Grenier requested the following: [1] All written and/or electronic documentsregarding the case involving [named individual] that were created, prepared, shared, or provided to/from the Town by the American Arbitration Association in and around 2009; [2] All written and/or electronic documentsregarding the case involving [named individual] that were created, prepared, shared, or provided to/from the Town with regards to financial settlements.
Herman requested, all settlement agreements, exit agreements, separation agreements, and/or the like executed between Boston Public Schools and its employees for the period April 29, 2022 to the present. Claiming to not yet have received responsive records, Mr. Herman petitioned this office and this appeal, SPR22/1452, was opened as a result.
Wallack requested [a]n electronic log of legal settlement and judgment payouts by the city of Boston since January 1, 2011, including the amount of the payments, the recipient of the payments, the category of payments, the department related to the payment, the date of the payment, and a description of the payment. Claiming to not yet have received a response, Mr. Wallack petitioned this office and this appeal was opened as a result.
On July 11, 2022, Attorney Carbone requested numerous records regarding a settlement agreement with the City and a named company. On September 9, 2022, the City responded. Unsatisfied with the Citys response, Attorney Carbone petitioned this office and this appeal, SPR22/2154, was opened as a result.
Norris requested the following records: 1) A copy of a document showing all settlement agreements DMH made regarding claims of sexual abuse, failure to protect, and/or negligence; 2) A copy of any document listing DMH as a Defendant in civil action concerning the allegation of racial discrimination. Claiming to not yet have received a response, Mr. Norris petitioned this office and this appeal, SPR23/0390, was opened as a result.
04/26/2012 10:56 16176266933 BRD CONCIL & ARBITR PAGE MEMORNADUM OF AGREEMENT BETWEEN THE CITY OF SPRINGFIELD AND THE UNITED PUBLIC SERVICE EMPLOYEES UNION | The parties, City of Springfleld and the United Public Service Employees cost and uncertainty of litigation and therefore agree to the followi Union hereby seek to avoid the ng settlement terms: 1.
In accordance with the terms of resulting settlement agreement, the Charging Party withdraws the above-referenced charge (original and amended) with prejudice and respectfully requests that the Department close this matter. Respectfully submitted, EDUCATIONAL ASSOCIATION OF WORCESTER, by its attorney, CLaurie R.
Detail Compensation Description of Any Prohibited Practice Charges Pending Between the Parties N/A Other Information Size and composition of Units (Total # of Employees Covered by the Contract) Fifteen (15) Patrolman Name and Titles of Members of Bargaining Committees Jack Parlon, NEGB Management John Bateman Rebert Morgan Zack Potryku: Manner of Settlement in Last Two Contract Negotiations (Mediation, Fact Finding, etc.)
Description of Any Prohibited Practice Charges Pending Between the Parties NIA Other Information Size and composition of Units (Total # of Employees Covered by the Contract) Eight (8) Name and Titles of Members of Bargaining Committees Jack Parlon, Management NFOB John Bateman _Rebert Morgan Zack Potrykus Manner of Settlement in Last Two Contract Negotiations (Mediation, Fact Finding, etc.)
OTHER C' Mr toi Of IMENTS: (e.g. additional settlements i.e. ULPs) OF iD" = MEDIATOR: _ signep: . (Sue: Wer DATE: ; ~ DIRECTOR: 1 APPROVED CASE CLOSED SIGNED: Ol OTHER: DATE: 7/3Y od