analyze national and regional animal sheltering trends. S3019 should add the following data reporting requirements from the Shelter Animal Count project:

  1. Break out data to show dogs and cats 5 months and younger and over 5 months of age
  2. Number of cats placed into barn cat and warehouse cats homes during the year
  3. Number of cats released through TNR programs if such cats were impounded for reasons other than TNR (i.e. strays, owner surrenders, etc.) during the year
  4. Number of animals broken out by species that died during the year
  5. Number of animals broken out by species that were lost during the year

Mandating the sharing of animal shelter statistics with the public will increase transparency and allow people to pressure animal shelters to save more lives.

New Jersey Department of Health Must Increase Oversight of Animal Shelters

Under the bill, the New Jersey Department of Health must educate shelter directors and certify these individuals are properly trained. The New Jersey Department of Health is required to use Rutgers University to provide this training. The training would cover state shelter and animal cruelty laws as well as shelter operations.

While this sounds good in practice, Senator Greenstein should amend the bill to make clear that this curriculum must emphasize life saving. If the training requires traditional animal sheltering practices, such as killing dogs and cats for silly “behavioral issues” or to reduce disease outbreaks (e.g. killing cats with ringworm), then this feature in the bill will increase rather than reduce shelter killing.

New Jersey animal shelters regularly violate state law due to the lack of regular high quality inspections. Currently, local health departments must inspect an animal shelter each year. Unfortunately, local health departments routinely perform poor quality inspections, and in some cases do not even perform the required inspections. While the New Jersey Department of Health has the right to inspect animal shelters and does an excellent job, it rarely inspects animal shelters. Over the last decade, the number of New Jersey Department of Health inspectors decreased from five to one and the state essentially stopped inspecting animal shelters. Thus, New Jersey desperately needs high quality inspections at its animal shelters.

S3019 requires at least three unannounced inspections each year. Unfortunately, the bill allows the New Jersey Department of Health to delegate these inspections to local health departments if the local health department inspectors complete a New Jersey Department of Health/Rutgers University training. While this training may educate these inspectors, local inspectors will not deal with enough shelters to gain the practical experience they need to conduct high quality inspections. Furthermore, local health departments typically either run a shelter or report to local governments that run or contract with animal shelters. In other words, these inspectors have an inherent conflict of interest that often results in poor quality inspections and shelters routinely violating state law. Thus, Senator Greenstein should amend the bill to require at least a majority, if not all three annual required inspections, be performed by the New Jersey Department of Health.

The bill also increases penalties for noncompliance with state shelter laws. Individuals and organizations that violate the law are subject to a fine of $100-$200 for the first violation, $200-$400 for the second violation, and $300-$800 for any subsequent violations. In addition, shelters having a third violation may have their license to operate suspended or revoked. Also, individuals and organizations conducting inhumane euthanasia face increased fines of $125 ($25 previously) for the first offense and $250 ($50 previously) for the second offense. Thus, shelters and employees would have a much greater incentive to comply with state law.

S3019 also provides funding mechanisms to help shelters comply with its provisions. All collected fines except those for illegal euthanasia would go towards the bill’s training programs and grants to animal control shelters for spay/neuter and other veterinary care. In addition, New Jersey taxpayers will have an option to voluntarily contribute money for these programs on their tax returns.

Animal Lovers Must Call and Write their State Senator and Assemblyman to Support S3019

While I think Senator Greenstein should make some changes to this bill, S3019 still is a game changer in its current form. Clearly, this bill will cause shelters to improve, save more lives and treat animals more humanely. In other words, animal lovers should support this bill wholeheartedly.

Unfortunately, regressive shelters will try and kill this bill behind closed doors. Based on the history of similar legislation in other states, poorly performing shelters will contact elected officials to stop this bill. Many will not do so publicly since their positions are clearly unpopular. For example, many people believe Gloucester County Animal Shelter was behind Senator Sweeney’s recent quick kill bill. Given S3019 would force shelters to do more work and no major New Jersey shelters have publicly supported this bill to the best of my knowledge, many more regressive organizations will oppose this bill.

To make matters worse, some national animal welfare organizations will also likely oppose S3019. While Alley Cat Allies urged New Jersey residents to support S3019, other powerful animal welfare organizations will not do the same. For example, HSUS fought to stop similar bills in other states. In addition, HSUS has not made any public statements on S3019 despite urging New Jersey residents to support other animal bills in the state legislature. Simply put, HSUS should step up and support this bill or at least have the courage to make its position public.

Despite these influential adversaries, we have a secret weapon. The public overwhelmingly supports this bill. For example, 7 out of 10 Americans think shelters should not kill animals and only take the lives of hopelessly suffering animals or those that are too aggressive to place. In an animal friendly state like New Jersey, more people probably oppose shelter killing. Last month, the animal loving public stood up and forced Senator Sweeney to remove language from a bill allowing shelters to kill owner surrenders during the 7 day protection period. In fact, the public outrage was so strong that the change was made just two days after I posted about that bill.

So how can you make sure S3019 becomes state law? Call and/or write your local State Senator and Assemblyman and demand they support S3019, preferably with the changes outlined in this blog. Each municipality’s State Senator and Assemblyman are listed in the link below along with additional links containing their phone numbers.

http://www.njleg.state.nj.us/districts/districtnumbers.asp

Also, you can write your local State Senator and Assemblyman using the link below:

http://www.njleg.state.nj.us/members/abcroster.asp

If there was ever a time for you to step up for the animals, this is it. Thousands of animals lives will be saved in the future if you make a quick call and/or write a short note to your elected representatives. Be on the right side of history and tell others to do the same.

Associated Humane Societies-Newark’s Horrible Handling of Irvington’s Homeless Animals

Last year, I analyzed a large number of records for animals coming into Associated Humane Societies-Newark during 2014. These records, which primarily consisted of animals coming in from animal control in Newark, revealed massive killing and incompetence at this so-called “shelter.” Overall, 93% of cats, 70% of dogs, and 81% of pit bull like dogs with known outcomes in this data set lost their lives at AHS-Newark.

Did AHS-Newark change for the better in 2015? Does AHS-Newark save a lot more animals coming in from other municipalities? Do animals coming in from animal control fare worse than dogs and cats arriving at the shelter from other sources?

Detailed Analysis Conducted 

To get a better understanding of AHS-Newark’s handling of animals, I submitted an OPRA request to the City of Irvington’s Health Department seeking intake and disposition records of all Irvington animals, such as strays and owner surrenders, AHS-Newark impounded during the first 9 or so months in 2015. After much follow-up over a period of several months, I received AHS-Newark’s underlying intake and disposition records for these animals. Unfortunately, AHS-Newark refused to honor subsequent OPRA requests for records of animals coming in during the last three or so months of 2015.

In total, I obtained around 300 animal records and it took me several weeks to review and summarize this information. Many of these records were for wildlife, animals leaving before animal control officers arrived, and animals that were dead by the time the animal control officer got to the location. Overall, I reviewed the intake and disposition records of 89 cats and 93 dogs that AHS-Newark impounded from Irvington in 2015.

I reviewed each record and summarized my findings. My summary included the animal’s ID number, species, breed, origin (stray, owner surrender, confiscated by authorities), intake date, outcome date, length of stay, outcome, reasons for killing, miscellaneous information, and any comments I had.

Underlying Records Reveal Mass Killing

The sheer number and percentage of Irvington animals losing their lives at AHS-Newark is staggering. Overall, AHS-Newark killed 75% of the cats, 60% of the dogs and 74% of the pit bull like dogs that had outcomes in this data set. These kill rates were only slightly lower than the kill rates from my 2014 data set for Newark animals where AHS-Newark killed 83% of cats, 67% of dogs and 79% of pit bull like dogs. Furthermore, if I add Irvington animals who died at AHS-Newark, 83% of cats, 60% of dogs and 74% of pit bull like dogs lost their lives in this data set at AHS-Newark. As a comparison, 93% of cats, 70% of dogs and 81% of pit bull like dogs lost their lives in the 2014 data set for Newark animals. To put it another way, 62 out of 75 cats, 46 out of 77 dogs, and 32 out of 43 pit bull like dogs who had outcomes lost their lives per these Irvington records. As a result, these records indicate AHS-Newark operated more like a death camp than an animal shelter for the dogs and cats coming to the facility from Irvington during the first 9 months of 2015.

The percentage of dogs and cats losing their lives increases if we only consider the animals AHS-Newark had to shelter for more than a short period of time. Typically, shelters quickly return dogs and cats to their owners since such animals usually are licensed and/or have microchips. Therefore, shelters have to do little work to return these animals to their families. If I calculate the death rate excluding owner-reclaims, 83% of cats, 68% of dogs and 82% of pit bull like dogs lost their lives in this data set. In other words more than 2 out of 3 dogs and 4 out 5 pit bull like dogs and cats not reclaimed by owners lost their lives in this data set. Thus, AHS-Newark operated more like a pet killing factory than an animal shelter for Irvington’s homeless dogs and cats during the first 9 months of 2015.

AHS-Newark’s kill and death rates for dogs may actually be higher. Of the 22 unclaimed dogs safely making it out of AHS-Newark, 16 of these animals were transferred to AHS-Tinton Falls and AHS-Popcorn Park. Similarly, 6 of the 7 unclaimed pit bull like dogs leaving AHS-Newark alive went to AHS-Tinton Falls and AHS-Popcorn Park. AHS-Tinton Falls and AHS-Popcorn Park do not operate their shelters under a no kill philosophy and it is possible some of these dogs lost their lives at these other AHS facilities. Thus, AHS-Newark’s statistics may even be worse than the charts below indicate.

AHS-Newark’s adoption statistics in this data set were abysmal. Specifically, AHS-Newark only adopted out 8% of its cats, 4% of its dogs, and 0% of its pit bull like dogs in this data set. In fact, AHS-Newark only adopted out 9% of its small dogs in this data set. AHS-Newark poor adoption policies, which include normal dog adoption fees of $200 or more, requiring notarized letters from landlords when leases are silent about pets, and requiring existing dogs meet dogs at the facility, hamper the shelter’s ability to adopt out animals. In addition, the large number of animals receiving inadequate physical and behavioral care and the overall poor customer service at the shelter also hurt adoption efforts. Thus, AHS-Newark needs to overhaul their policies to increase adoptions.

Irvington’s overall 2015 statistics and the animal control only data were nearly identical. This suggests the horrific Newark statistics, which were primarily animals coming in from animal control, I reviewed last year may be similar to the overall Newark statistics.

AHS Irvington 2015 Dog and Cat StatsAHS Irvington 2015 Pit Bulls and Small Dogs Stats

AHS-Newark’s length of stay data reveals the shelter’s poor performance. First and foremost, AHS-Newark killed cats in this data set after just 12 days on average. Overall, AHS-Newark’s dog length of stay figures indicated animals resided way too long at the shelter. For example, despite the shelter only adopting out 4 out of 93 dogs, AHS-Newark still took nearly 7 weeks on average to adopt those few animals out. Additionally, AHS-Newark’s dog average length of stay figure may actually be higher since the shelter had significant numbers of animals that were in the ending population and transferred to other AHS shelters. Therefore, these animals likely spent additional time in an AHS shelter. Finally, even this data set’s small dogs, which typically fly out of shelters, spent 49 days on average at AHS-Newark. The 49 day average length of stay figure understates the time spent at AHS shelters since more than half of these dogs went to another AHS shelter after leaving the Newark facility or were in the ending population at AHS-Newark. Thus, AHS-Newark quickly killed cats and took way too long to safely place dogs in this data set.

AHS Irvington 2015 LOS Data

AHS Irvington 2015 LOS Data Pits and Small Dogs

Poor Reasons for Killing

AHS-Newark killed many healthy and treatable animals. AHS-Newark’s top three reasons for killing cats were as follows:

  1. Feral/Aggressive
  2. Sick
  3. Ringworm

On March 8, 2015 an Irvington resident surrendered two cats named Benny and Jet to AHS-Newark due to the person being unable to care for the animals. Despite the cats having a previous home, AHS-Newark labeled the cats as “feral” and killed the two animals 9 days later.

cat ID 132712Cat ID 132713

On May 4, 2015 Cat ID# 134247 arrived at AHS-Newark “covered in motor oil and gasoline.” Despite this cat’s obvious trauma, AHS-Newark stated this cat “WILL BITE” and killed her 17 days after coming into the shelter. The shelter did note it was able to give the cat a bath. No rehabilitation efforts were documented on the record below. A recent study found gradual touching and petting and talking in a soft voice is highly effective at socializing so-called aggressive cats. Thus, AHS-Newark appeared to do little to save this traumatized cat.

Cat id 134247.jpg

On May 8, 2015, AHS-Newark impounded a female cat and two kittens from an address in Irvington. The 7 year and 5 month old black cat (Cat ID# 134396), which may have been the mother of the two 7 month old black kittens, was killed by AHS-Newark 11 days later. AHS-Newark killed the female kitten, Cat ID# 134395, two minutes later. Three minutes after AHS-Newark killed the female kitten, the shelter killed the male kitten (Cat ID# 134394). Frankly, I wonder how close these kittens were to each other and the mother prior to their killing given the short time between killing each animal. If the animals were in fact near each other and were a family, I can only imagine the horror these kittens were in prior to AHS-Newark poisoning them to death.

Cat ID134396

Cat ID 134394.jpg

134495

AHS-Newark took in Cat ID# 131808 from an Irvington resident who found her on January 16, 2015. After just 8 days, AHS-Newark killed the cat for having an upper respiratory infection that was “not improving.” Nothing in the “Health Records” on the document below indicate any specific treatment for the URI beyond the vaccinations on the day this 12 month old cat arrived at AHS-Newark. Furthermore, the record provides no documentation that AHS-Newark tried to place this cat in a foster home or with a rescue prior to killing her.

Cat ID 131808.jpg

Kathleen was surrendered to AHS-Newark on March 26, 2015 due to her owner moving out of state. According to the record below, Kathleen’s owner stated the 9 year and 7 month old cat never went outside. While its unclear from the record where Kathleen caught a URI, I would think an indoor cat would not have had the virus prior to arriving at the shelter. While at AHS-Newark, Kathleen’s URI did not respond to treatment and the cat developed pneumonia. According to the “Health Records” on the document below, AHS-Newark provided no other treatment beyond normal veterinary care on the day this cat arrived at the shelter. Amazingly, Kathleen developed pneumonia during the cat’s less than two week stay at AHS-Newark. After just 12 days, AHS-Newark killed Kathleen.

Cat ID 133217.jpg

AHS-Newark used a “throw everything but the kitchen sink” approach to justify the mass killing of dogs. Often times the shelter listed multiple boilerplate reasons, like aggression (including “cage crazy”/”not kenneling well”), dog aggression, sick, etc. The top three reasons AHS used to kill dogs were:

  1. Aggression related issues
  2. Dog aggression
  3. Overcrowded

AHS-Newark labeled many dogs as aggressive that did not seem that way. On August 3, 2015, AHS-Newark received Emmet back from an adopter. The adopter returned this 1 year and 8 month old Labrador mix due to Emmet having a sore and being too active. While Emmet was at the shelter previously, he received an excellent evaluation. Besides being “full of puppy energy” and dog selective, he “had a great food test” and was “gentle taking treats” and “friendly with people.” Furthermore, Emmet was one of the select few dogs chosen for a photoshoot and the shelter wrote “DO NOT PTS” (i.e. do not put to sleep) prior to his adoption. Despite this great evaluation and favorable treatment at the shelter, “sc”, who I presume is former AHS Assistant Executive Director, Scott Crawford, decided to kill him for being “Cagey” (i.e. cage aggression), “very dog aggressive” and for the crime of being returned by an adopter. As the Dogs Playing for Life program has found, cage or barrier aggression often does not mean a dog is aggressive in normal conditions outside of an unnatural kennel environment. Thus, it seems AHS-Newark simply looked for a reason to kill this young Labrador mix after he was returned by his adopter.

Dog ID 137543 pt 1.jpg

Dog ID 137543 pt 2

Zoey was a 3 year and 6 month old stray dog taken to AHS-Newark on May 15, 2015. On August 18, 2015 the shelter wrote “DO NOT PTS-PHOTOSHOOT/FACEBOOK” on Zoey’s record below. Additionally, the photo on Zoey’s record below showed a person sitting with her. Despite AHS-Newark’s clear instructions not to kill Zoey, Scott Crawford decided to kill her two weeks later for being “cage craze”, “been developing barrier issues”, and acting “aggressive during length of stay.” Nothing in the record below indicated AHS provided any kind of behavioral treatment to Zoey.

Dog ID 134633 pt 1.jpg

Dog ID 134633 pt 2.jpg

Spike was a 4 year and 4 month old stray dog taken to AHS-Newark on June 3, 2015. AHS-Newark killed Spike 20 days later for having dog aggression, “developing barrier issues” and lack of space. Nothing on the record indicated AHS-Newark tried to socialize Spike with other dogs to help treat his alleged dog aggression.

Dog ID 135253.jpg

Star was a 3 year and 5 month old stray dog taken to AHS-Newark on June 3, 2015. On July 21, 2015, AHS-Newark wrote “DO NOT PTS PER SW PHOTOSHOOT FACEBOOK.” Around a month later on August 22, 2015, AHS-Newark again wrote “DO NOT PTS” after Star apparently was evaluated. Star’s evaluation was spectacular. Specifically, the evaluation stated “She radiates joy with her disposition” and she was “a Kennel staff favorite with her wonderful loving disposition”, “warm and affectionate”, “very friendly”, and a “GREAT DOG.” With an evaluation like this and instructions to not kill her written on two separate occasions, one would think Star was safe. Sadly, AHS-Newark killed Star just 18 days later for being dog aggressive, “no interest for adoption” and lack of space. If a dog like Star can’t make it out of AHS-Newark alive, what chance do the many dogs outside the public spotlight have?

Dog ID 135258 Pt 1.jpg

Dog ID 135258 Pt 2.jpg

Crush, who was a 1 year and 5 month old dog, was surrendered by his owner to AHS-Newark on January 15, 2015. Apparently, AHS-Newark posted Crush on Petfinder and Facebook as the shelter wrote “PETFINDER FACEBOOK DO NOT PTS PER SW.” Crush had an excellent evaluation that described him as “one happy dude” and went on to say “had no issues sharing his food bowl”, he shared his toys with people, and “did well with the female dog he met outside.” Despite his stellar evaluation, AHS-Newark killed Crush 70 days after he arrived at the shelter. AHS-Newark justified killing Crush for not being able to be share a kennel with another dog, “extreme barrier aggression”, being “unpredictable at times” and “declining further.” No where on the record does AHS-Newark mention any efforts to preserve Crush’s psychological well-being. Under N.J.A.C. 8.23A-1:9, shelters must have a disease control program that addresses the psychological well-being of their animals. Thus, it seems AHS-Newark did nothing to prevent Crush from deteriorating at the stressful AHS-Newark shelter or simply mislabeled him as having various forms of aggression.

Dog ID 131795

Dog ID 131795 (2)

Questionable Statistics

The data I reviewed suggests AHS-Newark may also kill large numbers of animals from other communities the shelter contracts with. AHS-Newark’s death rate for the Irvington animals in this blog was nearly as high as the 2014 Newark animal data set I reviewed in a prior blog. While Newark and Irvington may be more difficult communities to serve (i.e. higher intake, fewer reclaimed animals, more pit bull like dogs, etc.), I find it hard to imagine the death rates, particularly for unclaimed animals, are that much lower in other contracting municipalities.

The statistics in this blog and my prior blog on Newark animals arriving at AHS-Newark make me question AHS-Newark’s 2015 reported statistics. AHS-Newark killed 43% of cats and 25% of dogs based on its 2015 summary statistics. However, AHS-Newark killed 75% of cats and 60% of dogs in the 2015 Irvington data set I reviewed. If I exclude unclaimed animals, AHS-Newark killed 44% of unclaimed cats and 31% of unclaimed dogs based on its 2015 summary statistics. In the data set above, AHS-Newark killed 75% of unclaimed cats and 68% of unclaimed dogs. Thus, I question whether AHS-Newark’s reported summary statistics are in fact accurate.

AHS-Newark Requires New Leadership

AHS shocked the animal welfare community this summer when it hired Niki Dawson to replace Scott Crawford as its Assistant Executive Director. While I certainly had serious issues with Niki Dawson’s views and past performance, I stated she could make some improvements. However, I expressed skepticism that Ms. Dawson would have the authority to make those changes with Roseann Trezza being in charge. Around a month or so after joining AHS, AHS and Niki Dawson apparently parted ways as AHS posted Niki Dawson’s position on a job listing web site in late August. Furthermore, around the same time several people independently told me Niki Dawson no longer was working at AHS.

Niki Dawson’s quick departure from AHS is deeply disturbing. While Ms. Dawson has had a history of working at shelters for very short periods of time, her time at AHS is one of the shortest tenures that I know of. Even more unsettling is the fact that Niki Dawson has long held traditional sheltering and anti-no kill views. In fact, Ms. Dawson faced significant criticism from animal advocates over the years for killing animals at various shelters. Frankly, if a prominent traditional shelter and anti-no kill leader only lasts a month or so at AHS, that should raise major red flags to the New Jersey Department of Health, the NJ SPCA and the AHS Board of Directors. The longer these authorities fail to act the more their personal and professional reputations will deteriorate.

Clearly, AHS has failed its animals as well as the people in the communities it serves. From possible violations of state shelter laws to killing massive numbers of animals to killing dog and cats who are friends and families to wasting obscene amounts of money on lawyers to banning volunteers and fighting with many others in the animal welfare community, Roseann Trezza and AHS continue to do wrong by their animals and the public at large.

AHS needs a new Executive Director who will make the massive changes in culture, staffing, and programs needed to make the Newark facility an excellent shelter. Nothing will change at AHS as long as Roseann Trezza calls the shots. Given the scale of the killing at AHS, animal welfare advocates should make replacing Roseann Trezza with a compassionate and competent leader their primary goal. If animal advocates succeed, thousands of animals and hundreds of thousands of people will benefit. Personally, I can’t think of any anything better for New Jersey’s pets and animal loving people.

Elizabeth’s Enigma of an Animal Shelter (Part 2 of 2)

In my last blog, I discussed the recent history of the Elizabeth Animal Shelter. Specifically, I wrote about how the shelter’s illegal killing of Jennifer Arteta’s two dogs, Daphne and Rocko, during the 7 day hold period in June 2014 sparked an effort to reform the Elizabeth Animal Shelter. Additionally, I analyzed the shelter’s 2015 statistics to see if the changes the shelter made improved the plight of animals entering the Elizabeth Animal Shelter. To read Part 1 of this blog, please click this link.

Part 2 of this blog analyzes Elizabeth Animal Shelter’s compliance with New Jersey shelter laws. This blog also examines the shelter’s recent actions. Finally, I provide an answer to the question as to whether the Elizabeth Animal Shelter still needs reform.

Elizabeth Animal Shelter Illegally Kills Massive Numbers of Animals Prior to the End of the 7 Day Hold Period

Elizabeth Animal Shelter illegally killed animals during the 7 day hold before and after the illegal killing of Daphne and Rocko. Despite Daphne being playful and Rocko loving to cuddle, Elizabeth Animal Shelter wrote “aggressive” on their intake and disposition records and killed them on the day the two dogs arrived at the shelter. Under New Jersey shelter law, shelters cannot kill any animal, whether stray or surrendered by their owners, until after 7 full days. Elizabeth Animal Shelter illegally killed 48 dogs and 35 cats in 2014 prior to the end of the 7 day hold period. To put it another way, Elizabeth Animal Shelter illegally killed 49% of the dogs and 85% of the cats it killed in 2014. In fact, Elizabeth Animal Shelter illegally killed 25 dogs and 14 cats in 2014 after News 12 New Jersey reported Elizabeth Animal Shelter’s illegal killing of Daphne and Rocko. Even worse, Elizabeth Animal Shelter resumed the illegal killings less than a month after the News 12 story came out and the related uproar. Thus, Elizabeth Animal Shelter thumbed its nose at animal advocates, state law and all Elizabeth pet owners.

Elizabeth Animal Shelter continued to illegally kill animals during the 7 day hold period in 2015. Elizabeth Animal Shelter illegally killed 28 dogs and 96 cats during the 7 day hold period in 2015. To state it another way, Elizabeth Animal Shelter illegally killed 53% of the dogs and 86% of the cats it killed in 2015. In addition, Elizabeth Animal Shelter killed 9 of those dogs and 5 of those cats after the New Jersey Department of Health issued a memo on October 20, 2015 reminding all shelters that it is illegal to kill animals during the 7 day hold period. Under New Jersey law, shelters technically can’t kill animals who are hopelessly suffering during the 7 day hold period, but the New Jersey Department of Health generally does not go after shelters if a veterinarian documents the animal was hopelessly suffering in a detailed manner. While Elizabeth Animal Shelter labeled some animals as “sick” or “medical euthanasia”, the city provided no veterinary records proving these animals were in fact hopelessly suffering. Thus, Elizabeth Animal Shelter illegally killed even more animals in 2015 than 2014.

You can find all the intake and disposition records for 2014 here and for 2015 here.

Elizabeth Animal Shelter Illegally Adopts Out and Sends Stray Animals to Rescues During the 7 Day Hold Period

Elizabeth Animal Shelter illegally adopted out and sent large numbers of dogs and cats to rescues during the 7 day stray/hold period in 2014. Under New Jersey shelter law, shelters must hold stray animals for 7 days prior to adopting those pets out or sending them to rescues. The law is designed to provide pet owners a reasonable opportunity to find their animals. In 2014, Elizabeth Animal Shelter adopted out/transferred to rescues 21 stray dogs and 120 stray cats during their stray/hold periods. 13% and 36% of all dogs and cats Elizabeth Animal Shelter adopted out/sent to rescues were done so illegally in 2014. Thus, Elizabeth Animal Shelter violated the 7 day stray hold period on a massive scale in 2014.

Elizabeth Animal Shelter continued to illegally adopt out and send large numbers of animals to rescues during the 7 day hold period in 2015. In 2015, Elizabeth Animal Shelter illegally adopted out/transferred to rescues 30 dogs and 75 cats. 14% and 25% of all dogs and cats Elizabeth Animal Shelter adopted out/sent to rescues were done so illegally in 2015. In fact, Elizabeth Animal Shelter illegally killed or adopted out/sent to rescues 106 of 171 stray cats or 62% of these animals during the 7 day stray/hold period in 2015. Similarly, Elizabeth Animal Shelter illegally killed or adopted out/sent to rescues 35 out of 209 stray dogs or 17% of these animals during the 7 day stray/hold period in 2015. Thus, Elizabeth Animal Shelter willfully violated state shelter law and potentially prevented scores of animals from finding their families.

While I can understand Elizabeth Animal Shelter feels pressure to place animals quickly with its small facility, the shelter’s actions are not justified. Certainly, Elizabeth Animal Shelter’s limited space causes the shelter to fill up quickly. However, Elizabeth Animal Shelter did not appear to consistently use its full capacity. The following table compares the “required length of stay” or the maximum time the shelter could keep each animal on average before it runs out of room each month with the average length of of stay for these periods. In other words, this metric estimates how much shelter capacity was used. As you can see, Elizabeth Animal Shelter only used around 61% and 27% of its dog and cat capacity on average during the year. In fact, Elizabeth Animal Shelter did not come close to reaching its maximum capacity in any one month.

Elizabeth Dog Capacity Used

Elizabeth Animal Shelter 2015 Statistics (25)

Clearly, Elizabeth Animal Shelter’s space constraints did not force it to adopt out and send animals to rescues during the 7 day stray/hold period. The city and the shelter simply wanted to save money and do less work by handing animals to rescues as quickly as possible.

To further support the shelter having enough space to obey the state’s 7 day hold period, I recalculated Elizabeth Animal Shelter’s average length of stay if it kept animals for the required 7 day hold period. If the shelter held animals it either illegally killed or adopted out or sent to rescues during the 7 day hold period for 7 days, the shelter’s average length of stay would only rise to 6.3 days for cats and 8.2 days for dogs. As a comparison, the shelter’s required length of stay each month was significantly below these figures (8.8 days to 62 days for cats and 9.2 days to 25.7 days for dogs). Thus, Elizabeth Animal Shelter did not have to violate the state’s 7 day hold law to avoid overcrowding.

Animals Killed Off the Books

Elizabeth Animal Shelter took a number of injured and sick animals directly to an outside veterinarian and did not report doing so in its intake and disposition records. The veterinarian killed/euthanized almost all of these animals (3 dogs, 12 cats plus a number of wild animals). While many were hopelessly suffering, the veterinarian’s invoices inadequately documented the reason for killing/euthanasia in some cases. The example below provides one such example where the veterinarian killed a cat and listed the animal as “injured” without any specific details:

Elizabeth Vet Invoice

Furthermore, the shelter provided me no additional veterinary records in response to my OPRA requests. Given this veterinarian killed most of these dogs and cats on behalf of Elizabeth Animal Shelter prior to the 7 day hold period, the inadequate documentation represents additional shelter law violations. Also, I could not find any of these animals included in the Elizabeth Animal Shelter’s intake and disposition records. Therefore, the shelter violated N.J.A.C. 8.23A-1.13 which requires intake and disposition data on every single impounded animal. Finally, the shelter’s inability to count these animals in its records raises questions as to whether the shelter is also killing other animals off the books.

If I add these dogs and cats to the intake and disposition records, the shelter’s death rates increase by 1-2 percentage points:

Elizabeth Animal Shelter 2015 Statistics (23).jpg

Elizabeth Animal Shelter 2015 Statistics (24)

Highly Questionable Categorization of Animals as Owner Surrenders

Elizabeth Animal Shelter classified an unusually large number of dogs and cats as owner surrenders. Specifically, the shelter classified 42% of dogs and 60% of cats as being surrendered by their owners. As a comparison, New Jersey animal shelters as a whole only classified 32% and 27% of stray and surrendered dogs and cats as owner surrenders in 2014. Furthermore, shelters serving poor areas, such as Liberty Humane Society (20% of both stray and owner surrendered dogs and cats classified as surrendered by owners), Camden County Animal Shelter (28% and 19% of stray and owner surrendered dogs and cats classified as surrendered by owners), and Atlantic County Animal Shelter (19% and 11% of stray and owner surrendered dogs and cats classified as surrendered by owners), categorized much lower percentages of animals as owner surrenders. Thus, Elizabeth Animal Shelter placed unusually large numbers of animals into the owner surrender category.

In fact, per the records I reviewed, the shelter classified nearly every single animal turned in by a person as an owner surrender. However, in reality, shelters receive significant numbers of strays from people finding animals and turning them over to the shelter. Below is an example of one of the shelter’s animal surrender forms (I removed certain information to protect the person’s personal information). As you can see, the form does not state the person surrendering the animal is the owner nor does the form seek any documentation that the animal is in fact owned by the person.

Elizabeth Surrender form.jpg

Elizabeth Animal Shelter’s convenient classification of most animals as owner surrenders rather than strays reduces costs and saves shelter staff from doing more work. Under current state law, shelters must hold all strays for 7 days to provide the animal’s owner the opportunity to get their family member back. If Elizabeth Animal Shelter classifies the animal as an owner surrender rather than a stray under current law, the shelter can immediately hand the animal over to a rescue instead of caring for the animal for 7 days. Prior to 2011, the shelter could also immediately kill an owner surrendered animal upon intake. As discussed above, Elizabeth Animal Shelter still operates as if the old law relating to owner surrendered animals was still in place and often kills owner surrenders during the 7 day hold period. To make matters worse, Elizabeth Animal Shelter only accepts owner surrenders on Thursdays, the day its part-time veterinarian comes to the shelter, and kills large numbers of so-called owner surrenders on that day. In fact, Elizabeth Animal Shelter illegally killed 77 or 72% of the 107 “owner surrender” dogs and cats it killed in 2015 on the day the shelter accepted those animals. In other words, just like Daphne and Rocko, Elizabeth Animal Shelter conveniently classifies animals as owner surrenders to kill them as soon as possible, even if doing so is illegal.

Records Raise Serious Questions as to Whether Elizabeth Animal Shelter Humanely Euthanizes Animals 

Elizabeth Animal Shelter’s euthanasia records do not specify how the shelter killed or euthanized animals. Specifically, the records do not state whether the shelter euthanized/killed each animal by an intravenous (preferred method), intraperitoneal or intracardiac (i.e. heart sticking) injection. Per New Jersey law, shelters can only use intraperitoneal injections on comatose animals and neonatal kittens. Under this method, animals are injected in the abdominal cavity and can take up to 30 minutes to die. Heart sticking, as the name implies, involves stabbing an animal in the heart with Fatal Plus poison and New Jersey shelters can only use this method on heavily sedated, anesthetized or comatose animals. Additionally, Elizabeth Animal Shelter’s records do not state what specific euthanasia drug the facility used for each animal. Thus, Elizabeth Animal Shelter’s euthanasia records do not indicate whether animals are in fact humanely euthanized.

Elizabeth Animal Shelter chooses to sedate rather than comfort animals prior to euthanasia. Specifically, the shelter injected Ketamine into nearly every animal to restrain them prior to administering a poison to kill the animals. The Humane Society of the United States Euthanasia Reference Manual states shelters should avoid using a preeuthanasia anesthetic and hold and comfort animals when appropriate:

When appropriate, it is often best practice to hold and comfort an animal for direct IV or IP injection of sodium pentobarbital rather than injecting a preeuthanasia anesthetic, but neglecting or refusing to use pre-euthanasia drugs when direct injection would cause the animal undue stress is equally ill-advised.

Elizabeth Animal Shelter’s decision to sedate virtually every animal instead of comforting these creatures speaks volumes about how the shelter feels about animals. While some animals are aggressive and require sedatives, surely not 163 of 164 cats and dogs were vicious or incapable of being comforted. After all, when you order the “owner surrenders” to come in on Thursdays for killing you don’t have time to hold and comfort animals. You just stick them with Ketamine and then poison them to death.

To make matters worse, Elizabeth Animal Shelter’s use of pure Ketamine as a preeuthanasia drug is cruel. The Humane Society of United State Euthanasia Reference Manual states shelters should not use Ketamine alone to sedate an animal for killing as it makes the animal’s muscles rigid and the injection stings so much that the animal reacts very negatively to it. If that was not bad enough, large doses can cause convulsions and seizures.

Ketamine (available commercially as Ketaset, Ketaject, and others) is an anesthetic agent that renders an animal completely immobile. However, when used alone it can cause the muscles to become rigid, causing the body to  stiffen. It also stings so much upon injection that it creates a fairly pronounced reaction in most animals. Moreover, in large doses it can produce convulsions and seizures. For these reasons, ketamine is recommended for use only when combined with another drug (like xylazine to create PreMix, above), that tempers these negative effects.

Elizabeth Animal Shelter also used excessive doses of Ketamine. Elizabeth Animal Shelter administered 1.5 cubic centimeters of Ketamine to virtually every adult cat. The product label states 1 milliliter, which equals 1 cubic centimeter, of the Ketamine drug contains 100 milligrams of the active Ketamine ingredient. In addition, the product label states cats requiring restraint should receive a dose of 5 milligrams/pound of cat. The product label also states veterinary personnel should use a dose of 10-15 milligrams/pound of cat to produce anesthesia. Based on most cats weighing 8 pounds, that means the cats should have only received 40-120 milligrams or 0.4-1.2 cubic centimeters of the Ketamine drug. In other words, Elizabeth Animal Shelter provided doses up to 4 times greater than the label indicates. In addition, cats weighing as little as 5 pounds, which would require 0.25-0.75 cubic centimeter doses per the product label, also received the 1.5 cubic centimeter dose. Given large doses can “produce convulsions and seizures”, this indicates many animals could have experienced agony prior to their killing.

Elizabeth Animal Shelter also used incorrect doses of its euthanasia drug assuming it used sodium pentobarbital or Fatal Plus. Per the Humane Society of United States Euthanasia Reference Manual, shelters should use 1 cubic centimeter of Fatal Plus per 10 pounds of animal body weight for intravenous and heart sticking injections and 3 cubic centimeters of Fatal Plus per 10 pounds of animal body weight for intraperitoneal injections. For an 8 pound cat, that would equal 0.8 cubic centimeters of Fatal Plus. However, Elizabeth Animal Shelter used 2 cubic centimeters of its euthanasia drug for just about every adult cat weighing 8 pounds and for most adult cats of different weights. If the shelter used intraperitoneal injections on the 8 pound cats, that would require 2.4 cubic centimeters of the drug compared to the 2 cubic centimeters used by the shelter. Animals receiving too small of a dose may have been still alive before being dumped in the trash or an incinerator if the shelter used intraperitoneal injections. Thus, Elizabeth Animal Shelter’s use of these drugs raises serious questions about whether the facility humanely euthanizes animals.

Elizabeth Animal Shelter’s euthanasia logs list questionable weights for the animals and raise questions as to whether the shelter actually weighed the animals. Under N.J.A.C. 8:23A-1.11 (f) 3 and 4, shelters must weigh each animal and keep a log of those body weights as well as the drugs used to immobilize and euthanize the animals. Almost all the adult cats weighed exactly 8 pounds. Additionally, most of the weights listed for dogs were convenient numbers, such as 60, 65, and 80 pounds. Frankly, I find it highly unlikely that many dogs just happened to weigh in at these user friendly amounts.

Perhaps the most egregious example was Elizabeth Animal Shelter listing a groundhog weighing 40 pounds in its euthanasia log below. Groundhogs typically weigh from 4-9 pounds with 31 pounds being the maximum weight. Now either Elizabeth Animal Shelter impounded the largest groundhog in world history or it didn’t actually weigh the animal. Conveniently, the animal preceding this mammoth sized groundhog was a raccoon weighing the same 40 pounds.

Elizabeth Groundhoug weight.jpg

Elizabeth Animal Shelter’s questionable record keeping raise concerns about whether controlled substances at the shelter are secure. If the shelter reports using more of these controlled substances than they actually do (i.e. a possibility if they are in fact running a humane operation), that provides staff the opportunity to steal some of these drugs. In the case of Ketamine, this is a highly sought after black market recreational drug. As a result, the shelter’s euthanasia records raise concerns that go beyond animal welfare.

Shelter Budget Reflects Misguided Priorities

Elizabeth spends almost its entire shelter budget on employee salaries. Unlike most municipalities that separately disclose the animal shelter’s budget, Elizabeth buries the shelter’s projected expenditures within its Health Department budget. The Health Department’s 2016 budget reveals the Elizabeth Animal Shelter pays salaries totaling $144,481 for its ACOs and $23,241 for a part-time veterinarian. In addition, the Health Officer, Mark Colicchio, who spends part of his time overseeing the shelter, receives a salary of $92,787 a year. Unfortunately, the budget provides no other details on animal shelter expenditures. Unless other animal shelters costs are covered in the $145,000 “Other Charges” line in the Health Department budget, the shelter devotes nearly 100% of its costs to paying people’s salaries and not on animal care.

Elizabeth Animal Shelter’s part-time veterinarian seems to do nothing more than come in and kill animals. Based on discussions I’ve had with several people familiar with the shelter, the part-time veterinarian works at the shelter every Thursday. As discussed above, the shelter only accepts “owner surrenders”, which seems to include both animals actually surrendered by their owners and stray animals found by people, on the day the veterinarian comes in. Sadly, the shelter kills many of these animals on that very day. In fact, that is exactly what happened to Daphne and Rocko. Despite requesting veterinary records under OPRA, the shelter provided me no such records other than those for emergency care performed by an outside veterinarian (most of these animals were euthanized). In other words, Elizabeth’s part-time veterinarian appears to receive around $450 to come in on each Thursday to kill animals.

Videos Reveal Poor Animal Sheltering Practices

In a recent video, Darcy Del Castillo and another ACO were not conducting behavioral evaluations according to the ASPCA’s guidance. Specifically, the ASPCA guidance states:

  1. The room should be quiet: no phones, intercoms, pagers, barking dogs, people talking, and animals housed here
  2. No distractions during the test such as phones, multi-tasking assessors, side conversations and smells that can capture the dog’s interest.
  3. Tester should hold leash with slack

During the video, the Elizabeth Animal Shelter’s evaluator uses a room filled with distractions, talks with another person, and tethers the dog on a tight leash to a kennel. Additionally, another staff member yells at the dog.

Furthermore, the shelter still conducts food guarding tests despite the ASPCA recommending that shelters stop using these inaccurate tests and instead provide all adopters information on how to manage food aggression. Many shelters classify and kill dogs for being food aggressive that don’t display food guarding in a home. Additionally, many dogs who pass food aggression tests in a shelter display the trait in a home setting. Thus, the shelter’s continued use of food aggression tests puts both animals and people at risk.

Another video shows an ACO using a chokepole on a friendly dog abandoned in a home. Given chokepoles can strangle a struggling dog, ACOs should only use these devices as a last resort. Frankly, this video speaks volumes about how some of Elizabeth Animal Shelter’s ACOs feel about animals.

Elizabeth Tries to Dupe the Public Into Believing the Shelter Saved Lots of Animals During the Holidays

In late December, a local news story raved about the job Elizabeth Animal Shelter is doing. The article, which appeared like it was hastily written by the Elizabeth Health Department, stated the shelter saved all of its animals prior to Christmas. Additionally, the news story mentioned positive changes began in the Fall of 2013 (actually it was in 2014) after the facility started evaluating animals and allowing people to post the shelter’s animals on social media. Furthermore, the article touted the city’s pet limit law and policy requiring adopters to alter their animals or face fines. Finally, the article praised Darcy Del Castillo’s sharing of animals on her Shelter Helpers Facebook page and also made a quick reference to the Friends of Elizabeth Animal Shelter Facebook page.

Elizabeth Animal Shelter killed many animals during the month of December. As the tables below show, Elizabeth Animal Shelter killed 44% and 20% of all non-reclaimed cats and dogs. In fact, the shelter’s kill rate in December was higher than the average for the year despite very low animal intake relative to most months. While the shelter labeled some of these animals as “sick” and “medical euthanasia”, the city provided me no actual veterinary documentation that these animals were in fact hopelessly suffering. Furthermore, the high kill rate makes it highly unlikely that most of these animals were in a permanent state of severe physical distress. Thus, Elizabeth failed to tell the public about its entire performance during the holiday season.Elizabeth Animal Shelter 2015 Statistics (20)

Elizabeth Animal Shelter 2015 Statistics (28)

The Elizabeth Animal Shelter also violated the 7 day hold period during December 2015. The shelter illegally killed 7 dogs and cats prior the end of the 7 day hold period during December 2015. In fact, the facility illegally killed two owner surrendered cats on December 31 just before the New Years Day holiday. Furthermore, Elizabeth Animal Shelter adopted out/sent to rescue 3 stray dogs during their 7 day hold period in December 2015. Thus, Elizabeth Animal Shelter patted itself on the back while it operated in an illegal manner.

Elizabeth’s touting of its more stringent animal control laws reveals a city putting into place policies that will take rather than save lives. First and foremost, the shelter’s hypocritical requirement that Elizabeth residents alter adopted dogs when the city shelter refuses to do so discourages adoptions. How many companies sell you a product with the threat of heavy fines if you don’t do what they say? Its like Toyota selling you an automobile without seat belts and fining you if you don’t put them in yourself. Frankly, that type of policy scares adopters away. Second, pet limit laws reduce the number of homes for animals and lead to increased shelter intake and killing. The ASPCA, HSUS, Best Friends and the No Kill Advocacy Center all oppose these laws as these statutes waste scarce resources that cities can use to save animals and lead to increased shelter killing. Furthermore, cities can enforce animal cruelty statutes without having pet limit laws. Thus, Elizabeth brags about animal control policies that exacerbate rather than reduce shelter killing.

The glowing Elizabeth Animal Shelter story failed to recognize many of the other people responsible for emptying the shelter out before last Christmas. Specifically, the press release failed to recognize Jennifer Arteta, who runs the Friends of Elizabeth Animal Shelter Facebook page mentioned in the story. Ms. Arteta was the owner of the two dogs, Daphne and Rocko, who Elizabeth Animal Shelter illegally killed in June 2014 and who led the effort to reform the shelter. In addition, the story failed to mention the Union County Lost Pets Facebook group which actively promotes and finds placement for Elizabeth Animal Shelter’s animals. The person running the Union County Lost Pets group also worked to reform Elizabeth Animal Shelter after the Daphne and Rocko incident. As a result, the article failed to mention that the very people fighting against the city to reform the shelter played a key role in emptying out the Elizabeth Animal Shelter.

Elizabeth Animal Shelter Still Needs Reform

The Elizabeth Animal Shelter has improved in some respects since it illegally killed Daphne and Rocko in June of 2014. Certainly, the shelter decreased its dog kill rate and Darcy Del Castillo deserves some credit. However, the shelter’s cat kill rate increased since Ms. Del Castillo’s arrival at the shelter. That being said, Elizabeth Animal Shelter is a far safer place for animals than the atrocious Associated Humane Societies-Newark shelter located a few miles away.

However, Elizabeth Animal Shelter’s improvement with dogs is primarily due to the rescue community and not the city or its shelter. After following Facebook pages, such as Union County Lost Pets and Friends of the Elizabeth Animal Shelter, and reviewing the shelter’s records, I can clearly see how hard local rescues, animal advocates and Elizabeth residents work to save animals from the shelter. The shelter basically throws out a terrible photo and tells the rescue community to save the animal or the dog or cat will die. Even the few animals the shelter adopts out are due to local animal advocates promoting the pets rather than the shelter itself. Other than Ms. Del Castillo, no one at the shelter appears to do anything proactive to save the animals. Even worse, the near 100% reliance on rescues likely results in little to no net increase in lifesaving in the region due to rescues pulling from Elizabeth Animal Shelter rather than other local kill shelters.

The Elizabeth Animal Shelter fails to even do basic animal sheltering. The shelter typically provides no veterinary care other than killing. The city does not spay/neuter or even vaccinate its animals. Furthermore, the shelter willfully violates New Jersey’s shelter laws relating to public operating hours and the 7 day hold period. In other words, the shelter still regularly does the very thing that sparked reform efforts at the Elizabeth Animal Shelter. Additionally, the shelter may be violating state shelter laws in the areas of humane euthanasia as well as record keeping.

The Elizabeth Animal Shelter also violates many of the standards of care advocated by the ASPCA. The ASPCA is a traditional shelter advocacy group and it typically recommends far lower standards than what no kill groups do. However, the Elizabeth Animal Shelter violates even these lower standards. Specifically, the Elizabeth Animal Shelter fails to do the following things:

  1. Have minimum standards for facilities, sanitation, medical protocols, and enrichment/socialization
  2. Shelters should never use the expiration of applicable holding periods or owner relinquishment as license to immediately euthanize animals simply because, at least legally, their “time is up”
  3. Shelters must provide clear notice to the public concerning shelter locations, hours, fees and the return-to-owner process
  4. Shelters should be accessible during reasonable hours to owners seeking to reclaim their pet. These hours should include some reasonable additional period of time beyond the typical workday (e.g. 9am to 5pm Monday through Friday) so that pet owners who may not have flexible work schedules have the best opportunity to reclaim their pets.
  5. Shelters should make written descriptions of key processes and information easily and readily available for public inspection.

Despite the increase in the facility’s dog live release rate, too many animals still lose their lives at the Elizabeth Animal Shelter. 1 out of 3 pit bull like dogs and cats requiring new homes lose their lives at the shelter. In this day and age where animal control shelters in large cities, such as Jacksonville, Florida, Baltimore, Maryland, Salt Lake City, Utah, Portland, Oregon Austin, Texas, Atlanta, Georgia, Kansas City, Missouri, and Washington DC achieved or are close to reaching no kill status (90% or higher live release rate), we should expect far more from the Elizabeth Animal Shelter.

Elizabeth needs to operate its shelter using the no kill equation in an enthusiastic manner. The key programs are as follows:

NKE

For far too long, the city’s leaders have chosen to operate the Elizabeth Animal Shelter as cheaply as possible. The city’s shelter is literally located in a public works area hidden from public view.Elizabeth Dog Warden - Google Maps

City officials never expanded the facility, despite plenty of land being available, and allowed it to remain undersized. Furthermore, city officials compensated by violating its own residents’ rights by killing and transferring animals illegally during the 7 day hold period. Simply put, Elizabeth’s political leaders view homeless animals as trash and only allow rescuers to pick that trash up before its taken to the garbage dump.

Elizabeth residents should demand far more than an old school pound that expects rescues to save the day and completely pay the bills. Clearly, the city of Elizabeth’s residents have spoken up and taken actions that prove they desperately want a no kill city shelter. Just imagine what animal advocates could achieve if they had a city and a shelter determined to do its part in saving lives. Instead of desperately trying to take animals off of death row, these volunteers could urgently work with the shelter to treat, rehabilitate and quickly get homeless animals into permanent homes. In return, hundreds of people would come to the city to adopt, volunteer, donate funds to the shelter and spend money at local businesses.

If the city chooses to not operate the shelter according to state law as well as its residents’ desires, Elizabeth should issue an RFP to allow one or more of the rescues to take the facility over. Clearly, the city of Elizabeth is failing its animals and its pet owning residents. If elected officials won’t act, then its time for Elizabeth voters to replace these politicians with folks who will do the right thing for Elizabeth’s animals and citizens.

Big or Small Animal Shelters: Which are Better?

One key issue in animal welfare is whether animal shelters should serve small or large numbers of people and animals? Unfortunately, I’ve never seen much discussion about this topic. This blog attempts to answer this question and provide practical solutions.

Live Release Rates Are Lower at Large No Kill Animal Control Shelters

Smaller no kill animal control shelters tend to have higher live release rates than similar facilities taking in more animals. While some small to medium sized no kill animal control shelters achieve live release rates in the 97%-99% range, most large no kill animal control shelters are in the 90%-95% range. As a result, smaller facilities tend to have the potential to achieve higher live release rates.

Smaller shelters may take advantage of their limited service areas. Shelters taking in animals from a very limited area can adopt out many animals to people outside the communities they take animals from. From my review of shelters, the only facilities achieving per capita adoption rates exceeding around 23 dogs and cats per 1,000 people were small-medium sized shelters. Of course, if every facility was tiny smaller shelters as a whole would not sustain such sky high per capita adoption rates.

On the other hand, per capita animal intake rates are lower at larger shelters. Smaller shelters may have higher per capita intake rates due to animals coming in from outside their limited service areas. If a shelter serves a relatively small area, stray animals from other communities may come in more often. Also, larger communities may have fewer animal control officers relative to their populations and therefore impound fewer dogs and cats. Thus, larger shelters may have lower per capita adoption rates at least in part due to the facilities impounding fewer animals relative to the human population in the area.

Smaller Shelters Are More Conducive to Getting Animals Adopted

Animal shelter environments are unnatural for dogs and cats. Despite cats being able to live in colonies and with people, these animals are still solitary by nature. In a typical animal shelter, cats must share living quarters with large numbers of other cats as well as potential predators (i.e. dogs). Therefore, animal shelters are usually highly stressful environments for most cats. While dogs are social animals, they evolved to be social with their family or pack (an extended family generally). In fact the dog’s ancestor, the wolf, is fiercely territorial to the point where being killed by other wolves in turf wars is the number one cause of natural mortality. As a result, putting large numbers of strange animals in one building is highly stressful to most dogs and cats.

Larger shelters increase the risk of sickness and behavioral deterioration. Simply put, more animals means more dogs and cats can potentially transmit contagious diseases to each other. Similarly, all else being equal, more animals equals more noise, sights, and scents that can stress animals out. Shelters with a greater percentage of animals becoming sick and developing behavioral problems will have prolonged lengths of stay, increased costs and decreased lifesaving. Thus, shelters that can prevent physical and mental illness in the first place have greater lifesaving potential.

Animal shelters housing more animals tend to have longer lengths of stay all else being equal. If two shelters adopt out the same number of animals and one of the facilities has twice as many animals, each animal will stay twice as long at that shelter. Longer lengths of stay tend to radically increase the chance of cats catching upper respiratory infections in shelters. For example, a recent study found that 40% and 60% of highly socialized cats and other cats at a medium sized animal control shelter developed upper respiratory infections after just 30 days. Similarly, disease rates for dogs are likely higher as well during longer lengths of stay. Additionally, animals are more likely to develop behavioral issues the longer they reside at shelters making adopting those pets out harder. Thus, larger shelters tend to have longer lengths of stay and animals face greater challenges staying happy and healthy in such places.

Smaller shelters with fewer animals up for adoption make it easier for people to select a pet. While extremely small shelters may not have enough animals for people to choose from, most facilities seem to have enough animals for people to find a suitable pet (excluding people looking for animals rarely coming into shelters). Virtually all people prefer to have a reasonable number of potential animals to choose from. Unfortunately, adopters often become overwhelmed when they must select among vast numbers of animals. Often dubbed “The Paradox of Choice”, people tend to buy less of things when presented too many options. In an animal shelter environment, which tends to involve far more emotion than buying typical consumer goods, this effect is likely amplified. In fact, the ASPCA found one shelter increased adoptions and doubled the rate of people who left with a pet after limiting the number of animals on the adoption floor. While a larger shelter can of course reduce the number of animals up for adoption, most do not and consumers have a more reasonable number of animals to choose from in smaller shelters.

Financial Issues Place Greater Challenges on Smaller Shelters

Shelters and any other enterprise have both fixed and variable costs. Variable costs vary with the level of operations. In other words, if an animal shelter takes in more animals, it incurs more costs to care for the animals (i.e. additional kennel staff to care for animals, veterinary expenses, etc.). Fixed costs do not vary with the level of operations in the short-term. Examples include rent, administrative salaries, such as those of an Executive Director, and insurance. If a shelter has a high amount of fixed expenses, it basically starts in a hole and needs significant revenue, such as taxpayer funding, donations and adoption fees to cover these costs.

Fixed costs are more significant at smaller shelters. Typically animal control shelters are funded indirectly based on the number of animals they take in. In other words, shelters expecting to take in more animals receive more money from the contracting municipality than if those shelters anticipated impounding fewer animals. At a smaller shelter taking in fewer animals, that means less revenue comes in. On the other hand, that shelter will typically incur many of the same fixed costs as a larger shelter. As a result, smaller shelters have high costs, but lack the revenue to cover those expenses.

The following example illustrates the financial challenges smaller shelters face. Let’s assume a municipality has 20,000 people. Based on the average New Jersey community taking in around 8 dogs and cats per 1,000 people, the shelter would impound 160 dogs and cats each year. In order to ensure a prompt response to animals in distress at any time of day, the municipality would require at least two ACOs. Additionally, the shelter would require a director to manage the facility. Assuming a $50,000 salary for each ACO and an $80,000 salary for the shelter director, the municipality would spend $180,000 on these employee salaries alone. This works out to a cost of $9 per resident for animal control and sheltering just considering these fixed costs. However, most New Jersey communities only pay around $2 or less per resident for animal control and sheltering. Furthermore, the municipality would spend $1,125 per animal and that would exclude any direct animal care costs and other fixed and variable costs. As a comparison, some no kill animal control shelters spend less than $300 per animal counting all costs. Thus, operating a small animal control shelter is very expensive.

Municipalities often operate under a pound model to compensate for these unfavorable economics. Under a pound model, the shelter has no director and ACOs work in the shelter when not on animal control calls. Unfortunately, most ACOs are not qualified to perform all the specialized tasks at an animal shelter, such as providing veterinary care, customer service, marketing, fundraising, community relations, etc. Often these facilities operate for very limited hours and many times are not open during those times when an ACO is out on a call. Also, many times these pounds only hold animals for a short period of time and then either kill the dogs and cats or send the pets to rescues. Furthermore, many of these pounds often rely on various fines and fees to raise money that result in the facility impounding more animals, more animals staying longer at the shelter and more killing. Examples include aggressive enforcement of animal control laws and high owner reclaim fees. Thus, many of the compensating measures to reduce operating costs of small animal control shelters do not benefit the animals.

Preferred Animal Shelter Operating Models

Municipalities can use shared service arrangements for animal control services while operating a local shelter. While towns operating their animal control operation undoubtedly improve response times, such functions are expensive. Recently, Fair Lawn sought proposals to outsource its animal control operation, but maintain its municipal shelter. Fair Lawn budgeted $141,000 for animal control officers salaries in 2014 when the municipality performed animal control and ran the shelter . In 2015, the Bergen County Animal Shelter put out a bid for just $42,000 to provide animal control services and operate the town’s local animal shelter (Fair Lawn ultimately selected Tyco Animal Control). As a result, a municipality can save significant amounts of money by outsourcing animal control, but keeping the local animal shelter.

Multiple small municipal shelters can collaborate and share expenses. In a small animal shelter, an Executive Director, behaviorist, marketing manager, ACO and a veterinarian would not have enough work to keep busy. However, several small municipal shelters can collectively hire these specialized people to provide such services. For example, the veterinarian can spend a couple of days a week at one shelter, a day or two at other facilities, and go to individual shelters additional times when needed (i.e. an emergency). Typically, many small and medium sized shelters contract with a private veterinarian who prioritizes his or her individual clients over shelter animals. Thus, smaller shelters can work together to obtain the benefits of operating both a small and large shelter while keeping costs down to a manageable level.

Several small shelters can also collaborate to operate adoption centers at pet stores. Typically, a small shelter could not provide enough animals and staff and volunteers to operate a dog and cat adoption center in a Petco or PetSmart. However, several small shelters would have enough animals to place in these venues. Additionally, these shelters collectively could hire the staff and/or recruit the volunteers needed to run the operation. In exchange, the shelters could enter into an arrangement with each other to split the costs and revenues from operating the adoption center in an equitable manner. Thus, small shelters can work together to conduct activities only bigger shelters do.

Small municipal animal shelters can use volunteers to significantly reduce costs. Volunteers provide free labor to perform basic tasks like cleaning the shelter and administrative work. Additionally, volunteers conduct activities requiring highly specialized skills, such as behavioral rehabilitation, marketing and fundraising. For example, Michigan’s Chippewa County Animal Shelter saved 98% of its dogs and cats in 2014 despite receiving only $182 of government funding per dog and cat. As a comparison, Associated Humane Societies takes in around $900 of total revenue in per dog and cat. Chippewa County Animal Shelter, which takes in nearly 1,000 dogs and cats in a year and serves a human population of around 39,000 people, only has a shelter manager and three kennel attendants. In fact, the Chippewa County Animal Shelter credits its volunteer and foster programs for saving lives.  Thus, small shelters relying heavily on volunteers can run efficient and effective operations.

Private volunteer organizations dedicated to helping shelters can improve the efficiency and effectiveness of small shelters. Often these organizations have more time to dedicate to developing and enhancing volunteer programs. For example, an ACO at a small shelter may not have the time or the skills to recruit volunteers as well as a separate volunteer group dedicated to that effort. An example in New Jersey is EASEL and the Ewing Township Animal Shelter. Prior to EASEL taking over the Ewing Animal Shelter several months ago, EASEL helped the shelter attain no kill status through its coordinated volunteer efforts. Thus, independent volunteer organizations can make shelter programs more effective.

Privatizing small municipal shelters can significantly improve efficiency. Municipal shelters of any size face more bureaucratic challenges. For example, the municipal council may have to approve any policy changes, such as lowering adoption fees for a promotion, making it difficult to save lives. Additionally, municipal shelter employees typically are in a union and the union can make it next to impossible to terminate poorly performing staff. In perhaps the most egregious case of unions interfering in shelter operations, the Teamsters Local 210 President defended the Helmetta Regional Animal Shelter Director and Assistant Director, who were subsequently charged with animal cruelty, despite ample evidence showing these people committed unspeakable atrocities. Even after the local prosecutor charged the former Helmetta Regional Animal Shelter Director and Assistant Director with animal cruelty, the union continued to fight against Helmetta’s firing of these two people. Thus, private organizations can operate more efficiently than municipal shelters.

Large organizations also can obtain some of the benefits of smaller shelters. Big shelters should operate adoption centers at Petco and PetSmart stores to reduce the number of animals at their main shelters and to increase adoptions. KC Pet Project, which operates Kansas City’s no kill animal control shelter, runs two permanent off-site adoption locations and adopts out 35% of its animals at these locations. Additionally, large shelters can operate smaller facilities and use its leadership to oversee those operations in a manner similar to the collaboration model I describe for smaller shelters above. Thus, large shelters can also obtain some of the benefits smaller shelters enjoy.

At the end of the day, just about any shelter, large or small, can succeed if it enthusiastically implements highly effective programs, such as those making up the no kill equation, to reduce intake and quickly send animals to good homes. However, shelters can operate even more effectively if they utilize some of the business models discussed in this blog. Clearly, homeless animals should expect organizations to operate at the highest possible level given these creatures lives are literally on the line. Thus, municipalities and shelters should act to make their operations more efficient and effective at saving lives.

2014 Cat Report Cards for New Jersey Animal Shelters

Cats are losing their lives at an alarming rate in New Jersey animal shelters. Over 20,000 cats or 45% of the cats coming into New Jersey animal shelters in 2014 were killed, died, went missing or were unaccounted for. This blog explores the reasons why this tragedy is occurring and whether we can end the massacre. Additionally, I’ll try and answer the question whether shelters need to resort to neutering and releasing healthy friendly cats or not impounding these cats at all to avoid killing cats in shelters.

Model Assesses New Jersey Animal Shelters’ Life Saving Performance

In order to assess how good of a job New Jersey animal shelters are doing, I’ve developed an analysis I call the “Life Saving Model.” While shelter performance is dependent on many variables, such as finances, facility design, local laws, etc., the most critical factor impacting potential life saving is physical space. As a result, my analysis focuses on making the best use of space to save the maximum number of New Jersey cats.

The Life Saving Model measures the number of local animals a shelter should adopt out, rescue from other facilities, send to rescues or other shelters and euthanize to achieve no kill level save rates. The targeted outcomes take into account each facility’s physical capacity and the number of cats the organization receives from its community (i.e. strays, owner surrenders, cruelty cases). I assume a target euthanasia rate, take the number of cats actually returned to owners and then estimate how many community cats a shelter should adopt out. To the extent space runs out, I then calculate how many cats must be sent to rescue. If the shelter has excess space after properly serving its local community, the facility uses that room to rescue and adopt out cats from nearby areas. The targeted results calculated from this model are compared to the actual results from each shelter below.

The Life Saving Model requires a more complex analysis for cats than dogs in New Jersey. Generally speaking, New Jersey animal shelters receive few litters of young puppies who are vulnerable to disease. On the other hand, local shelters receive lots of young kittens, particularly during the April to October kitten season. These young kittens are highly vulnerable to disease and those without mothers require bottle feeding every 1-2 hours. Therefore, these kittens should not be held in a traditional shelter setting and instead need to go to foster homes or a kitten nursery at or outside of the shelter. During the months outside of kitten season (i.e. November – March), my model assumes shelters with enough physical space will be able to place young kittens into their volunteers’ foster homes and/or in a kitten nursery run by the animal shelter. In kitten season with many young animals coming in, I assume a certain percentage of the cat intake will need to go to rescues or other shelters. For shelters who rescue cats, I assume a small percentage of the cats are young kittens who are hopelessly suffering and will require humane euthanasia. Thus, my Life Saving Model is a bit more complicated than the analysis I did for dogs.

To read specific details and assumptions used in the model, please see the Appendix at the end of this blog.

I modified the methodology for space-constrained shelters for this year’s analysis. Space constrained shelters do not have enough room to adopt out all of the animals they need to. Therefore, these shelters require rescue help. In the past, I assumed these shelters adopted out each cat based on the average time it takes to adopt out all cats. However, many cats require much less time to get adopted. Therefore, I assumed space-constrained shelters adopted out these animals first and then sent the cats taking longer to adopt out to rescues. While this significantly changed the results for space-constrained shelters, this assumption only had a minor impact on the overall results for all New Jersey animal shelters.

I also revised my analysis this year to put a cap on the targeted numbers of cats rescued from other shelters and cat adoptions. While my unmodified targeted numbers of rescued and adopted animals are quite achievable, I wanted to provide very conservative goals for New Jersey animals shelters. For example, the unmodified model resulted in a statewide per capita cat adoption rate less than half the level found at some of the best animal control shelters.

My modified analysis capped cat adoptions at 8 cats per 1,000 people within each New Jersey county. In other words, the targeted numbers of cats rescued from other shelters and adopted below are the lesser of

  1. Number predicted by model
  2. Number determined by capping adoptions at 8 cats per 1,000 people in the county

In simple terms, a shelter is expected to achieve this per capita adoption rate unless the facility lacks enough space. If a shelter does not have sufficient room, it won’t have the time to reach all the potential adopters and requires assistance from rescues and/or other facilities.

Another complexity in this analysis are feral cats. In an ideal world, shelters would practice trap-neuter-return (TNR) or shelter-neuter-return (SNR) for feral cats only. In TNR, the public or a third party typically does the work and the shelter doesn’t take in feral cats. In the variant of SNR I support, the shelter would take in feral cats, neuter them and release them back to where they were found. Unfortunately, many municipalities prohibit these programs and shelters in these places generally catch and kill feral cats.

Ideally, I would perform two analyses as follows:

  1. Modeling a large scale and targeted TNR program by reducing cat intake at shelters needing to implement TNR or improve their existing TNR programs
  2. Estimating the number of truly feral cats taken in and counting these cats as killed

The first analysis assumes TNR could be implemented and would result in fewer New Jersey cats for shelters to place. In a blog I wrote last year, I estimated the impact of a high volume targeted spay/neuter program. Generally speaking, this analysis required many animal control shelters to adopt out more cats, send fewer cats to rescue, and rescue more cats from other shelters due to the extra shelter space resulting from lower local cat intake. In other words, this analysis would require shelters to achieve higher performance targets.

The second analysis assumes local laws cannot be changed and shelters are stuck receiving unadoptable feral cats. Unfortunately, I do not have the data to calculate the percentage of truly feral cats received at each New Jersey animal shelter. Based on an analysis of Michigan animal shelter data, Nathan Winograd estimated at least 6% of cat intake at Michigan animal shelters are truly feral cats. Similarly, Wisconsin’s Clark County Humane Society 2014 cat statistics show feral cats who were trapped, vaccinated and returned to the community made up 7% of cat outcomes. Based on these numbers and the success of barn cat programs in Pflugerville, Texas and the Maryville, Tennessee area, barn cat programs should be able to save most feral cats in similar communities. On the other hand, California’s Orange County Animal Care reported approximately 24% of the cats it took in during 2012, which was before it practiced TNR, were feral and euthanized. However, I suspect at least some of these cats were fearful rather than truly feral and could have been socialized and eventually adopted out. In fact, a recent study documented 18% of impounded cats were feral/aggressive, but all these cats became safe enough to adopt out after people gently touched the cats and spoke to them softly for 6 days. Thus, the number of truly feral cats may be much lower than amount of cats most shelters label as aggressive.

My model assumes shelters are doing the proper thing and practicing TNR and placing the reasonable number of feral cats received as barn cats. Obviously, many shelters do take in a good number of feral cats due to poor laws or misguided policies. As a result, the number of New Jersey cats killed may be higher than my model predicts for some shelters. However, my model’s results using total cat intake rather than assuming a larger percentage of feral cats will not be too much different for the targeted adoption and euthanasia rate metrics as explained in last year’s blog.

The following analysis assumes shelters receive a reasonable number of truly feral cats. As a result, shelters can adopt out these cats through a barn cat program. While I realize some shelters do receive greater numbers of truly feral cats, the purpose of this analysis is to examine whether New Jersey animal shelters can handle the number of cats received.

New Jersey Animal Shelters Contain Enough Space to Save Most of New Jersey’s Healthy and Treatable Cats and Many More from Other States

New Jersey’s animal shelter system has enough space to save most of the state’s healthy and treatable cats. The table below details the targeted numbers of cat outcomes the New Jersey animal shelter system should achieve. Out of the 45,162 New Jersey cats coming into the state’s animal shelters in 2014, 32,501 and 7,583 cats should have been adopted out and sent to other shelters/rescues by the facilities originally taking the cats in. However, other New Jersey animal shelters had enough capacity to rescue 24,931 cats or more than three times the number of cats needing rescue from space constrained facilities. Unfortunately, some of the cats needing rescue, such as very young kittens, should not go to a shelter and still must go to either kitten nurseries or foster homes. That being said, many adult cats are in fact killed in New Jersey animal shelters and many facilities with excess space could save these cats.

New Jersey animal shelters have enough excess space to save many cats from out of state as well. Specifically, New Jersey animal shelters had enough physical capacity to rescue and adopt out at least 17,348 cats from out of state shelters or New Jersey’s streets after achieving a greater than 90% live release rate for cats coming into the state’s animal shelters. In reality, the New Jersey shelter system could rescue more than 17,348 cats from out of state shelters or from New Jersey’s streets given the 17,348 figure assumes all cats needing rescue from space constrained New Jersey shelters are sent to other New Jersey shelters as opposed to rescue groups. As explained above, some of the cats needing rescue from New Jersey shelters with a shortage of space are young kittens which should not go into most animal shelters. To put this number into perspective, New Jersey animal shelters contain enough space to make both New York City and Philadelphia no kill cities for cats and increase those cities’ cat live release rates to 92% as follows (per 2014 data):

  • New York City – 3,127 additional cats need saving
  • Philadelphia – 3,786 additional cats need saving

Certainly, some New Jersey animal shelters do pull some cats from New York City and Philadelphia animal control shelters. Even if I assumed all of the out of state cats rescued by New Jersey animal shelters came from New York City and Philadelphia, that number is only 6% of the number that New Jersey shelters could rescue from New York City and Philadelphia animal control shelters. While some of these cats from New York City and Philadelphia animal control shelters are young kittens which should not go into a normal animal shelter, many other cats could go to New Jersey animal shelters and be adopted out. As a result, the additional number of cats New Jersey animal shelters could save from New York City and Philadelphia is not much lower than the figures above. Thus, New Jersey animal shelters could make New Jersey a no kill state for cats and help other states reach that goal as well.

These adoption goals are quite achievable when comparing the performance of well-run animal control shelters across the country. New Jersey animal shelters would only need to adopt out 6.4 cats per 1,000 people in the state (4.6 cats per 1,000 people if no cats were rescued from out of state and all cats sent to rescue were rescued by other New Jersey animal shelters and adopted out). As a comparison, recent per capita cat adoption numbers from several high performing no kill open admission shelters are as follows:

  • Tompkins County SPCA (Ithaca, New York area) – 16.5 cats per 1,000 people
  • Lynchburg Humane Society (Lynchburg, Virginia) – 11.1 cats per 1,000 people
  • Charlottesville-Albemarle SPCA (Charlottesville, Virginia area) – 10.8 cats per 1,000 people
  • Williamson County Animal Shelter (Williamson County, Texas area): 10.0 cats per 1,000 people
  • Nevada Humane Society (Reno, Nevada area) – 9.3 cats per 1,000 people

Thus, many communities are already adopting out significantly more cats than the number I target for New Jersey animal shelters.

Additionally, the adoption target, 6.4 cats per 1,000 people, I set out for New Jersey animal shelters is lower than the state of Colorado’s per capita cat adoption rate of 7.3 cats per 1,000 people. Given Colorado still has some regressive animal shelters and only an 82% live release rate for cats, Colorado’s per capita cat adoption rate can increase. Thus, the cat adoption targets I laid out for New Jersey animal shelters are quite achievable.

2014 Cats Targets

Cat Deaths Vary Widely at New Jersey Animal Shelters

The goal of any properly managed animal shelter is to save all of its healthy and treatable animals. In some cases, such as selective admission rescue oriented shelters, it is pretty easy to not kill animals. In addition, other animal shelters with easy to service animal control contracts (i.e. few animals impounded) can avoid unnecessary killing due to having lots of extra space. As a result, some shelters may have an easier time than others in preventing killing at their shelters.

The tables below detail the death rates for cats at each New Jersey animal shelter. All cats missing are assumed “dead” based on the assumption they died or went to a very bad place. Shelters having cat death rates equal to or less than 8% and greater than 8% are highlighted in green and red in the tables below.

The overall results show too many cats are unnecessarily losing their lives at New Jersey animal shelters. Based on the assumptions above, 15,791 savable cats lost their lives or went missing at New Jersey animal shelters in 2014. Obviously, some of these cats are truly feral and require TNR or placement as barn cats, but surely many others could be adopted out. Thus, New Jersey’s shelter system is failing its cats.

Several animal shelters in South Jersey and elsewhere account for a large percentage of the savable cats unnecessarily losing their lives. Specifically, Atlantic County Animal Shelter, Burlington County Animal Shelter, Camden County Animal Shelter, Cumberland County Animal Shelter and Gloucester County Animal Shelter account for 7,441 of the or 47% of the 15,791 cats needlessly losing their lives. Associated Humane Societies three shelters had 1,818 cats unnecessarily lose their lives in 2014. Northern Ocean County Animal Facility and Southern Ocean Animal Facility had 1,344 cats lose their lives needlessly in 2014. Bergen County Animal Shelter, which happens to serve many towns in one of the country’s wealthiest counties, had 805 cats unnecessarily lose their lives in 2014. Collectively, these 11 shelters are 11% of the state’s shelters and account for 11,408 or 72% of the cats needlessly losing their lives.

Rescue oriented shelters generally had fewer cats lose their lives than targeted. While saving large numbers of cats is what we all want, some of these shelters may have achieved this result by taking in easier cats. Austin Pets Alive, which is a rescue oriented shelter in Texas, has developed some of the most innovative cat programs and only had a cat live release rate of 93% in 2014. This was due to Austin Pets Alive taking in many cats requiring significant treatment, such as neonatal kittens, from the city animal control shelter. As a result, some of the rescue oriented shelters with significantly fewer cats euthanized than targeted may have avoided taking in many of the more difficult cases.

Several animal control shelters euthanized the targeted number of cats or fewer. Denville Animal Shelter, Ewing Animal Shelter, Byram Township Animal Shelter, Humane Society of Ocean County, Secaucus Animal Shelter, Trenton Animal Shelter and West Milford Animal Shelter prove municipal animal shelters can avoid killing healthy and treatable cats. While Bergen Protect and Rescue Foundation, North Jersey Humane Rescue Center and Hunterdon Humane Animal Shelter reported low euthanasia rates and have animal control contracts, I cannot rely on their numbers due to the turmoil at these shelters during this time.

2014 Cat Death Rate

2014 Cat Death Rate (2)

2014 Cat Death Rate (3)

Space Constrained Facilities Not Receiving Enough Support from Rescues and Other Animal Shelters

Some animal shelters will require more support from rescues and animal shelters with excess space than others. If a shelter has relatively high intake and very limited space, it will need more help than other shelters. While sending animals to rescues is a good thing, we do want shelters most needing rescue support to receive that help given rescues have limited resources. The tables below compare the number of cats a shelter should transfer to other organizations per the model and the number of cats actually sent to other animal welfare groups. Shelters marked in green are receiving less than the expected rescue support while facilities marked in red are receiving too much rescue help.

Overall, New Jersey shelters are not receiving enough help from other animal welfare organizations. While the overall number of cats rescued was about 82% of the amount needed for the state as a whole, the actual number was 41% since many cats were rescued from facilities which did not require so much rescue assistance. Only 23 out of the 76 facilities needing rescue assistance received the required support. In other words, only 30% of the animal shelters needing rescue help received the amount these facilities require.

We truly need to understand the reasons for this rescue shortfall. While poor data collection (i.e. shelters classifying rescues as adoptions) may explain part of this rescue deficit, the large size of this number points to other causes as well. For example, New Jersey shelters significantly exceeded their dog rescue needs, but only received 82% of their cat rescue requirements. Certainly, some of these cats are feral and not candidates for most rescues. However, many other cats surely are home-able. Many high kill facilities may not reach out to rescues for cats, such as during kitten season, as much as they do for dogs. This data supports the need for the Companion Animal Protection Act (“CAPA”), which requires shelters to contact rescues and other facilities at least two business days before killing animals. On the other hand, shelters with excess capacity may not be doing their part to save cats from space constrained facilities.

Several shelters received too much rescue help. Rescues may want to help these organizations due to rescue friendly policies. Alternatively, these shelters may be relying too heavily on rescues to save their animals. Shelters receiving the most extra rescue support were as follows:

  • Associated Humane Societies-Newark – 714 more cats transferred than necessary
  • Cape May County Animal Shelter – 224 more cats transferred than necessary
  • Paterson Animal Control – 221 more cats transferred than necessary (estimated due to the shelter’s incorrect reporting of rescues as adoptions)
  • Trenton Animal Shelter – 195 more cats transferred than necessary
  • Toms River Animal Facility – 181 more cats transferred than necessary
  • Elizabeth Animal Shelter – 140 more cats transferred than necessary
  • Hunterdon Humane Animal Shelter 124 more cats transferred than necessary
  • Helmetta Regional Animal Shelter – 78 more cats transferred than necessary
  • East Orange Animal Shelter – 71 more cats transferred than necessary
  • Linden Animal Control – 65 more cats transferred than necessary

While Cape May County Animal Shelter is known as a progressive shelter, most of the other facilities are not good in my opinion. Local activists have campaigned to remove Toms River Animal Facility’s Shelter Director, Jim Bowen. Associated Humane Societies-Newark has a history of problems and kills animals for ridiculous reasons. Paterson Animal Control has no volunteer program, no social media page or even a website with animals for adoption. Elizabeth Animal Shelter illegally killed two dogs last year on the day the animals arrived at the facility. Hunterdon Humane Animal Shelter, Helmetta Regional Animal Shelter, East Orange Animal Shelter and Linden Animal Control were all investigated in the last year or two due to serious state shelter law violations. Thus, many shelters receiving greater than expected rescue support seem to do little more than allow rescues to save the day.

On the other hand, many space constrained shelters received far less rescue help than needed. Facilities receiving the lowest amount of rescue support in relation to their needs were as follows:

  • Cumberland County SPCA – 865 fewer cats transferred than necessary
  • Atlantic County Animal Shelter – 306 fewer cats transferred than necessary
  • Hamilton Township Animal Shelter – 293 fewer cats transferred than necessary
  • Gloucester County Animal Shelter – 292 fewer cats transferred than necessary
  • Vorhees Animal Orphanage – 219 fewer cats transferred than necessary
  • Camden County Animal Shelter – 177 fewer cats transferred than necessary

The million dollar question is why do these shelters receive very little rescue help? As you will see below, Vorhees Animal Orphanage adopts out many cats and is doing a good job. On the other hand, Gloucester County Animal Shelter pursues an aggressive catch and kill policy for feral cats, routinely illegally kills animals during the 7 day hold period, does not adopt out animals at the shelter on weekends, allows disease to spread like wildfire and violates New Jersey shelter laws to an outrageous degree. As a result, shelters receiving too little rescue help may or may not be doing their part to get that assistance.

Rescue groups and shelters with extra space should pull cats from kill shelters with the highest rescue “target” numbers and deficits in the tables below. If shelters not needing rescue support get that extra help, these shelters will not take the steps necessary to properly run their facilities. As a result of enabling poorly performing shelters and not pulling cats from truly space constrained facilities, rescuing cats from shelters with enough space leads to less lifesaving.

Shelters receiving less than needed rescue support should also examine their own policies and performance. Are the shelter’s operating processes allowing too many animals to get sick and therefore discouraging organizations to rescue their animals due to subsequent medical costs? Does the shelter actively reach out to rescues/other shelters and treat them with respect? Does the shelter make it convenient for other organizations to pull their animals?

Given killing animals for space is intolerable, the space-constrained shelters need to expand their effective cat capacity. These facilities could use extra space in their buildings to house cats on a short-term basis. These shelters can enter into arrangements with local veterinarians and local pet stores to house and adopt out some cats. Furthermore, shelters can create or expand foster programs to increase the number of cats cared for. Additionally, creating a pet owner surrender prevention program and an appointment system for owners willing to delay surrendering their cats could free up space in these shelters. Finally, space-constrained shelters with multiple animal control contracts should terminate some of these arrangements to bring their capacity for care in line with the number of cats they take in. As a result, space constrained shelters still need to take active steps to reduce killing rather than simply solely relying on rescue support.

2014 Cats Rescued

2014 Cats Rescued (2)

cr (3)

Most New Jersey Animal Shelters Fail to Come Close to Reaching Their Cat Adoption Potential

We can assess each shelter’s contribution to making New Jersey and nearby areas no kill. While a shelter may be able to avoid killing healthy and treatable animals, it still may not live up to its potential for adopting out cats. On the other hand, a space constrained shelter may kill healthy and treatable cats, but still do a good job adopting animals out.

The tables below compare the number of cats from New Jersey and nearby states each animal shelter should adopt out with the estimated number of cats actually adopted out.

Rescue oriented organizations may look better than they actually are. Many rescue oriented shelters likely pull much easier to adopt cats than the bulk of cats needing to get rescued from local facilities.

Few organizations reached or exceeded their adoption targets. Specifically, only 8 out of 97 shelters met the cat adoption goals computed by the Life Saving Model. Thus, the overwhelming number of New Jersey animal shelters need to step up their adoption efforts.

Several rescue oriented shelters exceeded their adoption targets. Animal Welfare Association exceeded its cat adoption target by the most of any shelter in terms of total adoptions. Based on the the types of cats currently available for adoption and the cat death rate of 7%, Animal Welfare Association does not seem to just take in highly sought after cats. Animal Welfare Association has reasonable normal adoption fees of $95 for kittens and $65 for adult cats, but runs reduced and no adoption fee promotions as well. Animal Welfare Association also waives fees for certain cats who may take longer to adopt out, such as cats who are older or have behavioral or health issues. Furthermore, the shelter’s “Best Friends” program allows people who adopt a cat to pay just $25 for a second cat who is 1 year or older. Additionally, Animal Welfare Association uses an open adoption process focused on properly matching animals and people rather than an overly judgmental procedure based on black and white rules. To aid its open adoptions process, Animal Welfare Association uses the ASPCA’s Feline-ality program. Animal Welfare Association’s adoption rate increased by 20% and its cat length of stay decreased by 23 days after the shelter implemented the Feline-ality program. Finally, Animal Welfare Association installed perches in their cat enclosures to provide cats more vertical space which keeps the cats happier and more adoptable. Beacon Animal Rescue also exceeded its adoption target and charges a reasonable $75 fee for all cats. Other rescue oriented shelters exceeding their adoption targets were Animal Adoption Center, Mt. Pleasant Animal Shelter and Ramapo-Bergen Animal Refuge. Thus, several rescue oriented shelters exceeded their cat adoption targets and Animal Welfare Associated used a variety of innovative strategies to adopt out many cats.

Several animal control shelters also exceeded their adoption targets. Despite not being open many hours, West Milford Animal Shelter exceeded its adoption goal by the most of any animal control shelter in terms of total cat adoptions. This shelter charges a very reasonable $35 fee for all cats and runs a creative Facebook page called “The Real Cats at West Milford Animal Shelter.” Byram Township Animal Shelter also exceeded its adoption goal. While the shelter has very limited adoption hours, the shelter’s volunteer organization partner also holds frequent adoption days at high traffic retail stores. The shelter’s volunteer organization charges reasonable adoption fees of $75 and $85 for cats and kittens, but also offers discounts when two or more cats are adopted together. Also, adoption fees for senior and special needs cats are only $35, but those fees are currently reduced to $25 for the holiday season. The Humane Society of Ocean County also exceeded its cat adoption target. While the shelter’s hours are fairly limited, the regular adoption fees for cats and kittens are only $50. In addition, the shelter adopts out barn cats who otherwise could not go to most homes. Additionally, the shelter proudly markets itself as a no kill animal control shelter and has a modern in-house veterinary facility that helps keep cats healthy and adoptable. Vorhees Animal Orphanage came close to meeting its adoption goal. This shelter’s normal adoption fees are quite reasonable. For example, cats at the shelter for 6 months or longer are $30, senior cats are $50, adult cats are $65, and kittens are $100. The shelter also is open 7 days a week, including weekday evenings and weekends (except one Wednesday a month and certain holidays), which makes it convenient for working people to adopt animals. Additionally, Vorhees Animal Orphanage adopts cats out at one PetSmart store and three PetValu locations. Thus, several animal control shelters exceeded or came close to achieving their cat adoption goals and therefore prove these adoption targets are achievable.

Rescues should focus on pulling animals from Vorhees Animal Orphanage. This shelter has a high cat death rate and its need for rescues greatly exceeds the amount of animals actually pulled from this organization. While some of these cats may be feral and therefore not adoptable, many other cats surely could be rescued from this shelter. Given this shelter is adopting cats out at a good rate, rescues and other other shelters should help this facility out by pulling more cats from Vorhees Animal Orphanage.

Some municipal animal control shelters may be doing a better job with cats than the numbers below indicate. In some cases, municipalities may frown on government run shelters using taxpayer funds to rescue cats from elsewhere. My suggestion to these shelters is to find ways to use more of your facility’s capacity to expand your lifesaving work to other areas. For example, these shelters should consider taking in animals from other shelters for a fee or even contracting with other municipalities.

Associated Humane Societies performance is particularly disappointing. Specifically, Associated Humane Societies has the physical capacity to significantly reduce the killing of healthy and treatable cats. Associated Humane Societies adoption shortfall of 5,542 cats is 35% of the 15,791 cats unnecessarily losing their lives in New Jersey animal shelters. Associated Humane Societies has the funding to reach these adoption targets as the organization took in over $8 million of revenue last year. This works out to nearly $600 of revenue per dog and cat I project the shelter should take in per my Life Saving Model. As a comparison, Nevada Humane Society, KC Pet Project, and Upper Peninsula Animal Welfare Society, which are no kill open admission shelters, took in only $219-$505 of revenue per dog and cat. Activists wanting to increase life saving in New Jersey should focus on changing Associated Humane Societies’ policies given the lifesaving potential of this organization.

Several other shelters had significant adoption shortfalls. Bergen County Animal Shelter’s adoption shortfall of 1,913 cats is quite disappointing. Bergen County is among the top 1% of the nation’s wealthiest counties and the shelter received nearly $500 of funding per dog and cat I project the shelter should take in based on direct support from Bergen County and the revenue from the local charity that helps support the shelter. Helmetta Regional Animal Shelter’s, Gloucester County Animal Shelter’s, Montclair Animal Shelter’s and East Orange Animal Shelter’s adoption shortfalls of 2,361 cats, 1,454 cats, 712 cats, and 253 cats are not surprising given the widely documented problems at these facilities during this time. Thus, many shelters with the ability to adopt out many cats are failing to do so.

2014 Cat adopt

2014 Cat adopt (2)

2014 Cat adopt (3)

Shelters Fail to Use Excess Space to Save Cats

To further examine New Jersey animal shelters’ performance in saving homeless cats, I compared the targeted number of cats each shelter should pull from nearby shelters to the number actually rescued from local facilities. I assume all cats rescued from out of state came from nearby areas, such as Philadelphia and New York City. While some of the out of state rescued cats may have comes from far away areas, I believe this is a small number and does not significantly impact the results.

Virtually all New Jersey animal shelters are failing to rescue the number of cats they should. 91 of the 97 shelters should rescue some cats from other local shelters. In fact, 50 of the 91 shelters with targeted excess capacity failed to rescue even a single cat from other animal shelters. Only 3 shelters with significant amounts of space to rescue cats from nearby shelters met or exceeded their cat rescue target. Thus, nearly all New Jersey animal shelters with targeted excess capacity are failing to do their share in ending the killing of healthy and treatable cats.

2014 rescued cats

2014 rescued cats (2)

2014 rescued cats (3)

TNR Is Essential, But Should Not Be An Excuse to Do Nothing

TNR must be instituted to end the killing of healthy and treatable cats. While many shelters may potentially come close to or reach a 90% live release rate, feral cats may still be killed. Simply put, New Jersey cannot become a no kill state without TNR becoming the law of the land. The Companion Animal Protection Act (“CAPA”) prevents shelters and municipalities from taking actions to hinder TNR, such as banning feral cat colony caretakers from feeding cats and lending traps out to the public for catching and killing feral cats. Even without an explicit law allowing TNR, the New Jersey Department of Health should encourage municipalities to implement TNR by changing its neutral stance on TNR to an endorsement of the practice. Furthermore, shelters, especially private facilities with animal control contracts, should refuse to take feral cats from places where TNR is prohibited and the shelter cannot place these feral cats as barn cats or send these animals to reputable sanctuaries per recommendations of many national animal welfare groups.

Shelters should not use anti-feral cat laws as an excuse for failing to institute innovative programs. Too many times shelters blame anti-feral cat ordinances for their outrageously high cat kill rates. However, my analysis proves cats are not dying in New Jersey’s shelter system due to too many cats coming into the state’s shelter system. While TNR certainly would reduce cat intake and make saving lives easier, our state’s shelter system has more than enough space to handle the number of cats that come in. Shelters need to implement key programs, such as foster care, high volume adoptions, and vaccination upon intake. Additionally, shelters need to stay open weeknights and weekends when working people can adopt. Similarly, shelters should use innovative marketing, customer friendly open adoption processes, multiple off-site adoption locations, and frequent discounted adoption promotions to quickly move cats into good homes. Furthermore, implementing a program where fearful and aggressive cats are touched gently and spoken to softly likely will significantly reduce the number of cats labeled as “feral” and increase adoptions. Thus, anti-TNR ordinances do not prevent shelters from implementing other life saving policies.

Shelters Do Not Need to Leave Friendly Cats on the Street

Shelters do not need to neuter and release friendly cats or refuse to take these cats in given enough capacity exists within the New Jersey shelter system. In 2013, a group of animal welfare leaders, which included the Humane Society of the United States (“HSUS”) and the ASPCA, prepared a white paper stating a shelter should not impound cats if those cats or other cats in the shelter would subsequently be killed. The evidence supporting this policy, such as cats being more likely to find homes on the street than in traditional shelters, is quite strong. However, my analysis shows the entire New Jersey shelter system does have enough space to handle friendly cats. While certain shelters are space constrained and could benefit from refusing to admit healthy and friendly cats, other shelters in the state have more than enough capacity to step in and find these cats homes. Thus, New Jersey shelters do not need to resort to refusing to take in friendly cats or neutering and releasing friendly cats to avoid killing cats provided these shelters work together and follow best practices.

Kitten Nurseries and Ringworm Wards Key to Saving Vulnerable Cats

Orphaned kittens are typically automatically killed in traditional animal shelters due to the time commitment required to care for these animals. Unweaned kittens require bottle feeding as frequently as every 1-2 hours. As a result, kittens not placed into foster care are typically killed in most animal shelters.

Kitten nurseries or bottle baby wards radically increase the save rate for orphaned kittens still requiring milk. While foster care and rescue programs can save unweaned kittens, kitten nurseries are more efficient and make the job easier. Austin Animal Services, which is the animal control shelter in Austin, Texas, killed 1,200 plus kittens a year before Austin Pets Alive created a bottle baby program. Volunteers work in two hour shifts to feed and care for the kittens. Additionally, nursing mothers are pulled from the city shelter and used to help nurse highly vulnerable young kittens who are orphaned. Kittens are put on antibiotics and treated for fleas and worms immediately to help prevent complications from transitioning from breast milk to formula. Austin Pets Alive has pulled as many as 2,000 kittens a year from the city shelter and saved nearly 90% of these kittens in recent years through this bottle baby program. Best Friends created a kitten nursery in South Salt Lake City, Utah and saved 1,372 kittens from Salt Lake City area shelters. Similarly, several Jacksonville, Florida animal welfare groups created a nursery program called “Kitten University” which was “on track” to saving 1,400 kittens last year. Thus, kitten nursery programs can save young and vulnerable kittens.

Ringworm ward programs easily save cats with this skin fungus. In traditional animal shelters, cats with ringworm are killed due to the risk that other animals and humans will catch this skin fungus. Austin Pets Alive created a specific “Ringworm Ward” program to treat and adopt out these cats. These cats are treated both topically and orally in an isolated area. After the cats are no longer contagious, the cats are sent to foster homes to complete their treatment and regrow their hair. Austin Pets Alive uses steeply discounted adoption fees of only $15 along with catchy slogans like “Adopt a Fun Guy (Fungi)”, “Lord of the Ringworm”, and “Hairy(less) Potter” to quickly place these cats and open up space for additional cats with ringworm. 100% of cats entering this program are saved. Thus, shelters can save cats with ringworm.

Regional kitten nurseries and ringworm wards are the practical solution to saving these vulnerable cats. Given the New Jersey shelter systems has significant excess capacity to care for cats, certain shelters should convert some of that excess space for use as kitten nurseries and ringworm wards. Creating regional centers to care for unweaned kittens and cats with ringworm would allow the programs to run at a large enough scale to work efficiently. Shelters, such as Associated Humane Societies-Popcorn Park, Monmouth SPCA, and St. Hubert’s-Madison appear to have the space and financial resources to implement these programs. Furthermore, the Animal Welfare Federation of New Jersey (“AWFNJ”) should take the steps needed to create kitten nurseries and ringworm wards in regional centers throughout the state. Surely, the AWFNJ has the connections to convince key decision makers to implement these programs and obtain any necessary funding. Thus, New Jersey shelter leaders must immediately take the steps needed to save the large numbers of treatable kittens and cats with ringworm in our state’s shelters.

Results Require New Jersey Animal Shelters to Take Action

The findings from this analysis mandate New Jersey animal shelters change their ways. While TNR remains a significant issue, most shelters are clearly not taking steps to save large numbers of healthy and treatable cats. Many shelters are not vaccinating upon intake, charging excessive adoption fees, making it too difficult to adopt, not being open when working people can go to shelters, leaving cat enclosures empty, not trying to rehabilitate fearful and aggressive cats and not using barn cat, foster care, kitten nursery and ringworm ward programs. Simply put, too many shelters are not doing what it takes to save lives. With nearly half of all cats entering New Jersey’s shelters dying, going missing or being unaccounted for, our state’s shelters are failing their cats.

New Jersey shelters have a cat crisis and it is time for the killing to stop. We have the information and even the blueprints from numerous communities which stopped killing and started saving their cats. It is time the excuses ended and action begins. The public is fed up with the killing and demands shelters save their animals. Our state’s animal welfare organizations need to get on board the lifesaving wagon or risk getting run over by it. Which will they choose?

Appendix Life Saving Model Assumptions

The Life Saving Model utilizes the following basic animal shelter population equations to calculate the targeted cat outcomes for each facility:

Daily capacity or population = Daily animal intake x average length of stay

Average length of stay = Daily capacity or population/daily intake

Each shelter’s community cat intake (i.e. owner surrenders, strays, cruelty cases), number of cats returned to owners, and maximum cat capacity were taken from its 2014 “Shelter/Pound Annual Report” submitted to the New Jersey Department of Health.” Unfortunately, 2015 data will not be available until August 2016.

This data was then used as follows:

  • Community cat intake and cats returned to owners were initially estimated for each month by dividing the annual figures by 12. In order to take into account the extra space in low intake months and reduced space in high intake months, we multiply that number by each month’s percentage of the average month. For example, assume 240 cats were taken in during the year and the average month equals 20 cats (240/12). In July, the cat intake is 120% higher than the average month and we therefore multiply 20 cats by 1.2 to equal 24 cats. If 120 cats were returned to owners during the year, the estimated number of cats returned to owners in July would equal 12 cats (120/12 = 10; 10*1.2). The monthly intake percentages were based off 2014 cat intake data on the New York Animal Care & Control web site.
  • The estimated number of community cats returned to owners each month are then assumed to stay 5 days on average at shelters based on data from other shelters across the country.
  • The number of community cats euthanized (including animals who died or are missing) is set to equal 8% of intake. 8% is a reasonable standard euthanasia rate to use given other open admission animal shelters, such as Austin Animal Services, equal or exceed this target and New Jersey’s much lower per capita cat intake makes it easier to save lives. The average length of stay for euthanized cats is assumed to equal 8 days. I assume these cats have severe and untreatable health issues and are euthanized immediately after their required 7 day hold period.
  • The average length of stay used for adopted community cats was 42 days. This estimate was roughly halfway between the average cat length of stay figures for a number of no kill animal control shelters. For example, the average length of stay for cats in recent years was 14.2 days at Texas’s Williamson County Animal Shelter, less than 18 days at Nevada Humane Society, 21 days at Colorado’s Longmont Humane Society, 32 days at Lynchburg Humane Society,  33 days (32 for cats and 34 for kittens) at New Hampshire SPCA, 35 days at Montana’s Flathead County Animal Shelter, 41 days at Colorado’s Ark Valley Humane Society, and 61 days for adopted cats only at New York’s Tompkins County SPCA. While the average length of stay of adopted cats at these shelters other than Tompkins County SPCA may have been slightly higher since this data is for all cats and not just those adopted, the difference is not likely significant given adoptions represent most of the outcomes at these shelters. Unfortunately, I was not able to break down the adoption length of stay figures by age or breed for New Jersey’s shelters like I did in my analysis on dogs due to a lack of detailed cat intake data at New Jersey animal shelters. Upon reviewing cats up for adoption at several New Jersey animal control shelters and a few of the high performing facilities above, I did not see any significant differences in types of cats taken in. In the future, I hope to refine this analysis further.
  • The average length of stay used for community cats adopted out from rescue oriented shelters was 30 days. Rescue oriented animal shelters typically carefully select animals taken into their shelters. Based on the San Francisco’s SPCA’s 21 day and Tony La Russa’s Animal Rescue Foundation’s 23 day average length of stay figures reported a number of years ago, I used a shorter length of stay for community cats adopted from New Jersey animal shelters without animal control contracts. I chose 30 days as a conservative estimate.
  • Cats transferred to rescue or other facilities are assumed to stay at shelters 8 days on average based on the assumption strays can’t be released until the 7 day hold period elapses.
  • Community cats not returned to owners or euthanized are initially assumed as adopted for each month outside of kitten season (i.e. November-March). However, if the calculated length of stay exceeds the shelter’s required length of stay, cats are moved from adoption (i.e. with a longer length of stay) to rescue (i.e. shorter length of stay) until the calculated length of stay each month approximately equals the required length of stay.
  • During kitten season (April-October), animal control shelters are assumed to send a certain percentage of cats to rescue even if they have excess space. Due to the large numbers of kittens coming into shelters during these months, I assume shelters will not be able to place all of them into foster homes or a kitten nursery at this time. As a result, I assume animal control shelters will send 10% of their annual community cat intake to rescues based on the shelters’ estimated relative cat intake each month. For example, if a shelter took 100 cats in during the year and August made up 50% of the total cat intake from April to November, 5 cats would go to rescue in August (i.e. 100*10% = 10 cats; 10*50% = 5 cats). I used 10% based off the rescue percentage of cat intake in 2014 at Kansas City’s KC Pet Project. KC Pet Project is a no kill open admission shelter with an inadequate facility and is a good comparison for some of our state’s run down shelters. Shelters requiring rescue support due to space constraints are assumed to send these additional cats to rescues during kittens season.
  • Shelters are not expected to use the excess space created by fosters taking kittens to rescue and adopt out additional cats. This is based on the assumption that the kittens will return to shelters once old enough to safely stay at the facilities.
  • Required length of stay = Shelter’s reported capacity/adjusted daily intake for the month. Adjusted daily intake for month = Adjusted monthly intake per first bullet above/the number of days in the month.
  • Shelters with excess capacity are assumed to use the extra space to rescue and adopt out cats from other New Jersey animal shelters. Given some of these cats will be young and highly vulnerable kittens, I assume 5% of these rescues will be euthanized for humane reasons. I used 5% based off Austin Pets Alive’s and Austin Humane Society’s weighted average cat euthanasia rate in 2014. These two shelters pull many cats from Austin Animal Services, which is the city’s animal control shelter, and their cat euthanasia rate is a reasonable proxy for the percentage of hopelessly suffering cats rescued from animal control shelters. To the extent all healthy and treatable New Jersey animal shelter cats are saved, I assume additional cats are pulled from nearby states. The average length of stay for rescued and adopted cats is the same as the cats taken in by animal control shelters (i.e. 42 days). Similarly, I used 8 days as the average length of stay for rescued and euthanized cats from other shelters.
  • Each month’s targeted outcomes are added to determine how many cats New Jersey animal shelters should adopt out, send to rescue and rescue from other nearby animal shelters.
  • Space constrained shelters were assumed to adopt out their easiest to adopt animals first until they ran out of space. To estimate the average adoption length of stay, I used cat adoption length of stay data from Perth Amboy Animal Shelter from 2014 and the first half of 2015. I broke the adoption length of stay data into 5 groups that each made up 20% of the data. The average adoption length of stay for each of these 5 groups was calculated. The average adoption length of stay of each group was divided by the average length of stay for all of the adopted cats in the Perth Amboy Animal Shelter data set. Those percentages were then multiplied by the average cat adoption length of stay determined in the model above and used to determine the adoption lengths of stay used for space-constrained shelters.
  • The targeted number of cats adopted were capped at 8 cats per 1,000 people in each county. If the model yielded a higher result than this cap, the targeted numbers of cats adopted were equal to this cap. For shelters in these counties (except Passaic County), I calculated the cap at the county level and then reduced the number of cats adopted for the county to equal the cap. I excluded West Milford from Passaic County due the town’s large distance from the population centers in the rest of the county. Each shelter’s percentage of total targeted rescues in the county from the unmodified model were applied to the the total reduction in the number of cats adopted in the county to yield the targeted numbers of cats adopted in the modified model. Rescued and euthanized cats for these shelters were reduced based on the modified model’s assumption that shelters adopted out and euthanized 95% and 5% of rescued cats.

2014 New Jersey Animal Shelter Statistics Show Little Improvement

East Orange Animal Shelter Dog

Most New Jersey animal shelters voluntarily report detailed data to state authorities. Last September, I shared the 2014 summary statistics for New Jersey animal shelters on my Facebook page. Each year, the New Jersey Department of Health requests each licensed animal shelter in the state to submit animal shelter data for the previous year. Animal shelters voluntarily submit this data in the “Shelter/Pound Annual Report.” The New Jersey Department of Health takes these Shelter/Pound Annual Reports and compiles the number of dogs, cats and other animals impounded, redeemed, adopted and euthanized to prepare its Animal Intake and Disposition report. However, the Shelter/Pound Annual Reports include additional information on how animals were impounded (i.e. strays, owner surrenders, rescued from in-state facilities, rescued from out of state shelters, and cruelty/bite cases) and disposed of (i.e. returned to owner, adopted, sent to rescue/another shelter, and died/missing). Additionally, the Shelter/Pound Annual Reports include the number of animals in shelters at the beginning and end of the year as well as the maximum number of animals facilities can hold. Thus, the Shelter/Pound Annual Reports include very important data not found in the New Jersey Department of Health’s summary report.

I compiled the data from these reports and analyze the results in this blog. 2014 statistics for each New Jersey animal shelter are listed at this link.

Garbage Data Raises Serious Questions About New Jersey Animal Shelters’ Statistics

Several animal shelters, which reported statistics in prior years, failed to submit data in 2014. Specifically, Livingston Animal Shelter, Hunterdon Hills Animal Hospital, All Pets Veterinary Hospital and Warren Animal Hospital disclosed this data in 2013, but did not do so in 2014. These shelters failure to disclose data raises serious questions. For example, are they trying to hide embarrassing statistics from the public?

Most New Jersey animal shelters do not properly account for their animals. Simple math dictates the number of animals at a facility at the beginning of the year, plus all animals coming in during the year, less all animals leaving for the period, should equal the number of animals a shelter has at the end of the year. Stunningly, 67 out of 96 shelters reporting these dog statistics and 68 out of 95 facilities submitting this cat data failed to get this right. This raises serious questions about the accuracy of these shelters’ reported statistics. Even worse, 42 of the 67 shelters with flawed dog statistics and 43 of the 68 facilities with incorrect cat statistics should have had more animals at the end of the year then reported. While these errors could have been due to incorrect counts of the number of animals at facilities, the more likely answer is many outcomes, such as animals killed, dying, or gone missing, were not recorded. Given 63% of the errors were due to shelters having less rather than more animals on hand at the end of the year than they should have had lends credence to the theory that errors were mostly due to shelters failing to account for various outcomes. To put it another way, 2,699 cats and dogs should have had outcomes reported and did not. Thus, there is the potential that as many as 2,699 additional dogs and cats were killed, died or went missing from New Jersey animal shelters than were reported in the last year.

Shelters may have failed to classify animals adopted out and sent to rescue properly. Both Paterson Animal Control and Elizabeth Animal Shelter reported no animals were sent to rescues and all dogs and cats leaving their facilities alive were owner reclaims or adoptions. However, rescues I know who work closely with these two facilities told me both shelters rarely adopt animals directly to the public. This makes sense as neither shelter advertized animals for adoption (i.e. no adoption web site or social medial pages run by the two shelters) in 2014. One has to wonder how many other facilities failed to properly classify adoptions and rescues properly. This data is very important as it provides details on the burden rescues and other shelters are taking from these facilities.

We need better oversight of New Jersey animal shelters’ data reporting. Currently, these statistics are voluntarily reported and most shelters are not taking this seriously. For example, I noticed a large number of reports were submitted many months after the end of the year. This data should be easy to compile since facilities can utilize animal shelter software programs, some of which are free, to do this task. Furthermore, New Jersey animal shelter laws mandate facilities maintain much of the raw data found in the Shelter/Pound Annual Report. Unfortunately, New Jersey Department of Health inspections routinely find shelters do not properly keep records on animals. We need to make the Shelter/Pound Annual Report mandatory for animal shelters along with serious penalties for significant errors (especially if deliberate). In order for animal shelters to take data reporting seriously, we may also need to require audits of these reports. Thus, these results show we need stronger laws and the New Jersey Department of Health to play a greater role in ensuring reported animal shelter statistics are in fact accurate.

Despite the errors in these reports, the data provided still reveals important information.

More Animals Losing Their Lives in New Jersey Animal Shelters Than Disclosed in Summary Report

The more detailed data in the Shelter/Pound Annual Reports allows one to more critically examine the percentage of locally impounded animals dying in New Jersey’s animal shelters. The following table summarizes my analysis of the kill/death rate calculated from the New Jersey Department of Health’s summary report and the data reported in the Shelter/Pound Annual Reports.

2014 Summary Stats (1) (1) (2)The Animal Intake and Disposition report prepared by the New Jersey Department of Health only allows one to calculate the number of animals killed as a percentage of total animals impounded or intake. I prefer calculating the kill rate as a percentage of outcomes rather than intake as this metric directly compares positive and negative outcomes. Using intake depresses the kill rate since shelters can simply hold animals for a long time to the point of overcrowding. Calculating kill rate based on outcomes rather than intake increases the cat kill rate from 34.6% to 35.2% and the dog kill rate remains the same.

To calculate the statewide kill rate, we must also back out transfers from one New Jersey animal shelter to another state facility to avoid counting animals still in the state’s shelter system or registering two outcomes for the same animal (i.e. one New Jersey animal shelter transfers a dog or cat to another state facility who then adopts out the animal). This adjustment increases the dog kill rate from 13.5% to 14.2% and the cat kill rate from 35.2% to 37.4%.

In addition, we should increase the kill rate for animals who died or went missing in shelters. I label this metric the death rate as these animals are likely dead or in a very bad situation. After making this adjustment, the dog death rate increases from 14.2% to 14.8% and the cat death rate rises from 37.4% to 43.4%.

Also, many shelters transport easy to adopt animals from out of state which artificially increases live release rates. To properly calculate the percentage of New Jersey animals losing their lives, we need to adjust for transports. Unfortunately, shelters don’t break out their save rates by local and out of state animals. However, most likely nearly all of the out of state animals (primarily puppies and easy to adopt dogs) make it out of shelters alive. Therefore, I back out the number of out of state transports to estimate the local death rate except for St. Hubert’s. Since St. Hubert’s subsequently transfers many of these animals to other shelters, I only subtract out the number of dogs St. Hubert’s rescues from out of state less the dogs it transfers to other shelters. This adjustment increases the New Jersey dog death rate from 14.8% to 17.7% and the state cat death rate from 43.4% to 43.8%.

Also, I estimate a maximum local death rate by including the number of unaccounted for animals described in the section above. Making this adjustment increases the maximum potential New Jersey dog death rate from 17.7% to 20.6% and the maximum potential state cat death rate from 43.8% to 47.3%.

Some animal shelters quickly return large percentages of their animals to owners. At these shelters, the populations served are typically well-off and animals are licensed and have microchips. To account for the animals facilities actually have to shelter, I calculated a death rate for non-reclaimed animals and a maximum potential death rate for non-reclaimed local animals. The non-reclaimed death rate and maximum potential death rate for dogs is 20.9% and 31.7%. Non-reclaimed cats had a 44.8% death rate and a 48.9% maximum potential death rate. Thus, the percentage of New Jersey animals losing their lives in our state’s animal shelters may be much higher than previously thought.

Overall, the statewide statistics showed little improvement from 2013. The dog death rate in 2014 only was three tenths of one percent lower than 2013. While the maximum potential dog death rate was 3.4 percentage points lower in 2014, we don’t know whether that is due to better record keeping or actually improved life saving. The cat death rate and maximum potential death rate decreased by 3.4% and 4.2%. The growing acceptance of TNR likely slightly decreased the percentage of cats losing their lives in New Jersey animal shelters this year. That being said, the improvements were very small and the percentage of dogs and cats losing their lives in the state’s animal shelters is still way too high.

Death Rates Extremely High at a Number of New Jersey Animal Shelters

Dogs and cats are likely to lose their lives or go missing at a number of New Jersey animal shelters. Shelters with the highest death rates for dogs and cats (excluding very low intake facilities) are listed in the following tables:

Dog Death rate 2014

Cat Death Rate 2014

Thus, both dogs and cats have a very good chance of leaving many New Jersey animal shelters dead rather than alive.

In terms of raw numbers, the following shelters had the most animals lose their lives or go missing:

Total Killed Died 2014 Dogs

Total Killed Died 2014 Cats

Many shelters fail to account for large numbers of their animals. As discussed above, a shelter’s number of animals at the end of the year should be calculated as follows:

Beginning number of animals + animals impounded – animals leaving the shelter

Unfortunately, a large number of shelters take in far more animals than they can explain where they went. Shelters having the highest numbers of unaccounted for dogs and cats are listed in the following tables:

Unacct dogs

Unacct cats 2014

Dog and cat death rates at many shelters may be even higher if these unaccounted for animals are counted as dead or missing. If we only consider animal shelters which reported transporting few or no animals in 2014, facilities with the highest dog and cat death rates considering the unaccounted for animals described above are as follows:

Max Pot Dr 2014 Dogs

Max Pot cats 2014

Thus, the plight of dogs and cats may be far worse in New Jersey animal shelters when we consider the unaccounted for animals.

Shelters Turn Their Backs on New Jersey’s Animals

New Jersey animal shelters rescue far more animals from out of state than other New Jersey animal shelters. Specifically, 5,090 dogs were transferred from out of state animal shelters compared to only 1,692 dogs taken in from other New Jersey animal shelters. The number of out of state dogs transported into New Jersey decreased in 2014, but that is due to problems at Jersey Animal Coalition and Helmetta Regional Animal Shelter during the year. These problems likely resulted in fewer transported dogs. However, Jersey Animal Coalition, which is now closed, did not report any statistics for 2014. Furthermore, Helmetta Regional Animal Shelter erroneously reported it transported no dogs during 2014 as the facility imported many dogs from the south before the shelter’s problems received media attention in the summer of 2014. Thus, the decrease in transports is likely due to a combination of  incorrect reporting and increased regulatory pressure on these two shelters that transported many dogs into New Jersey.

While perhaps some shelters, such as Animal Alliance in Lambertville, take animals from nearby New York or Pennsylvania animal control shelters, the overwhelming majority of these dogs most certainly came from down south. In fact, New Jersey animal shelters transported more dogs from out of state than dogs who were killed in, died in and went missing from New Jersey animal shelters. This number does not include additional dogs transported in from out of state by rescues operating without a physical facility. Shelters transporting the most dogs from out of state were as follows:

Dogs Transported 2014

Return to Owner Rates Better Than Average at Most Shelters

Return to owners (“RTO”) rates are one of the positive results from this analysis. Overall, the dog and cat RTO rates of 55% and 5% are approximately twice the national average. As I noted in my blog on reuniting lost pets with owners, return to owner rates are highly correlated with socioeconomic status. Wealthier people likely have more resources/knowledge to license and microchip their dogs. Similarly, people with greater incomes are more likely to afford reclaim fees or ransom payments to animal shelters. New Jersey’s RTO rates for dogs clearly fit this pattern with shelters serving wealthy towns returning most stray dogs to owners while many urban shelters are only returning about around a quarter of lost dogs to owners. Clearly, we need to help people in urban areas get microchips and ID tags on their dogs. Additionally, we need to create pet help desks at shelters in these cities to help people pay the reclaim fees, which are often mandated by the cities themselves, when necessary. The statewide cat reclaim rate, like figures from across the nation, is still very low and suggests shelters need to figure out better ways to get lost cats back to their families. New Jersey should allow shelters to transfer stray cats to rescues during the mandatory 7 day hold period since few are returned to owners at shelters. This would open up space to save more cats and reduce the chance of disease (i.e. cats spending less time in shelters are not as likely to get sick).

To get a better idea how organizations are doing with animals they actually have to shelter, I also examined what percentage of non-reclaimed dogs lose their lives at each facility. Shelters with the highest non-reclaimed dogs death rates are as follows:

non-reclaimed dog death rate

Shelters with the highest maximum non-reclaimed local dogs death rates are as follows (excluding facilities that reported transporting many dogs and taking very few animals in):

Max non-reclaimed dog death rate

Shelters Leave Animal Enclosures Empty While Dogs and Cats Die

New Jersey animal shelters fail to use their space to save animals. Based on the average number of animals at all of New Jersey’s animal shelters at the beginning and the end of 2014, only 53% of dog and 65% of cat capacity was used. Given December is a low intake month, I also increased these populations to an average intake month. This adjustment only raised the dog and cat capacity utilization to 62% and 85%. These estimates likely overestimate the average capacity utilized as many facilities kill animals once they reach a certain population level. Many animal shelters with low kill rates failed to rescue animals with their excess space. Additionally, other shelters used little of their available space and still killed a large percentage of their animals. Some examples after increasing the population (and therefore capacity utilization) based on the adjustment discussed above are as follows:

Space usage dogs 2014

Space usage Cats 2014

Thus, many New Jersey animal shelters are killing dogs and cats despite having ample space to house these animals.

New Jersey’s animal shelters continue to fail the state’s animals. The state’s animal shelters only impound 9.0 dogs and cats per 1,000 New Jersey residents. If we just count animals originating from New Jersey, the state’s animal shelters only impound 7.9 dogs and cats per 1,000 people. As a comparison, the average community in the country impounds anywhere from 14-30 animals per 1,000 residents based on estimates from Animal People Newspaper and the Humane Society of the United States. Despite New Jersey shelters impounding a fraction of the animals other no kill communities take in on a per capita basis, the state’s animal control facilities continue to kill and allow animals to die under their care. Even worse, many of these shelters can’t even properly keep track of how many animals leave their facilities dead or alive. Our state’s animals deserve far better treatment than this. Contact your local city council members and mayor and demand better from the animal shelter serving your community. We can do so much better and it is time our shelters operate this way.

Associated Humane Societies Kills Massive Numbers of Newark’s Homeless Animals

Associated Humane Societies often publishes emotional stories about the organization heroically rescuing animals from terrible situations in Newark. Typically, these stories are found on the AHS web site and/or their Humane News publication. These fundraising efforts are lucrative as AHS brought in an impressive $3.6 million in donations and grants for the fiscal year ended June 30, 2014. The 2003 New Jersey Commission of Investigation report on AHS stated the organization’s fundraising campaigns did not fairly represent the care typically provided to animals:

The substandard conditions and treatment of the animals, which existed on a large scale until recently, betrayed AHS’s massive fundraising campaign through the years and contradicted AHS’s persona as a “humane” organization. Bernstein capitalized on the plight of animals to garner millions of dollars in contributions, but failed to apply any portion of those millions to establish a satisfactory level of care and treatment.

Are these fundraising stories representative of the care most Newark animals receive at AHS-Newark now? Has AHS-Newark improved enough since the 2003 New Jersey Commission of Investigation report was issued?

Additional Animal Control Contracts and Summary Statistics Raise Serious Concerns

In 2014, AHS-Newark added a number of municipalities, such as South Orange and Maplewood (both towns no longer contract with AHS-Newark) and the cities and towns formerly contracting with Linden Animal Control. Despite already killing large numbers of animals, AHS-Newark decided to contract with all these additional municipalities and receive substantial fees in return. In February 2015, AHS-Newark Assistant Executive Director, Scott Crawford, stated his organization could handle the additional animals.

The shelter’s annual summary statistics showed it impounded and killed more animals in 2014 verses 2013. Animal intake increased from 5,019 dogs and cats in 2013 to 6,194 dogs and cats in 2014. AHS-Newark reported the number of dogs and cats that were killed, died or went missing increased from 1,962 in 2013 to 2,356 in 2014. As a result, AHS-Newark literally earned more revenue by impounding and killing significantly more animals in 2014 verses 2013.

Detailed Analysis Conducted 

To get a better understanding of AHS-Newark’s handling of animals, I submitted an OPRA request to the City of Newark’s Animal Control Department seeking intake and disposition records of animals the city’s Animal Control Department impounded in 2014. The City of Newark picks up animals during normal working hours and delivers most animals to the AHS-Newark shelter. At other times, AHS-Newark ACOs perform these duties. The records do not include direct owner surrenders to the shelter from Newark residents (except for a few that were included), but do include people surrendering their animals to animal control who then take the animals to AHS-Newark. After much follow-up over a period of several months, I received AHS-Newark’s underlying intake and disposition records for the animals originating from animal control in Newark.

In total, I obtained around 3,000 pages of records and it took me several months to review and summarize this information. Many of these records were for wildlife, animals leaving before animal control officers arrived, and animals that were dead by the time the animal control officer got to the location. Overall, I reviewed the intake and disposition records of 966 cats and 649 dogs that AHS-Newark impounded in 2014. These records constituted 23% of the dogs and 28% of the cats AHS-Newark reported taking in during 2014.

I reviewed each record and summarized my findings. My summary included the animal’s ID number, species, breed, origin (stray, owner surrender, confiscated by authorities), intake date, outcome date, length of stay, outcome, reasons for killing, miscellaneous information, and any comments I had. I only counted the two primary reasons for killing, but generally mentioned other reasons listed in my notes.

AHS Newark’s Underlying Records Reveal Horrors

Honestly, when I received the information I thought the City of Newark forgot to provide me the records for animals making it out of the facility alive. However, the records included some animals who were adopted out and rescued. The records I obtained listed 229 additional animals I did not receive information for. Even if all these other animals made it out of AHS-Newark alive, the dog and cat kill rate based on intake would only drop nine percentage points. My records indicated AHS-Newark impounded 5.8 dogs and cats per 1,000 residents (6.6 dogs and cats per 1,000 people if I include the 229 missing animal records) that came from animal control in Newark. As a comparison, AHS-Newark impounded 4.3 dogs and cats per 1,000 residents from animal control in Irvington per a summary spreadsheet that AHS prepared. If I assume 43% of AHS-Newark’s animals from the City of Newark came from other sources (i.e. owner surrenders, people finding animals on street, etc), which is the percentage from nearby Irvington, then AHS-Newark would take in 10.2 dogs and cats per 1,000 residents (11.6 dogs and cats per 1,000 people if I include the 229 missing animals) from all sources in Newark. This figure is around the same as, if not a bit higher than, other demographically similar cities in the area. Additionally, I submitted another OPRA request for any missing animals to the City of Newark and was told no other records existed. While I can’t say for sure if my data set contains the overwhelming number of animals AHS-Newark obtained from animal control in Newark, I think it represents a very large percentage.

The sheer number and percentage of animals losing their lives at AHS-Newark is staggering. Overall, AHS-Newark killed 79% of the cats, 63% of the dogs, and 74% of the pit bull like dogs in this data set. Furthermore, if I add animals who died at AHS-Newark and only count known outcomes, 93% of cats, 70% of dogs, and 81% of pit bull like dogs in this data set lost their lives at AHS-Newark. To put it another way, 855 out of 919 cats, 424 out of 608 dogs, and 329 out of 408 pit bull like dogs lost their lives per these records. As a result, these records indicate AHS-Newark operated more like a death camp than an animal shelter for the dogs and cats coming to the facility from animal control in the City of Newark.

2014 City of Newark Outcomes

Even if the death rate for animals from Newark Animal Control was actually lower due to the City of Newark not providing me additional records, my analysis still shows AHS-Newark killed vast numbers of healthy and treatable animals.

Results Raise Question About AHS-Newark’s Reported 2014 Statistics

These results show AHS-Newark disclosed erroneous statistics to the New Jersey Department of Health. In AHS-Newark’s 2014 Shelter/Pound Annual Report, the organization stated 12 dogs and 92 cats died or went missing. However, my data set, which only includes 23% of the dogs and 28% of the cats AHS-Newark impounded during the year, had both more dogs (13) and cats (96) dying in the shelter in 2014 than AHS-Newark reported for all of its dogs and cats. If I add the animals where a “Not Available” outcome is listed, the number of animals dying or going missing rises to 15 dogs and 101 cats. Furthermore, my data set accounted for 50% and 53% of the number of dogs and cats AHS-Newark reported to kill despite only making up 23% and 28% of the number of dogs and cats AHS-Newark reported it impounded in 2014. While AHS-Newark may kill dogs and cats from the City of Newark at a higher rate than animals coming in from other jurisdictions, I find it hard to believe the kill rate is that much higher for Newark animals, particularly cats. In addition, AHS-Newark reported it impounded the exact same number of dogs (2,794) and cats (3,400) that had outcomes for the year. Frankly, I find that pretty hard to believe given AHS-Newark stated it held over 200 dogs and 200 cats at the shelter during the beginning and end of the year. Thus, this data raises concerns that more animals are losing their lives at AHS-Newark than the shelter is reporting.

AHS-Newark Quickly Kills Animals

In February 2015, AHS-Newark Assistant Executive Director, Scott Crawford, bragged about his shelter’s capacity and the extra time the facility had to place animals compared to some other local alternatives. Based on my review of the above records, AHS killed cats and dogs arriving from Newark Animal Control in January 2014 within 30 days and 27 days on average:

AHS-NEwark Jan 2014 LOS for Newark

After AHS-Newark took over the cities and towns formerly contracting with Linden Animal Control in November 2014, AHS-Newark killed cats and dogs impounded from Newark Animal Control in this data set much more quickly. Despite Mr. Crawford’s assertion in early February 2015, AHS-Newark rapidly killed cats and dogs impounded from Newark Animal Control in this data set two months before he made this outlandish claim. Based on my review of these records, AHS-Newark killed cats and dogs impounded from Newark Animal Control in December 2014 within 13 days and 11 days on average:

AHS-NEwark Dec 2014 LOS for Newark

As a result, AHS-Newark’s assertion that it keeps many animals alive a long time is not consistent with the data I examined for dogs and cats arriving from Newark Animal Control.

Absurd Justifications for Killing

AHS-Newark used many poor excuses to kill animals. The top four reasons AHS-Newark used to kill cats were as follows:

  1. Sick
  2. Aggressive, unfriendly and feral
  3. No reason listed
  4. Ringworm

AHS-Newark’s cats were often sick due to an Upper Respiratory Infection (“URI”) or the common cold. Countless records stated AHS-Newark killed the cat due to the animal “not responding to treatment.” With so many animals getting sick and not getting better, one has to wonder what kind of disease control program AHS-Newark has?

Several examples illustrate AHS-Newark’s inability to medically treat cats with colds. Toots was surrendered to AHS-Newark due to her owner no longer being able to care for her. Despite being a young cat less than 3 years old, AHS-Newark stated they had to kill her within 10 days of arriving at the shelter. While the intake and disposition record states Toots was not responding to treatment for her URI, the veterinary log on this record only mentions the standard vaccinations, deworming and Frontline flea and tick medication received on the day she arrived at AHS-Newark. The veterinary log then mentions she was poisoned to death with Fatal Plus 10 days later. Call me crazy, but I don’t see any documentation of any additional veterinary treatment for her URI on this record.

ID 128745 Killed for URI

Brooklyn was an 11 month old cat described as “very sweet” by AHS-Newark. Yet, within 11 days of arriving at the shelter, AHS-Newark killed her due to a “very bad URI” that did not get better. However, once again the veterinary log on this record did not describe any specific treatment for her cold after her vaccinations on the day she arrived.

ID 129234 Killed for URI

Moonlight was a 15 month old stray cat and described by AHS-Newark as “very beautiful, sweet and trusting” and “wants love and attention.” Yet, AHS-Newark killed her 16 days after her arrival at the shelter due to her having a “URI” and being “weak and lethargic.” Other than two rounds of the standard shelter vaccinations and deworming, AHS-Newark once again provided no other treatment specifically for the URI per the veterinary log in this record.

ID129667 URI Cat

The records did not indicate AHS-Newark sent any of these cats to an isolation area for treatment, reached out to any rescues or tried to place the animals in foster homes to recover from their illness. Thus, AHS-Newark failed all three cats, as well as many others, who were highly adoptable.

AHS-Newark labeled many cats feral and/or unadoptable for dubious reasons. Notably, the shelter provided inadequate amounts of time to socialize fearful cats who were justifiably scared in this high kill shelter. Furthermore, I saw no efforts to socialize virtually all of these cats on their records. In fact, AHS-Newark often classified owner-surrendered cats, who presumably lived in or around homes, as feral or otherwise unsuitable for people to adopt. For example, Baby Girl was a 3 and half year old cat surrendered due to her owner moving. AHS-Newark labeled this cat a “wild” and killed her within just 8 days of arriving at the shelter. In addition, AHS-Newark did not vaccinate her upon intake and therefore increased the risk of disease among the shelter’s cat population.

ID 129063 OS Cat Killed for Feral

Me Me was surrendered by her owner due to the owner not having room for the cat. Once again AHS-Newark labeled the cat as “wild”, did not vaccinate her, and killed her within 9 days:

ID 1208046 OS Cat Killed Feral

Lucky, who was nearly 9 years old, was surrendered due to her owner not being able to care for her any longer. Despite this cat most likely having lived in or around a home for many years, AHS-Newark labeled her as “wild”, did not vaccinate her, and killed her after just 7 days.

ID 128791 Feral Cat Killed

Thus, AHS-Newark’s labeling of cats as feral, aggressive and otherwise unadoptable is highly suspect.

AHS-Newark used a “throw everything but the kitchen sink” approach to justify the mass killing of dogs. Often times the shelter listed multiple boilerplate reasons, like aggression (including “cage crazy”/”not kenneling well”), dog aggression, sick, etc. The top five reasons AHS used to kill dogs were:

  1. Aggression related issues
  2. Sick
  3. Dog aggression
  4. No reason listed
  5. Overcrowded

While certainly some dogs likely were truly aggressive, many dogs labeled as such did not seem that way. Sadie was a nearly 4 year old pit bull mix with a very good behavioral evaluation. The evaluation stated Sadie was “playful, loving and affectionate once she gets to warm up.” The evaluation also stated Sadie “allows you to handle her from head to tail without complaint” and “she is easy taking treats and likes to share her toys.” Yet, just over one month later, “SC”, who I presume is AHS Assistant Executive Director, Scott Crawford, approved her killing for “becoming temperamental.” The record provided no elaboration on what her exact problems were nor did the record document any efforts to rehabilitate her.

ID 125906 Dog Killed Aggression

Sadie2

Billy was a 2 year old Plott Hound-Boxer Mix. The dog’s evaluation stated he did not behave well inside his kennel, but “all you have to do is take him outside and he is a totally different dog.” Billy’s evaluation went on to say “he is fine with being handled all over” was “gentle with treats”, had “a great food test” and “seemed fine with the other dogs outside.” Despite this very good evaluation, AHS-Newark decided to kill him exactly 3 weeks later for being “extreme cage crazy”, “becoming hard to handle”, “doesn’t show well” and “no dogs.” AHS-Newark couldn’t even take the time to write a proper sentence to justify killing this young dog. The record provided no documentation that AHS-Newark tried to alleviate his kennel stress or perform any other efforts to rehabilitate him. Simply put, the record indicates AHS-Newark killed Billy for convenience as he didn’t “show well” and was “hard to handle.”

ID 122530 Dog Killed

Billy 2

Danny was a nearly 3 year old American Bulldog. He had a good evaluation stating he was “playful”, “good with other dogs”, “knows sit”, and “needs manners.” In other words, Danny was a big playful puppy. In addition, his record states he was a “photo shoot dog.” Just over two months after Danny’s evaluation, AHS-Newark killed Danny and justified it by stating “no dogs” and “insane in kennels.” Once again the record mentions no actions to provide any enrichment to Danny. It doesn’t take a rocket scientist to determine that a high energy dog needs stimulation and exercise. Also, the record provides no details on Danny’s alleged dog aggression which is contradicted by his behavioral evaluation. Even more disturbing, AHS-Newark killed one of the few dogs in this data set with an evaluation (less than 10% of dogs and virtually no cats had an evaluation) and included in a photo shoot. If AHS-Newark kills dogs in the spotlight, what chance do the vast majority of animals that are never seen or heard have?

ID 125726 Part 1

ID 125726 Part 2

AHS-Newark’s practice of killing massive numbers of dogs for aggression related issues clearly needs to stop. While some dogs coming into a shelter are a serious threat to people and their problems will not satisfactorily respond to rehabilitation efforts, well-run animal control shelters typically find 5% or fewer of dogs fall into this category. In this data set, AHS-Newark killed 26% of their dogs for aggression related issues plus a number of others for dog aggression. As a result, AHS-Newark is unfairly labeling dogs as aggressive.

AHS-Newark also killed dogs due to lack of space. Qunn’s intake and disposition record described him as “very excitable, but nice” and “kind of wild, but very, very friendly.” Despite this, AHS-Newark killed Quinn for not being able to place him with another dog in a kennel and him being “hyper” and “hard to handle.” The record provides no evidence that AHS gave Quinn any exercise let alone enrichment. Furthermore, AHS-Newark killed Quinn during December which is typically one of the lowest intake months for shelters. Even worse, AHS-Newark killed Quinn for lack of space less than two months before Scott Crawford bragged about his shelter’s large capacity.

ID127690 Killed Pt 1

ID127690 Killed (2)

Red was a 16 month old dog surrendered to Newark Animal Control by his owner. After just 8 days, AHS-Newark killed him for having a cold and the isolation area being full and for allegedly not being able to house him with other dogs. The intake and disposition record provides no evidence AHS-Newark gave any specific treatment for his URI other than a canine flu vaccine upon intake. AHS-Newark killed Red due to a lack of space just two and half months before Scott Crawford boasted about his shelter’s ability to house lots of animals.

ID130711

Rambo was a “friendly stray dog” who was killed due to overcrowding. AHS-Newark identified the owner and apparently talked with her. For whatever reason, the owner did not reclaim the animal. AHS-Newark killed Rambo in December, one of the lowest intake months for most shelters, due to “no dogs”, “no response” to the letter to his owner and the main kennel being full. Once again Scott Crawford decided to kill a “friendly” dog due to lack of space just two months prior to him bragging about the large amount of animals his shelter could hold.

ID129821

AHS-Newark also killed many dogs for no documented reason. Pamtera was apparently abandoned in an apartment. AHS-Newark often publicizes these types of cases in fundraising appeals. After 11 days, AHS-Newark killed Pamtera for no reason other than it being “ok to pts per kp.”

ID130032

Dog ID# 130078, like most of the animals I reviewed records for, had no name. She was a 6 year old and 5 month old small terrier mix. After just 8 days, AHS-Newark killed her once again for no reason other than being “ok to pts per kp.” Even worse, this record did not state how AHS-Newark killed Dog ID# 130078.

ID 130078

Durango’s evaluation described him as “sweet and affectionate”, “very focused and loving towards all people, but he doesn’t like other dogs”, “genuinely loved to give and get attention” and “a handsome boy with knockout gorgeous eyes.” Furthermore, his intake and disposition record states in bold and in caps “Humane News – February”, “Petfinder”, “Facebook”, “Do Not PTS.” In other words Durango was a fantastic dog and was one of the few dogs AHS-Newark intended to promote. Despite all of these great things going for him, AHS-Newark killed Durango for no reason according to this record.

ID130867

ID 130867

AHS Hands Animals Over to a Rescue Subsequently Convicted for Animal Cruelty

AHS-Newark has a difficult adoption process in my experience. Typically, AHS-Newark makes people visit the shelter multiple times to adopt an animal. Often, this process can take a number of days. As a result of these policies, animals stay too long at the facility and this increases the chance the shelter will kill animals due to lack of space.

Gabriel Ganter (formerly Gabriel Palacios) was recently convicted of animal cruelty. Ms. Ganter ran Pit Bull Kisses rescue out of Newark until she moved to Dumont. On May 13, 2015, the Bergen County SPCA raided her Dumont home and found dead dogs in garbage bags, a live dog and starved cat on chains without proper shelter (warning: the photos in this link are deeply disturbing). Furthermore, one official stated the conditions insider her house were “horrid.” Ultimately, Gabriel Ganter pleaded guilty to not providing necessary care to animals this month.

Gabriel Ganter’s Pit Bull Kisses Rescue rescued the most animals of any organization in this data set. Pit Bull Kisses rescued 16 of the 35 dogs and cats rescued in the records I reviewed. In all fairness, many people in the animal welfare community were duped by Gabriel Ganter. However, Ms. Ganter began acting erratically in the summer of 2014 and AHS-Newark should have known this. Sadly, AHS-Newark still allowed Pit Bull Kisses to rescue the following dog and cat after this point:

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We can only hope this unnamed dog and cat went to other foster homes rather than Gabriel Ganter’s house of horrors.

AHS Fails Newark’s Stray Animals

The sheer amount of killing is mind boggling. Nearly 1,300 dogs and cats just from the City of Newark lost their lives after arriving at AHS-Newark in 2014. Furthermore, that number most likely would be higher if I obtained the records of the over 200 missing animals not provided to me. To put it another way, around 4 dogs and cats just from the City of Newark lose their lives at AHS-Newark on average each day of the entire year. 84% of the dogs and cats in this data set who came into AHS-Newark in 2014 and had outcomes lost their lives. For these animals, AHS-Newark is a slaughterhouse rather than a shelter.

The underlying records I examined reveal no substantial effort to end this pet extermination project. Massive numbers of animals get sick with treatable illnesses and AHS-Newark still kills them. The records I reviewed did not indicate the shelter often seeks foster homes or even places many sick animals in isolation areas. Even worse, not only do animals typically not receive behavioral rehabilitation, but AHS-Newark seems to actively classify animals as aggressive to justify killing those creatures. Worst of all, AHS-Newark placed such a low value on the lives of these animals that shelter staff couldn’t even write complete sentences or even spell correctly on many of these records. When you can’t take the time to properly document the animal’s information on its record, what hope do we have that you will invest the time and energy into saving that dog or cat? Now, perhaps these records are inaccurate, but that raises even more questions? If your records are inaccurate, why should we believe anything you claim?

Clearly, AHS-Newark should never have contracted with additional municipalities when it already killed far too many animals. Frankly, AHS-Newark should have sought ways to reduce intake rather than deliberately bring in more animals in exchange for more animal control and sheltering contract fees. While all three AHS facilities have more than enough space to save its dogs and cats, AHS fails to enthusiastically implement proven programs and policies to perform at these levels. As such, AHS-Newark should have terminated rather than have added animal control and sheltering contracts.

Donors Must Hold AHS Accountable

Donors should demand AHS-Newark comprehensively adopt the no kill equation as countless other animal control shelters successfully have. Animal control shelters in Kansas City, Missouri, Austin, Texas, and Salt Lake City, Utah achieved no kill status and even save around 90% of their pit bull like dogs. Other animal control shelters in poor urban areas, such as in Washington, DC and Baltimore, Maryland, are close to achieving no kill. All of these animal control shelters take in more animals in total and on a per capita basis than AHS-Newark. Additionally, most of these shelters receive less revenue per animal than AHS. Thus, AHS-Newark should do great things.

At the end of the day, donors must wake up and demand AHS change its ways. Apparently, AHS thinks it can dupe its donors into thinking most of the animals it impounds from Newark are heroically rescued and sent to loving homes. Based on the records I reviewed, this absolutely is not the case. AHS must remove its entire senior leadership team, including Roseann Trezza, and replace them with people dedicated to comprehensively implementing the no kill equation. The good people donating to AHS clearly expect the organization to save its animals. It is time donors require AHS to use their hard earned money to save animals and not kill them for convenience and cost savings.

North Jersey Humane Society’s Horrible Inspection Report Exposes a Fake No Kill Organization

Last year, many people applauded Bloomfield’s decision to accept Bergen County Humane Enforcement’s and Bergen Protect and Rescue’s bid to run the Bloomfield Animal Shelter. After years of problems with the Bloomfield Department of Health and Human Services’ running of the animal shelter, which included banning virtually all volunteers and prohibiting a well-known trainer from keeping a dog with very minor behavioral problems, people were understandably eager to welcome an organization stating it would run a no kill shelter. Given Vincent Ascolese’s charismatic personality and him saying all the right things during a presentation to the town, one could hardly blame people for cheering Bloomfield’s decision to hire this organization.

Personally, I was very skeptical of Bergen County Humane Enforcement and North Jersey Humane Society, which was formed to run the Bloomfield Animal Shelter. First and foremost, I knew Vincent Ascolese, who is the Director of both Bergen Protect and Rescue and North Jersey Humane Society and the Supervising Animal Control Officer, previously brought animals from Hudson County to the horrific Jersey Animal Coalition. Second, Vincent Ascolese’s shelters contract with a for profit animal control company with a checkered history in Hudson County.

I was extremely disappointed when my spouse, my young child and I visited Bergen Protect and Rescue’s Cliffside Park shelter. The facility was extremely small and cramped and two people could barely pass each other through the tiny hallway inside the facility. After being ignored for 10 minutes by the the person in charge that day, we asked if we could see the dogs. This person told us no dogs were up for adoption at the facility and we had to make an appointment to see the animals even if they had any dogs up for adoption. The staff person’s claim seemed odd as many dogs were in a small area just around the corner from us. Even worse, the very next day I saw the shelter post one of the dogs I saw outside on their Facebook page as available for adoption. In addition, the staff person told us the adoption fee for an adult pit bull was over $300. While the staff person said we could drive to an adoption event the shelter was having that day, it was impractical as we did not know the area. Thus, my personal experience with this organization was not good.

Subsequently, I read about policies not consistent with well-run no kill animal control shelters. First, I saw high adoption fees on their web site (now the shelter does not even state what the fees are) which were consistent with the over $300 adoption fee communicated to us at the Cliffside Park shelter. The shelter’s web site states it may take up to a week to adopt an animal resulting in reduced lifesaving and potential overcrowding. Additionally, the Cliffside Park shelter transports many dogs in from out of state despite having what seemed like a very undersized facility. Not surprisingly, my analyses of the Cliffside Park facility’s 2013 performance showed the shelter only adopted out 35% of the number of dogs and 33% of the number of cats the shelter should adopt out. Finally, I was concerned seeing North Jersey Humane Society adopts out at least some intact animals where the shelter refers the adopter to a low cost vet clinic participating in the state subsidized spay/neuter program (funding often runs out during the year resulting in significant delays for the discounted spay/neuter services). Typically, I only see poorly run pounds use this program rather than doing the surgeries themselves with the shelter’s veterinarian. Thus, North Jersey Humane Society’s polices were not consistent with those of well-run no kill animal control shelters.

Last week’s news about the NJ SPCA charging Vincent Ascolese with animal cruelty floored me. The NJ SPCA rightfully charged Mr. Ascolese with 14 counts of animal cruelty for killing an injured deer fawn by slashing its neck with a knife and other issues with animal care at his facility. As bad as this news sounded, it paled in comparison to what I read in the recent New Jersey Department of Health inspection report of North Jersey Humane Society’s Bloomfield shelter.

Bloomfield and North Jersey Humane Society Allow Animals to Reside in a Dump

North Jersey Humane Society’s bid to perform animal sheltering services at the Bloomfield Animal Shelter required the town to bring the facility up to the standards of N.J.A.C. 8.23A. As a result, Bloomfield had a contractual obligation to ensure the building complied with the state law’s standards. Additionally, North Jersey Humane Society had a legal and moral obligation as the shelter operator to ensure the animals were housed in a safe facility.

The inspection report stated the facility was under construction and did not have the required permits. Additionally, the Bloomfield Department of Health and Human Services did not perform the required annual inspection and therefore the shelter did not have a license to operate.

The facility was occupied while under construction without evidence of local occupancy approvals and electrical, mechanical (HVAC), and building or construction permits.

The facility was not inspected by the local health authority for the current year and was not in compliance with these rules, and therefore, was not licensed at the time of this inspection.

Despite the shelter having many unsafe areas, North Jersey Humane Society housed animals in these conditions. The shelter kept dogs in a room without a ceiling with uncovered electrical wires and various dangerous items were hanging down from above.

The ceiling of the guillotine room was removed and was completely open to the rafters in the attic space. Dogs were being housed in this room at the time of this inspection. Electrical wires and junction boxes were exposed and hanging and were not properly secured as required; insulated ventilation ducts and other items were exposed and hanging down from the rafters (Pictures 2834 through 2836).

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North Jersey Humane Society left exposed screws adjacent to dog enclosures and the shelter’s entrance putting both people and animals at risk of injury.

There were boards with long protruding screws located on the ground near the entrance gate of the facility adjacent to an outdoor animal enclosure. These screws could cause injury to both animals and people (Picture 2829).

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The shelter had inadequate ventilation and smelled like urine. Furthermore, insufficient lighting prevented shelter staff from properly cleaning the animal enclosures resulting in a build up of feces and urine. North Jersey Humane Society apparently placed an outdoor animal enclosure on a surface that shelter staff cannot effectively disinfect. Furthermore, the town and North Jersey Humane Society did not repaint the surfaces of the outdoor animal enclosures and the staff could therefore not properly clean these kennels.

There was a strong, stale urine odor in the first animal enclosure room located next to the main office of the facility at the time of this inspection; the ventilation was not sufficient to remove odors as required.

The lighting in the facility was not sufficient to allow the viewing of all the interior surfaces of the animal enclosures to ensure that the enclosures had been cleaned and disinfected. The enclosures in the first animal enclosure room contained small pools of urine and small fragments of feces in the corners and bottom edges that had not been removed during the cleaning process. These corners and edges were unable to be viewed clearly due to the insufficient distribution of lighting in this room.

There was a chain link enclosure placed on the pavement in the driveway in front of the facility. This asphalt pavement was not impervious to moisture and not able to be readily cleaned and disinfected. This enclosure did not have any drains to contain and properly dispose of run off as required (Picture 2831).

The surfaces of the outdoor animal enclosures attached to the side of the building and accessible to the animals in these enclosures by a guillotine door were not impervious to moisture. These surfaces were originally painted, but the paint was peeling, and the surfaces were no longer impervious to moisture (Picture 2844).

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North Jersey Humane Society housed dogs in dangerous enclosures posing a risk of injury and possible death. The shelter left one dog in an outdoor enclosure without sufficient shade for two hours on a hot day in August and the inspector observed the dog drooling. Furthermore the dog bed in this enclosure was broken and had sharp exposed points. Another dog named Benny had a sharp metal wire that was in his cage.

The outdoor dog enclosure on the concrete slab in the driveway next to the entrance gate of the facility had a tarp type of material strapped to the top of the enclosure, but this tarp was not suitable to provide sufficient shade to avoid overheating or discomfort of the animals housed in this enclosure. ACO Stewart stated that the dog housed in this enclosure at the time of this inspection had been in the enclosure approximately two hours and the dog’s drooling was normal and not caused by overheating (Picture 2828).

A dog bed located in an outdoor enclosure near the entrance gate of the facility was broken and in need of repair. The bed contained metal triangle screw plates that had become separated from the frame. The points of the plate were exposed in an upward position and the legs of the bed were bent over (Picture 2828).

A small, thin, red coated dog named Benny was housed in an upper level enclosure in the annex room. The door of the enclosure had a wire that was bent over and protruding into the enclosure at the level of the dog that could cause injury (Picture 2856).

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To make matters worse, the shelter housed two large Rottweilers in kennels that were approximately 30% smaller than required by N.J.A.C. 8.23A 1.6 (b):

Two large Rottweilers at the facility at the time of this inspection were each housed in primary enclosures that provided approximately 10.34 square feet of floor space when measured from the inside of the enclosure. These dogs were estimated to be approximately 39 to 42 inches long and required approximately 14 to 16 square feet of floor space.

North Jersey Humane Society Fails to Properly Clean its Shelter

North Jersey Humane Society failed to use proper procedures to clean the shelter. Specifically, the shelter did not remove cat litter, hair and other debris from an enclosure holding multiple cats. The shelter did not use EPA registered cleaning products. Even worse, the facility did not have suitable measuring devices to ensure staff applied the proper concentration of disinfectants.

Cats were being placed in a three tier cat cage during the daily cleaning process. This enclosure was being sprayed down with a spray bottle and immediately wiped out with a towel between each cat, but this cage was not being disinfected as required. There was an accumulation of cat litter, hair, and other debris trapped in the wire along the edges of the resting benches and at the bottom of this wire enclosure that had not been removed, cleaned and disinfected between each cat during the cleaning process. Toys were also being sprayed with the contents of the spray bottle and immediately wiped off, without allowing the required contact time for disinfection.

The bleach that was being used on the day of this inspection was Clorox Scented, Spashless bleach, which is not an EPA registered disinfectant. Two small bottles of Clorox regular bleach were later found in the upstairs storage area.

The disinfectants used at the facility, sodium hypochlorite (chlorine bleach) and Accel (accelerated hydrogen peroxide), were not being used at the correct dilution for disinfecting animal contact surfaces. The Accel requires a dilution ratio of 8 ounces (one cup) per gallon of water and the chlorine bleach that was found in the upstairs storage area requires 4 ounces (one half cup) per gallon of water according to the instructions on the product labels for disinfection of smooth and impervious animal contact surfaces.

There were no suitable measuring devices being used at the time of this inspection. One capful of these products (said to be approximately one ounce of concentrated solution) was being mixed into a one and a half gallon sprayer that was labeled as “Bleach” (Picture 2857). The cages were said to be sprayed down with this solution, allowed to sit for approximately 10 minutes while other cages are being sprayed down, and then the cages are rinsed with a hose and the remaining water was removed with a squeegee. The cages were not manually scrubbed clean at any time during the cleaning process.

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Furthermore, shelter staff stated they cleaned animal enclosures, but the inspector’s tape measure became covered with urine and feces when she was examining the cages.

The animal enclosures located in the first room of the facility near the office and main entrance to the facility were said to have been cleaned, but when a metal tape of a tape measure was placed in one of the upper cages while measuring the cage size, the length of tape became contaminated with urine and small bits of feces that remained inside of the cage after the cleaning process. The facility staff was not following proper cleaning and disinfection procedures to reduce disease hazards and odors caused by bacteria and other contaminants that remained on animal enclosure surfaces.

Finally, North Jersey Humane Society failed to use a proper cleaning solution to disinfect the animals’ food and water receptacles.

Food and water receptacles were being washed with a dishwashing liquid, rinsed and placed on a towel to dry, but they were not being disinfected daily as required. ACO Ascolese stated over the phone on the day of this inspection that the receptacles were being washed with an antibacterial type hand dishwashing liquid, but this type of dishwashing liquid was not an EPA registered disinfectant for use in animal facilities.

Cruel Treatment of Wildlife

North Jersey Humane Society treated wildlife in a way that constituted animal cruelty in my view. Two days prior to the inspection, the shelter impounded a 3 week old baby squirrel that was too young to eat, drink, urinate and defecate on its own. Instead of bottle-feeding this animal or sending the animal to a licensed wildlife rehabilitation center, the shelter tried to feed the animal with a honey seed stick. The inspector told both the ACO at the shelter and Vincent Ascolese that the shelter must transport the squirrel to a licensed wildlife rehabilitation center immediately. Furthermore, a New Jersey Division of Fish and Wildlife agent also stated the squirrel needed to go to a licensed wildlife rehabilitation center right away. Despite this emergency, Vincent Ascolese refused to do so and said he’d take the animal to the animal hospital the shelter uses.

Frankly, I am appalled that the shelter does not take injured wildlife to licensed wildlife rehabilitation centers. Even some very regressive kill shelters transport wild animals to these facilities. Furthermore, North Jersey Humane Society and Bergen Protect and Rescue could have made a simple plea on their social media pages and many people would have gladly transported the animal and offered monetary assistance.

To make matters worse, the baby squirrel and an iguana were housed in the feral cat room where the door is left open overnight. The inspection report noted some type of animal entered the room as evidenced by feces found in one of the cages. Additionally, the bars in the baby squirrel’s cage were wide enough for the animal to fall through. Given the young squirrel had not yet opened its eyes, this was a very real possibility. In fact, this did happen and the inspector actually caught the baby squirrel falling from its cage. Furthermore, the shelter staff left water in a bowl for the baby squirrel that was deep enough for the animal to drown in. As a result, the baby squirrel was housed in a room with potential predators, feral cats and wildlife that could enter the room, and left in an environment where it could drown or even fall to its death.

A baby squirrel that was impounded at the facility on 8/17/15 was crying in distress in search of its mother at the time of this inspection. This squirrel was approximately 3 weeks old and was too young to eat, drink and eliminate on its own and at this young age, may have been unable to regulate its body temperature. This squirrel was not receiving proper care and nourishment as required and was not placed in a suitable housing environment to maintain the safety and wellbeing of this animal for the two days that it was housed at the facility (Pictures 2849 and 2850).

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A baby squirrel, approximately 3 weeks of age with its eyes not yet open, that was impounded at the facility on 8/17/15 was not being fed as required to meet the nutritional needs of this young squirrel. There was no infant replacement formula of any kind or any electrolytes or other preparation for rehydration at the facility for this squirrel at the time of this inspection.

The baby squirrel detailed in 1.7 (b) was not fed or provided with a rehydration solution during the entire inspection period. A squirrel of this age requires feeding approximately every three hours.

ACO Stewart stated that George, who was not at the facility at the time of this inspection, had been feeding the squirrel seeds and honey on a stick. Although the squirrel was too young to forage, the staff had placed the honey seed stick in the red cedar chip bedding with the assumption that the squirrel would search for its food.

The inspector, Frese, explained to ACO Stewart that this squirrel was a nursing squirrel and was too young to eat, drink, and eliminate on its own. Frese stated that this squirrel needed to be transported to a licensed wildlife rehabilitator immediately. ACO Stewart stated that the squirrel could not be transported at that time, but would be transported the next day. Frese stated that the squirrel may not live that long and then called the New Jersey Division of Fish and Wildlife and the New Jersey Society for the Prevention of Cruelty to Animals (NJSPCA) for assistance. Neither agency was available to transport the squirrel; the agent from the Division of Fish and Wildlife said the squirrel needed to be transported immediately to a licensed wildlife rehabilitator.

The Supervising ACO, Vincent Ascolese, called and spoke to Frese on the phone and explained that the squirrel was being cared for adequately with the seed stick placed in the bedding to teach the squirrel to find its food. Frese explained again that the squirrel was too young to forage and needs to be transported immediately to a rehabilitator. ACO Ascolese stated that they do not take any wildlife to a wildlife rehabilitator. He stated that he would instruct the staff to take the squirrel to Franklin Lakes Animal Hospital; that is where they take all injured and orphaned wildlife. ACO Ascolese stated that it is their policy for all injured and orphaned wildlife to be transported directly to the Franklin Lakes Animal Hospital, Wildlife Division.

There was a hole in the ceiling of the room named the “feral cat” room (Picture 2851) and the animal control officer (ACO) Nicole Stewart, confirmed that the door to this room had been left open to the outside of the building overnight. There were feces in one of the cages in this room from some type of animal that had entered the room and perched on the top of the cage (Picture 2848). An iguana and a baby squirrel were housed in this room at the time of this inspection and had been in the room while the door was open overnight. ACO Stewart stated that this room is used for the feral cats that free roam the grounds of the facility.

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A baby squirrel was housed in an enclosure that had bars on the enclosure door that were wide enough for the squirrel to fit through. The squirrel was too young to walk normally, but was able to crawl. The squirrel crawled to the front of the enclosure and fit itself through the bars of the door. The squirrel had come halfway out of the enclosure, but was caught by the inspector, Frese, before it fell and was placed into the back into the enclosure. The squirrel was vocalizing a distress call as it crawled out of the cage (Picture 2866).

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The baby squirrel that was too young to eat and drink on its own was provided with a straight sided bowl filled with water in the enclosure that was deep enough that the squirrel could have become trapped and drowned in the water, due to the age and inadequate mobility of the squirrel.

The inspection report documented Vincent Ascolese killing an injured deer fawn. North Jersey Humane Society picked up a deer fawn with two broken legs in Woodland Park 12 minutes after the animal hospital the shelter uses closed (the animal hospital’s web site currently states it is open on the day of the week and time this happened). Instead of immediately taking the injured deer to another animal hospital or better yet, a licensed wildlife rehabilitation facility, as required by law, North Jersey Humane Society brought the animal back to the Bloomfield shelter. Vincent Ascolese subsequently slashed the deer’s throat in what one could consider an audition for joining the terrorist group, ISIS. Irregardless of whether the animal was hopelessly suffering, the shelter was required to send this animal for veterinary treatment. Even if euthanasia was required, slashing a deer’s throat is not humane and is illegal in New Jersey. Thus, Vincent Ascolese acted in an illegal and unethical manner and is now rightfully charged with animal cruelty.

A deer that was picked up by ACO McGowan in Woodland Park, Passaic County, on 6/29/15 was described on the “Animal Control Incident Transport Record” form as being severely injured and bleeding, with both hind legs broken and bone protruding through skin. The form stated “Well Pet Animal Hospital closed.” According to the website for this animal hospital, the normal business hours on Mondays, the day of the incident, are 9 AM to 6 PM. According to the animal control incident form, the ACO had arrived at the scene of the severely injured deer (fawn) at 6:12 PM, which was outside of this hospital’s posted hours of operation. The deer was transported to the Shelter facility at 6:47 PM. The “Animal Control Incident Transport Record” form indicated that the ACO did not immediately obtain emergency veterinary care from a licensed veterinarian as required by this regulation.

ACO Ascolese, stated during a phone call at the time of this inspection, that it is their policy for all injured and orphaned wildlife to be transported directly to the Franklin Lakes Animal Hospital, Wildlife Division. The severely injured deer that was picked up on 6/29/15 was not transported to the Franklin Lakes Animal Hospital in accordance with the policy stated by ACO Ascolese. The website for the Franklin Lakes Animal Hospital shows that the hospital’s regular operating hours are from 9 AM to 8 PM on Mondays.

A deer (fawn) that was impounded at the facility on 6/29/15 was killed by ACO Ascolese who cut the throat of the deer with a knife resulting in exsanguination (death from loss of blood). Exsanguination is an unacceptable method of euthanasia in accordance with these regulations.

Furthermore, even if throat slashing was a legal euthanasia method, Vincent Ascolese was not allowed to euthanize animals under state law at that time since he lacked the certification to do so.

Dr. Diaz confirmed that he had certified ACO Ascolese in August, 2015. On 6/29/2015, ACO Ascolese killed a deer (fawn), prior to the animal euthanasia training that had been conducted on or about 8/12/2015.

North Jersey Humane Society Fails to Provide Adequate Care to its Animals

The shelter did not provide prompt veterinary care to an injured dog. Benny had open sores on his legs and was not placing any weight on his left front leg during the inspection. Despite these issues, North Jersey Humane Society provided no veterinary care for the 3 days he was at the shelter before the inspection.

A dog named Benny was not placing any weight on his left front leg at the time of this inspection. This dog also had several ulcer type sores in various locations on all four of his legs, most of which were covered with smooth, hairless, blackened skin tissue with a raised outer edge, but some of these sores were shallow open wounds with a red and pink wound bed. This dog had not received any veterinary care since it arrived at the facility on Sunday, August 16, 2015 (Picture 2856).

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North Jersey Humane Society also did not provide some animals adequate amounts of water. Specifically, an iguana had no water during the 7 hour inspection and the inspector had to tell shelter staff to provide water to a thirsty Rottweiler.

An iguana located in the feral cat room had spilled its water and the water had not been replaced during the inspection.

A Rottweiler that was housed in an outdoor enclosure did not have water in his water bucket at the time of this inspection. This dog was subsequently provided with water after this was brought to the attention of ACO Stewart (Picture 2868 through 2870).

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Shelter staff also left an iguana to sit in a wet bed during the entire 7 hour inspection.

An iguana that was impounded at the facility on 8/17/15 was housed in an enclosure with wet bedding after the water from the water bowl had been spilled in the enclosure. This wet bedding had not been changed during the entire inspection period (Picture 2867).

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North Jersey Humane Society did not isolate sick animals from healthy animals. The facility’s HVAC system emitted air from the isolation area, which is supposed to house sick animals, to locations holding healthy animals. In fact, the shelter used the ineffective isolation area it did have to house four healthy dogs due to overcrowding. And just how did the shelter become overcrowded? The facility transported 15 dogs, which made up 60% of the facility’s dog population at the time of the inspection, from Georgia 3 days before.

The facility did not have any isolation procedures in place and did not have a proper isolation area at the time of this inspection.

The ventilation in the dog and cat isolation rooms was not separated from the air used for the general population. The ventilation for the isolation rooms was supplied through the HVAC system for the facility and mixed with the air for the general population and did not exhaust directly to the outdoors as required.

Due to lack of space, the dog isolation room was being used to house 4 healthy dogs at the time of this inspection and the cat isolation room housed 13 cats that were not exhibiting signs of or being treated for a communicable disease. The dog isolation room did not have floor to ceiling walls and was open at the top of the walls to the holding area of the general dog population. The cat isolation room had windows that were open to the room where the general cat population was housed (Pictures 2861 and 2865).

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The 15 dogs that had been imported from Georgia and arrived at the facility on Sunday, 8/16/15, did not have completed cage cards as of the date of this inspection.

The shelter also did not answer its supervising veterinarian’s requests going back as far as five months to acquire medicines and diagnostic equipment to treat sick and/or injured animals.

A notebook was located on the premises that showed the supervising veterinarian’s findings along with the veterinarian’s signature and date of each visit. The notes in this log book indicated that the veterinarian had recommended the pharmacy stock at the facility be increased (this would require prescriptions from the supervising veterinarian with the required prescribing information) and suggested medical and diagnostic equipment be purchased for use at the facility. These notations had been recorded in the log book since March of 2015, with the last request for equipment dated 8/2/15. The facility did not have the diagnostic equipment on the premises as requested by the supervising veterinarian.

North Jersey Humane Society also had drugs without required information, such as the animal it was prescribed for, directions for use, date dispensed, and name of the facility distributing the medication. This raises serious questions as to whether the shelter illegally obtained these medicines and whether expired drugs were given to animals.

There were medications at the facility that did not contain prescription labels with the required information, including the animal’s name or identification, directions for use, the date dispensed, and the name and license number of the licensee and facility dispensing the medication. A 200 ml bottle of Toltrazuril, used for the treatment of coccidia in horses, was located on the top of a cart in the medical treatment room. The manufacturer’s label on the bottle stated to refrigerate after opening and expires one year after opening, but the bottle was not refrigerated and there was no date on the bottle indicating when the bottle had been opened. There were no records or directions from the supervising veterinarian indicating what the medication was to be used for and to which animal it had been prescribed. There was also a box of MilbeMite brand ear mite medication for cats on this cart with no prescription label, animal identification, and instructions for use (Pictures 2871 through 2873).

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North Jersey Humane Society’s Euthanasia Statistics May Not Be Accurate

North Jersey Humane Society reported it only euthanized one cat and three dogs died or went missing in its 2014 Shelter/Pound Annual Report. However, the inspection report noted 4 dead animals were in the facility’s freezer. To make matters worse, the shelter could not produce accurate and legally required intake and disposition records at the time of the inspection. Furthermore, Vincent Ascolese, who illegally killed the fawn, conveniently removed all the wildlife intake and disposition records and stored them in another county. As a result, I have no confidence in North Jersey Humane Society’s reported euthanasia and other statistics since the shelter could not produce the supporting documents.

There were also approximately four animals in the freezer that were bagged, but the bags were not labeled with a name or ID number.

Paper records were maintained on dogs and cats that were received at the facility, but the intake and disposition log which correlates when each animal arrived at the facility and the final disposition was maintained as a computer record. There was no one at the facility at the time of this inspection that had access to the computer records to ascertain when animals were received and the final dispositions. A notebook that was labeled “stray animal log” was not up to date and did not include all animals that were received at the facility. The log only listed dogs that had been impounded and the last entry was dated 7/1/15.

The “Animal Control Incident Transport Record” forms, which were the only records created for the intake and disposition of certain wildlife or other species of animals received at the facility, including the deer that was received at the facility on 6/29/15, were not kept at the premises. Kristi, the Executive Director of Shelter Services stated during a telephone conversation at the time of this inspection that all animal control records were removed from the establishment by ACO Ascolese and stored in an office located in different county.

No People Admit to Euthanizing Animals

The inspection report documented the supervising veterinarian contradicting the shelter’s statement about who performs euthanasia. Specifically, the ACO on staff during the inspection stated Dr. Nelson Diaz performs all euthanasia procedures for the shelter’s animals. However, the veterinarian stated he never euthanized any animals from the shelter despite the shelter reporting 1 euthanized cat in 2014 and four dead animals in shelter’s freezer at the time of the inspection.

Furthermore, the shelter had no required euthanasia equipment at the facility or documentation that any shelter staff were certified to euthanize animals. As a result, one has to wonder if Vincent Ascolese or some other people at the shelter illegally killed animals like Vincent Ascolese did with the deer fawn.

At the time of the inspection, no certification documents were found on the premises or made available to the inspectors to indicate which staff members were certified by a licensed veterinarian to perform humane euthanasia at the facility. ACO Stewart stated at the time of this inspection that all animal euthanasia was performed by the supervising veterinarian, Dr. Diaz. Dr. Diaz was contacted by phone and confirmed that he had not performed any animal euthanasia for this facility and he was not contacted regarding the deer (fawn) that was killed by ACO Ascolese. ACO Stewart also stated that ACO Ascolese was trained by Dr. Diaz to euthanize animals at the facility one week prior to the inspection (8/12/2015). Dr. Diaz confirmed that he had certified ACO Ascolese in August, 2015. On 6/29/2015, ACO Ascolese killed a deer (fawn), prior to the animal euthanasia training that had been conducted on or about 8/12/2015.

None of the required euthanasia equipment was on the premises at the time of this inspection; there were no posted instructions, and no euthanasia, tranquilizing or immobilizing agents on the premises. This facility was not equipped with the supplies to perform humane euthanasia on any animals at the time of this inspection and there were no records or other evidence provided at the facility during this inspection to indicate that the facility was equipped as required to perform euthanasia on 6/29/2015 when the deer (fawn) was killed by ACO Ascolese.

North Jersey Humane Society Violates Basic No Kill Principles

No kill shelters essentially need to do three broad things. First and foremost, no kill sheltering mandates not killing or allowing healthy and treatable animals to die. Second, no kill facilities must perform at a high level resulting in animals quickly leaving the shelter and going to good homes. Third, no kill sheltering requires animals be provided with an elite level of care.

North Jersey Humane Society violated all three of these principles. Vincent Ascolese never even tried to get the injured fawn to a licensed wildlife rehabilitation center. In fact, Mr. Ascolese’s organization does not use licensed wildlife rehabilitation centers for any wild animals per the inspection report. His shelter’s careless disregard for an extremely vulnerable baby squirrel also violated no kill’s unwavering standard of not killing. Whether the shelter killed the baby squirrel directly or simply allowed it to die makes no difference. The shelter must have a passion for saving animals. Clearly, Vincent Ascolese’s organization has an attitude that some animals are simply not worth saving. After all, when the Director of North Jersey Humane Society slices open the throat of a fawn, is it any wonder other staff members will not do anything to save a baby squirrel?

North Jersey Humane Society’s and Bergen Protect and Rescue’s polices resulting in prolonged lengths of stay also violate no kill principles. To make a no kill animal control shelter work, the organization must quickly place animals into good homes. With excessive adoption fees, long waiting periods to adopt animals and poor customer service, Vincent Ascolese’s shelters simply do not perform in the manner they should.

Finally, North Jersey Humane Society fails to follow basic animal sheltering practices let alone the elite level standards of a no kill facility. Housing sick animals together, leaving animals without water, not providing prompt veterinary care, keeping animals in filthy enclosures, exposing animals to dangerous kennels, and potentially providing animals with expired medicines is unacceptable for any shelter, kill or no kill. Clearly, North Jersey Humane Society failed its animals and does not deserve the no kill or even a shelter label.

Bloomfield Needs to Take Immediate Action

Bloomfield and the shelter’s other contracting municipalities should expect far better service. Assuming North Jersey Humane Society’s annual fees are the same as its $120,000 bid for animal control and $145,000 bid for sheltering services, North Jersey Humane Society receives $265,000 a year in revenue from these towns. Based on the Bloomfield Animal Shelter’s total reported intake in 2014, this works out to nearly $1,500 of revenue per animal the shelter impounds. Also, the shelter receives donations in addition to these contract fees. Surely, North Jersey Humane Society can afford to provide proper care to its animals.

Bloomfield no longer can trust Vincent Ascolese to do the right thing. First, Bloomfield must make all necessary structural improvements to the shelter to ensure the facility can comply with state law. Second, the town must form an Animal Welfare Advisory Committee, which should have qualified members dedicated to ensuring the town has an elite no kill shelter and to oversee and regulate whoever runs the Bloomfield Animal Shelter. Third, Bloomfield must enact the Companion Animal Protection Act (“CAPA”) that residents have demanded for years. Fourth, the town should pass a no kill resolution mandating at least a 95% live release rate for dogs and a 90% live release rate for cats impounded from the towns the shelter contracts with. Fifth, the town should demand North Jersey Humane Society stop transporting animals from southern states into the Bloomfield Animal Shelter. Simply put, the town can no longer take the word of a charismatic person with a dark side.

New Jersey Department of Health, the NJ SPCA and the Towns Contracting with Bergen Protect and Rescue Must Investigate That Shelter

Based on the egregious performance of North Jersey Humane Society, the New Jersey Department of Health and NJ SPCA must investigate Bergen Protect and Rescue to see if Vincent Ascolese’s other facility is also violating New Jersey shelter and animal cruelty laws. Furthermore, Cliffside Park should also do the same things as I recommend for Bloomfield to ensure the shelter is effectively supervised and regulated. Sadly, Vincent Ascolese’s organizations have lost all credibility and it is time these shelters prove to everyone they are ready to step up their game. If not, then the municipalities must move on and bring an organization in that will do the right things for the animals.

Associated Humane Societies’ History of Conflicts

Recently, Associated Humane Societies made headlines after it banned volunteers from its Tinton Falls shelter. On Saturday, April 11 I saw a number of social media posts about AHS banning all of its volunteers. On the next day, which ironically fell on the eve of National Volunteer Appreciation Week, the Associated Humane Popcorn Park Facebook page announced AHS suspended the Tinton Falls programs due to alleged misdeeds by the Tinton Falls volunteers. The banned volunteers responded and disputed the shelter’s allegations. While I am not close enough to the situation to comment on the validity of both sides claims, I think looking at AHS’s history of disputes is quite revealing.

Corrupt Start to the Modern AHS Era

Lee Bernstein, who served as AHS’s Executive Director from 1969 to 2003, used highly unethical tactics to raise money for AHS and himself. Bernstein, who was a Newark City Councilman and AHS Board of Trustees member, voted to significantly increase the animal control contract fee Newark paid to AHS in 1968. After this fact became known, Mr. Bernstein faced a recall election to remove him from the Newark City Council. On the day before another Newark City Council resolution in 1969 to increase the fees paid to AHS again, Bernstein told the AHS Board that the new Newark contract was contingent on AHS hiring him as Executive Director for 5 years and paying him a specific salary if Bernstein lost his recall election. Newark residents subsequently booted the corrupt Bernstein from office in the recall election and Bernstein became AHS’s Executive Director.

The City of Newark later won a lawsuit against AHS to render the contract null and void. The judge’s ruling included the following statement:

In the light of the foregoing, the Court is satisfied that the contract of March 25, 1969 had its genesis in a corrupt understanding by which Lee Bernstein would receive employment and be supplied with a regular source of income, in the event that his political tenure (and income) were terminated by the recall election of June 1969. A corrupt understanding that undoubtedly was conceived in the mind of Mr. Bernstein, but to which the other members of the Board of Trustees of the defendant Humane Societies, nevertheless, gave their prior approval and assent.

Ultimately, Lee Bernstein was sentenced to jail for four months relating to this matter. Thus, AHS’s modern history had a corrupt beginning.

Horrific Treatment of Animals During Lee Bernstein Era

In 2003, the State of New Jersey Commission of Investigation (“SCI”) issued a scathing report on AHS. Some of the report’s key findings were as follows:

  • AHS raised massive amounts of money and failed to use enough of it to properly care for its animals
  • Shelters were mismanaged and ruled by then Executive Director, Lee Bernstein, with an iron fist
  • Ineffective oversight by AHS’s Board of Trustees

The SCI report summarized the history under Lee Bernstein as follows:

The history of AHS’s shelter operation has been dominated by deplorable kennel conditions, inhumane treatment of animals by workers, mismanagement and nonexistent or inadequate medical care. The problems were neither singular nor occasional.The accounts and descriptions provided by members of the public and former and current staff members, including veterinarians, paint a bleak picture of shelter life. The reality for the animals belied AHS’s propaganda that its “sole purpose” has been “the care and welfare of animals” and that it has “a high adoption rate.”

One example of Lee Bernstein’s cruelty was when he ordered a veterinarian to use only one needle per animal. Apparently, Bernstein thought the 5 cents savings per animal was more important than the pain an animal endured from being stabbed multiple times with a dull needle:

Bernstein reacted by issuing a memorandum to the veterinarian that “effective immediately, use only ONE needle per animal. . . .

In a responding memorandum, the veterinarian countered that the needles “are not especially high quality to begin with, become much more dull [with one or two passages through a vial’s rubber stopper] and, therefore, more painful to the animal upon injection.” She asserted, “According to you, the cost is $0.03-$0.04 per animal for an additional needle (plus probably at most $0.01 for medical waste disposal) – a bargain for an organization concerned about animal welfare.” She noted that “some shelter personnel are not especially adept at administering injections and a dull needle make[s] the job harder on everyone” and cited a recent complaint by a woman “who was appalled by her cat being stabbed four times before the vaccine was successfully administered at the shelter.” During this timeframe, AHS realized profits in excess of $1 million and had cash and investment balances valued at more than $8 million.

The SCI report stated Bernstein was a firm believer of survival of the fittest when it came to spending money on veterinary care:

His philosophy was that the strong ones would survive and the others would not. Assistant Director Terry Clark also expressed disapproval of her treating shelter animals. In an apparent attempt to dissuade her, Clark stated in one conversation that Bernstein’s remedy would be to euthanize any shelter animals that he finds in the clinic.

While some may say this report is old news, AHS’s current Executive Director, Roseann Trezza, worked at AHS and served on the AHS Board of Trustees for three decades prior to the release of the SCI report. In fact, she was the Assistant Executive Director when the report was released. Popcorn Park Director, John Bergmann, also worked at AHS and was a Board of Trustees member during some of the time period covered by this report. Similarly, AHS Board of Trustees member and Treasurer, Barbara Lathrop, also had been with AHS for 27 years prior to the release of the SCI report. Thus, many people in AHS’s current leadership worked at AHS for many years during the horrible Lee Bernstein era.

Additionally, the SCI report alleged Roseann Trezza helped Bernstein implement his don’t treat the shelter animals plan:

In addition, Dr. Binkowski’s practice of returning animals under treatment to the shelter with instructions to the worker to administer certain medications was thwarted when Trezza issued a memorandum, dated March 9, 1994, to the front office and kennel staff that she was assigning one individual in the front office to “be responsible for dispensing the medication [and that n]o medications are to be held or given out by the kennel staff.” According to Dr. Binkowski, this rule effectively deprived many, if not most of the animals of their medications because the front office employee had numerous other responsibilities and administering to the shelter animals was not her primary assignment.

Finally, Roseann Trezza showed her true colors when AHS published a glowing memorial article on Lee Bernstein in a 2008 issue of the Humane News. Remarkably, AHS made no mention of Lee Bernstein’s egregious acts towards the shelter animals detailed in the SCI report.

Two years after the SCI report was published, AHS paid $138,057 to settle alleged violations of the State’s Consumer Fraud Act and Charitable Registration and Investigation Act. Unfortunately, the settlement agreement only mandated a two year monitoring program to ensure AHS’s compliance.

History of Conflicts with Shelter Veterinarians in SCI Report

The SCI report detailed recurring conflicts between AHS and its veterinarians over the care provided to animals at the organization’s Newark, Tinton Falls and Popcorn Park shelters. The striking thing about these conflicts was the consistency in the accounts from various veterinarians. The following statements by one AHS-Newark veterinarian summarized the theme of all these accounts well:

After you received my letter of resignation, you asked me what it would take to get me to sign a contract. One of the main reasons I am resigning is because insufficient resources are allocated for basic needs – housing, food, and medical well-being of the shelter animals and the operation of the Medical Department. As a result, it is my professional judgment that minimal standards of care are not being met and that delivery of medical care to animals is sorely lacking to the point that animals are suffering. Indeed, I am becoming increasingly alarmed at the level of care provided by AHS which I think is often below the minimal standard of humane care provided by state anti-cruelty laws. Also, I am concerned that AHS is acting negligently toward animal owners and the public that it is supposed to serve. I should state that I have many examples in addition to ones described below which I will discuss with you or any interested party.

Frankly, any animal welfare organization that repeatedly fights with its own veterinarians to provide less care to its animals should get out of the animal sheltering business.

AHS also responded in a defiant tone to the SCI report. The organization did state it would try to improve, accepted Lee Bernstein’s resignation and appointed Roseann Trezza as the new Executive Director. However, AHS also wrote the report was “replete with outdated information, pervasive exaggeration, factual embellishments, and intellectually impossible conclusions.” Thus, I did not leave with a warm fuzzy feeling that AHS was going to become a hunky dory organization.

AHS Throws a Concerned Employee Under the Bus

AHS fired an employee shortly after he raised concerns about a dog that eventually killed an adopter according to court documents. The employee expressed reservations about AHS’s and Roseann Trezza’s decision to adopt out a dog with a serious bite history. The dog’s previous owner paid AHS a $205 fee to keep the dog under observation for ten days, then euthanize, and cremate it. The dog killed the adopter nine days after the adoption in an attack that was eerily similar to the one on the previous owner. After hearing this news, the employee told other workers that he knew this would happen. Two weeks later AHS fired the employee under Roseann Trezza’s orders per the court documents.

AHS allowed another employee to continue working at the organization after he was charged with altering records related to the case. Several months after the dog killed the adopter, Burlington County authorities brought charges against AHS-Newark’s shelter manager at the time, Denton Infield, for allegedly deleting portions of the dog’s records indicating prior vicious behavior. Despite this act, AHS not only continued to employ Mr. Infield for years after this incident, but allowed him to represent the shelter in a number of media interviews.

While I don’t think AHS thought this dog could have killed this woman, the organization’s treatment of the two employees speaks volumes about AHS. The employee who correctly pointed out the issue was fired while the staff member who was charged with tampering with evidence stayed on in a prominent role with AHS. Evidently, loyalty is more important than doing the right thing at AHS.

AHS Fights Against Proposed Improvements from the Animal Welfare Task Force

After the SCI report on AHS and an earlier one on the the state’s SPCAs, Governor McGreevey formed the Animal Welfare Task Force to improve animal welfare in New Jersey. The Animal Welfare Task Force Report made the following recommendations:

  • Update animal cruelty laws
  • Replace the NJ SPCA with specially trained police officers to enforce animal cruelty laws
  • Use low cost financing to build more animal shelters
  • Implement progressive animal shelter policies
  • Make TNR legal and encourage its practice
  • Increase quality and quantity of animal shelter inspections
  • Improve training and oversight of animal control officers

While anyone seriously concerned about animals would enthusiastically support this report, Roseann Trezza came out strongly against a preliminary version. Specifically, Roseann Trezza seemed to parrot PETA, which kills almost all of its shelter animals, with this frightening quote:

“What they want is obviously unrealistic,” said Roseann Trezza, executive director of the Associated Humane Societies, the largest private animal shelter operation in the state with three shelters and a zoo. “In a perfect world, we wouldn’t have to euthanize any animal. But in reality, people do not want to adopt many animals we find and the job of animal protectors is not to merely prolong life, but to relieve suffering,” said Trezza.

To make matters worse, Roseann Trezza appeared to fight against the recommendation to make TNR legal and the preferred practice for dealing with feral cats:

Trezza recited a litany of New Jersey cases––familiar to ANIMAL PEOPLE––involving cat colony caretakers who worked without backups, then died, fell ill, or moved, leaving unfed cats behind.

While I don’t know if AHS opposed TNR for financial or philosophical reasons, the end result was the Animal Welfare Task Force recommendation for TNR never was adopted statewide.

AHS Fights With New Jersey Department of Health Inspectors

New Jersey Department of Health inspectors found horrific problems at AHS in 2009. While I could write an entire series of blogs on these inspection reports, the photos below summarize the conditions very well:

6 Puppy with wounded ears 13 Dogs in feces 14 Dog covered in feces 15 Dogs in dirty kennel 21 Dead animals in shopping cart 24 Closeup of Mange Dog 40 Dead Cat That Was Found in Colony Room 43 Dead Dogs in Shopping Carts. Blood. Maggots 44 Severe Fly And Maggot Infestation

AHS complained the inspectors were just too hard on them. In an interview with NBC New York, Denton Infield, who was charged with tampering with evidence in the dog killing an adopter case six years earlier, basically said dogs are going to poop at night and you can’t prevent them from wallowing in it. Mr. Infield went on to say poor AHS contracts with dozens of municipalities and might close due to potential fines. Ironically, New Jersey animal shelter regulations only allow fines of up to $50 per offense. During that year AHS had a $1.5 million profit and over $10 million in net assets. Clearly, Mr. Infield and AHS were full of it.

Sadly, the New Jersey Department of Health continued to find significant issues during another inspection in 2011. The inspection report noted dogs housed in kennels with a collapsed roof and workers throwing damaged roof material directly over these dogs. Additionally the report stated outdoor drains were in severe disrepair, no isolation areas for sick large dogs existed, automatic dog feeders were filthy, dogs were exposed to contaminated water and chemicals during the cleaning process, and some animals were not receiving prompt medical care.

The following photos were taken during the 2011 inspection:

AHS 2011 Insepction Sick Rottie AHS 2011 Inspection Cakes on Food 2 AHS 2011 Inspection Dog Near Feces in Drain AHS 2011 Inspection Dog Under Roof Construction AHS 2011 Inspection Smeared Feces

Outrageous Fight with Veterinarians and Animal Welfare Activists for Patrick

In 2011, AHS helped rescue an incredibly emaciated pit bull named Patrick. The dog was found in a garbage chute by workers in an apartment building and was rushed to AHS. To AHS’s credit, the shelter’s veterinarian stabilized Patrick and then sent him to a New Jersey veterinary hospital for intensive treatment. After bonding with Patrick, the veterinarians that ran the animal hospital wanted to adopt Patrick.

Instead of celebrating the fact that the severely abused dog finally had a loving home, AHS filed a lawsuit to take Patrick back. The lawsuit stated Patrick was “trademark registration number 23699” and was a “very valuable brand for commercial exploitation and fundraising.” Unsurprisingly, the animal welfare community was outraged by this action. Luckily, AHS ultimately lost the case after a judge awarded custody to the veterinarians who cared for Patrick.

Vicious Fights with Cory Booker

AHS fought with Cory Booker during the Senator’s tenure as Newark’s mayor. In 2011, the former Mayor announced his intention to build a new no kill shelter in Newark. Instead of rejoicing that AHS may have to kill fewer animals with another shelter in the city, AHS trotted out Denton Infield and spewed out all sorts of nonsense about no kill shelters. This nonsense seemed eerily similar to what PETA, which kills almost all of the shelter animals it takes in, says about no kill shelters. Ironically, AHS stated that Cory Booker should give the money he raised to AHS. Newark’s Deputy Mayor at the time, Adam Zipkin, rightfully called AHS on this BS, and cited no kill animal control shelters in Reno, Nevada, Tompkins County, New York, Charlottesville, Virginia, Marquette, Michigan, Berkeley, California, and Austin, Texas to prove Newark can be a no kill community.

AHS again fought with Cory Booker in 2013. This time AHS sent out Scott Crawford who complained former Mayor Booker was “belittling us and causing us problems.” After all, how dare the Mayor question the record of the high kill shelter with such a sordid history in his own city? Deputy Mayor Zipkin stated the city intended to build a new no kill shelter “due to our extreme dissatisfaction with the level of care at the existing AHS facility – and because far too many of the animals are unnecessarily killed there each year by AHS.” Thus, AHS could not get along with the popular mayor of the city where the organization’s largest shelter is.

Repeated Fights with Volunteers

AHS-Tinton Falls banned its volunteers in 1998 after the volunteers complained about poor shelter conditions. When complaints to AHS and the New Jersey Department of Health resulted in no meaningful actions, one volunteer reached out to her Assemblywoman on the matter. Subsequently, the NJ SPCA was contacted and around a week or so later AHS ended its volunteer program at the shelter for “insurance reasons.” At the time, Lee Bernstein said the volunteers complained about shelter conditions because they were just bitter about being banned. The volunteers were ultimately proven right after the SCI report came out citing the deplorable conditions at AHS’s shelters.

AHS-Newark’s relationship with volunteers running two separate “Friends” pages ended in recent years. In 2013, AHS banned the volunteers running the “Friends of Newark NJ Animal Shelter” Facebook page which currently has over 6,700 fans. At the time, the page primarily focused on saving the shelter’s dogs. In 2012, the last full year this page supported the shelter, AHS-Newark reported 15% of its dogs were killed, died, went missing or were unaccounted for. In 2013, after these volunteers were banned, 38% of AHS-Newark’s dogs were killed, died, went missing or were unaccounted for. Subsequent to the banning of these volunteers, another volunteer formed a Facebook page called the “Friends of Associated Humane Society – Newark.” However, the volunteer parted ways with AHS on less than friendly terms in 2014. Thus, AHS has a history of fighting with and banning the very volunteers giving their all to help the organization’s animals.

History Repeats Itself

To be fair, AHS has improved since the Lee Bernstein era. The SCI report did detail Roseann Trezza fighting with Lee Bernstein at times. For example, Roseann Trezza advocated for sending more animals to rescues.

However, AHS has a very long way to go. The organization’s kill rate is still way too high based on recent data. Furthermore, the three AHS shelters only adopted out 14-39 percent and 6-44 percent of cats and dogs that AHS should adopt out based on my recent analyses of the organization’s performance.

At the end of the day, I firmly believe the banned volunteers side of the story verses AHS’s version. This organization’s history of conflict and highly questionable activities is consistent with them banning volunteers for nefarious reasons. George Santayana stated:

“Those who fail to learn from history are doomed to repeat it”

Unfortunately with AHS’s history, fighting with volunteers and other animal advocates is par for the course. Until AHS’s senior leadership is replaced with competent and compassionate people, AHS’s history of not doing right by the animals will continue.