G.L. c. 6E 1 defines a law enforcement agency as follows; (i) a state, county, municipal or district law enforcement agency, including, but not limited to: a city, town or district police department, the office of environmental law enforcement, the University of Massachusetts police department, the department of the state police, the Massachusetts PortAuthority police department, also known as the Port of Boston Authority police department, and the
privacy; provided, however, that this subclause shall not apply to records related to a law enforcement misconduct investigation G.L. c. 6E 1 defines a law enforcement agency (i) a state, county, municipal or district law enforcement agency, including, but not limited to: a city, town or district police department, the office of environmental law enforcement, the University of Massachusetts police department, the department of the state police, the Massachusetts
GL. c. 6E 1 defines a law enforcement agency as follows; (i) a state, county, municipal or district law enforcement agency, including, but not limited to: a city, town or district police department, the office of environmental law enforcement, the University of Massachusetts police department, the department of the state police, the Massachusetts PortAuthority police department, also known as the Port of Boston Authority police department, and the
M.G.L. c. 6E 1 defines a law enforcement agency as follows; (i) a state, county, municipal or district law enforcement agency, including, but not limited to: a city, town or district police department, the office of environmental law enforcement, the University of Massachusetts police department, the department of the state police, the Massachusetts PortAuthority police department, also known as the Port of Boston Authority police department, and
Acting Chief Legal Counsel Massachusetts PortAuthority One Harborside Drive, Suite 200S East Boston, MA 02128-2909 RE: Open Meeting Law Complaints Dear Attorney Kalowski: This office received two complaints from Ronald Beaty, dated November 28, alleging that the Massachusetts Port Authority (the "Authority") violated the Open Meeting Law, G.L. c. 3OA, 18-25.1 The complaints were originally filed with the Authority on October 20 and October 23; and
arrest for any reason; or any other special, reserve or intermittent police officer. 2 Law Enforcement Agency is defined in section 1 of chapter 6E of the General Laws as: (i) a state, county, municipal or district law enforcement agency, including, but not limited to: a city, town or district police department, the office of environmental law enforcement, the University of Massachusetts police department, the department of the state police, the Massachusetts
Law enforcement agency, o (i) a state, county, municipal or district law enforcement agency, including, but not limited to: a city, town or district Police department, [Local] the office of environmental law enforcement, [Environmental Police] the University of Massachusetts Police department, [UMass Police] the department of the state Police, [MSP] the Massachusetts PortAuthority Police department, also known as the Port of Boston Authority Police
Additionally, the Massachusetts Port Authority responded by letter dated October 22, 2014. Following our review, we find that the Committee is not a public body subject to the Open Meeting Law. In reaching this determination, we reviewed the complaint filed with the Committee, the responses by the Committee and the Massachusetts PortAuthority, and the complaint filed with our office.
Hurley Building 19 Staniford Street, 1st Floor Boston, MA 02114 Re: Teamsters Local Union No. 25 and Massachusetts PortAuthority Case No. UP-16-5107 Dear Sir/Madam: Enclosed for filing please find Respondent Massachusetts Port Authoritys Response and Affirmative Defenses regarding the above captioned matter. Thank you for your assistance. Very truly yours, Colin R. Boyle REM\kd Enclosures Copies to: Renee J. Bushey, Esq. Kelly B.
Telephone Number Kelly Strong, Director 617-568-7426 Massachusetts PortAuthority 3. Address (street and No., city/town, state, and ZIP code) 5. Fax Number One Harborside Drive, Suite 200S East Boston, MA 02128 6. Employee Organization (if any): Teamsters Local Union No. 25 8. 7. Representative to contact 9. Telephone Number John Murphy/ B.A 617-241-8825 Address (street and No., city/town, state, and ZIP code) 544 Main Street, Boston, MA 10.
Hurley Building 19 Staniford Street, 1st Floor Boston, MA 02114 RE: Teamsters Local 25 and Massachusetts PortAuthority Case No.: UP-16-5107 Dear Madam/ Sir: Please be advised that as the parties have settled the above-referenced matter, the Union hereby withdraws its charge of prohibited practice with prejudice. If you have any questions concerning this matter, please do not hesitate to contact me. Very truly yours, Renee J.
Massachusetts PortAuthority Case No. UP-14-3629 National Conference of Firemen & Oilers, Local 3, SEIU v. Massachusetts Port Authority Case No. UP-14-3645 International Longshoremans Association, Local 809 vy. Massachusetts PortAuthority Case No. UP-14-3644 Teamsters, Local 25 v. Massachusetts Port Authority Case No. UP-14-3643 Pipefitters, Local 537 v. Massachusetts PortAuthority Case No. UP-14-3683 Dear Mr.
COMMONWEALTH OF MASSACHUSETTS DEPARTMENT OF LABOR RELATIONS Massachusetts PortAuthority, Respondent Case Nos. UP-14-3629 UP-14-3645 UP-14-3683 v. IBEW, Local 103, NCFO, Local 3, SEIU, Pipefitters, Local 537, Charging Parties.
COMMONWEALTH OF MASSACHUSETTS DEPARTMENT OF LABOR RELATIONS Massachusetts PortAuthority, Respondent Case Nos. UP-14-3629 UP-14-3645 UP-14-3683 v. IBEW, Local 103, NCFO, Local 3, SEIU, Pipefitters, Local 537, Charging Parties. MASSACHUSETTS PORT AUTHORITYS ANSWER TO AMENDED COMPLAINT OF PROHIBITED PRACTICE AND PARTIAL DISMISSAL!
Employer F Massachusetts PortAuthority 3, 2. Representative to contact 4. Telephone Number Kelly B. Strong, Esq. 617-568-5000 Address (street and No., city/town, state, and ZIP code) 5. Fax Number One Harborside Drive, Suite 200S, East Boston, MA 02128-2909 6. Employee Organization (if any): Pipefitters Local 537 8. 7. Representative to contact 9.
MASSACHUSETTS PORTAUTHORITY, Respondent Nemet Nemer4 amet! V. NOTICE OF WITHDRAWAL OF CHARGE OF PROHIBITED PRACTICE Please accept this as notice that Pipefitters, Local 537 hereby withdraws with prejudice its Charge of Prohibited Practice in the above-captioned matter. Respectfully submitted, Charging Party, PIPEFITTERS, LOCAL 537, By its Attorneys /s/ Jasper Groner Ira Sills, Esq. Jasper Groner, Esq.
INTERNATIONAL LONGSHOREMENS ASSOCIATION, LOCAL 809 * & and 6 + NATIONAL CONFERENCE OF FIREMEN AND OILERS, LOCAL 3, SEIU + and + PIPEFITTERS, LOCAL 537 HRRAEKHKEREREREREEEERKEEREEREREREEREAEEREREREEREER KKK COMPLAINT OF PROHIBITED PRACTICE AND PARTIAL DISMISSAL On April 9, 2014, the International Brotherhood of Electrical Workers, Local 103 (IBEW) filed a charge of prohibited practice with the Department of Labor Relations (DLR), alleging that the Massachusetts
Representative to contact Massachusetts PortAuthority 3. 4. Telephone Number Rachel E, Munoz, Esq. 617-523-6666 Address (street and No.. city/town, state, and ZIP code) Morgan, Brown & Joy, LLP, 200 State St., 11th Flr., Boston, MA 6. Employee Organization (if any): Nat'l Conf. of Firemen & Oilers, Local 3, SETU 8. 5. Fax Number 02109 617-830-0547 7. Representative to contact 9.
COMMONWEALTH OF MASSACHUSETTS DEPARTMENT OF LABOR RELATIONS Massachusetts PortAuthority, Charging Party, Case No. UPL-14-3802 v. N.C.F.O., Local 3, SEIU Respondent. NOTICE OF WITHDRAWAL OF CHARGE OF PROHIBITED PRACTICE Please accept this notice that in the above-captioned matter, the Massachusetts Port Authority hereby withdraws its Charge of Prohibited Practice with prejudice.