Kelley, Gwenn (EOL) From: Sheilah McCarthy Sent: To: Ce: Subject: Wednesday, March 22, 2017 5:42 PM Efile DLR (EOL) Kier Wachterhauser MUP-16-5638 and MUP-17-5715 - Request for voluntary withdrawal/dismissal TimeMattersID: MC607A75AF561181 Dear Sir/Madam: Please be advised that the Parties to the above-referenced cases have reached agreement on the terms of a settlement that requires the withdrawal with prejudice of both
Note: The DLR may decline to issue a complaint unless reasonabie settlement efforts have been made by the charging party. 456 CMR 15.04(1). INFORMATION ON CHARGING PARTY 17. Name 18. Representative to contact Marlborough Muncipal Employees Assoc. 19. 20.| Telephone Number Sheilah F. McCarthy 508-358-8181 Address (street and No., city/town, state, and ZIP code) 21.
In addition, the Parties are directed to confer as to whether they are willing to engage the services of a DLR Mediator for possible Utilization of a mediator will not delay the commencement of the Hearing. settlement. 1.
Settlement Agreement On July 20, 2012, Ago filed a grievance alleging that ISD had changed the terms of the February 4, 2010 MOA. On August 13, 2014, the Union and the City entered into a settlement agreement that provides, in relevant part:* The Working Foreman Maintenance Craftsman Additional Duties shall supervise the Maintenance Craftsman and perform such additional duties as outlined in the agreement dated February 4, 2010.
Note: The Division may decline to issue a complaint unless reasonable settlement efforts have been made by the charging party. 456 CMR 15.04 (1) INFORMATION ON CHARGING PARTY 18. Name 19. Representative to contact AFSCME Council 93 Atty. Joseph DeLorey 20. Address (street and No., city/town, state, and ZIP code) 8 Beacon St., Boston, MA 02108 23. The Charging Party is an : C1 Individual 21. Telephone Number 617 367 6035 22.
Walleigh was assigned to provide risk management assistance as well, which involved representing DHCDs interest at the insurer of public housing authorities, monitoring tort cases (slip & falls, etc.) and recommending settlements when the amounts exceeded the public housing authoritys deductible.
Yes No L | Note: The DLR may decline to issue a complaint unless reasonable settlement efforts have been mada by the charging party. 456 CMR 15.04(1). INFORMATION ON CHARGING PARTY 17, Name 18. Representative to contact 20, Telephone Number Quesiyah Ali, Esq. 617-878-8288 Haverhill Education Association Address (street and Na., city/town, state, and ZIP code) 21.
In support of this request, the Association notes that it did not receive a drafi settlement agreement from the School Committee until January 18. 2017, leaving an insufficient period of time for the Association to review, finalize and execute the agreem ent. Thank you for your consideration. Sincerely, (7 \ UB Quesiyah a Ali ef Au &) H Direct Dial (617) 878-8288 qali@massteacher.org (olor William Cox, Esq.
In support of this request, the Associ ation notes that while the parties have reached a tentative agreement regarding terms, to date the School Committee has not forwarded it any draft settlement. Counsel for the School Commi ttee has advised that the local should receive its draft by tomorrow, January 6, 2017. Accordingly, the local will need additional time for review, finalization and execution of the agreem ent.
In addition, the Parties are directed to confer as to whether they are willing to engage the services of a DLR Mediator for possible settlement. Utilization of a mediator will not delay the commencement of the Hearing.
On September 16, 2019, Chamberlain signed a settlement agreement that resolves both the written warning and the suspension grievances. The first line of the signed settlement agreement reads: In full and final settlement of two grievances concerning discipline filed on behalf of CO Chamberlain.
Yes L] No Certified letter dated 12/31/2018 requesting section 5.04 step 1 action Note: The DLR may decline fo issue a complaint unless reasonable settlement efforts have been made hy the charging party. 456 CMR 15,04(1). INFORMATION 17. Name Brian D. Chamberlain 49. 18. Representative to contact 20. Telephone Number TBD 617-515-6689 21. Fax Number Address (street and No., city/town, state, and ZIP code) 13 Riddell Street, Greenfield, MA 22.
Wallack requested a copy of a settlement agreement between the town and [a named individual], including the amount of the settlement. Previous Appeal This request was the subject of a previous appeal. See SPR23/0878 Determination of the Supervisor of Records (May 11, 2023). In my May 11th determination, I ordered the Town to provide Mr. Wallack with a response to his request. On May 17, 2023, the Town responded.
Herman requested a copy of: "any and all settlement agreements, exit agreements, severance agreements, and/or the like that the [MSLC] has executed with employees for the period of January 1, 2015 to the present." On June 25, 2018, the MSLC provided Mr. Herman with the responsive employee termination settlement agreements of three individuals that were executed on April 6, 2017, April 20, 2017 and May 23, 2017.
Srednick, AFSCME and the City of Fall River have reached settlement on the following BCA cases: 09-047 Larry Fonseca Termination (Tim Hatfield, arbitrator) 10-206 Water Department Added Duties 10-319 Frederick Lima One Day suspension Withdrawal letters will be sent upon full compliance with the terms of the settlement agreements.
Sullivan: Sent: Via Facsimile Enclosed please find a copy of the City of Haverhill's payment documentation in reference to the settlement agreement for the above-mentioned cases. Additionally, please be advised that the jurisdictional hold is no longer required. If you have any questions concerning this matter, please feel free to contact me. Sincerely, Edward J.
Hurley Building 19 Staniford Street 1% Floor Boston, MA RE: 02114 Winchendon Support Personnel Association and Winchendon Public Schools Grievance Arbitration, Fein No. 237132819 Dear Attomey Atwater: As the Winchendon Support Personnel Association (WSPA) and Winchendon Public Schools have reached a settlement in this matter, on behalf of the WSPA, we write to withdraw our request for grievance arbitration. any questions.