Ct. of the City ofBoston, 359 Mass. 211, 214 (1971). The issue before the Commission is "not whether it would have acted as the appointing authority had acted, but whether, on the facts found by the commission, there was reasonable justification for the action taken by the appointing authority in the circumstances found by the commission to have existed when the appointing authority made its decision." Watertown v. Arria at 334.
City ofBoston, 26 MLC 215, 216, MUP-2081 (May 31, 2000); City of Everett, 26 MLC 25, MUP-1542 (July 22, 1999). Here, the Union has failed to substantiate that a meeting of the minds occurred with respect to the MOU drafted by Hynes on or about April 4, 2018.
Hurley Building 19 Staniford Street, 1 Floor Boston, MA 02114 RE: Lowell Firefighters Local 853 v. City of Lowell Docket # MUP-18-6745 Dear Mr. Roberts: The Union hereby withdraws this charge as the parties have resolved this matter. Thank you. ae Nery ; AS Truly Yours ae < a Paul ) wt one es PTH/smb / Cc: Rachel Brown, Esq. Megan Ventrella, Esq. - DLR ANGOFF, GOLDMAN, MANNING & HYNES, P.C.
City ofBoston, 20 MLC 1603, 1607, MUP-7976 (May 20, 1994); Commonwealth of Massachusetts, 20 MLC 1545, 1552, SUP-3460 (May 13, 1994). I find that the MEA failed to provide sufficient facts that the School Committee instituted a change.
Roberts Director Department of Labor Relations 19 Staniford Street, 1st Floor Boston, MA 02114 Re: Melrose School Committee and Melrose Education Association MUP-20-8369 and MUP-20-8370 Dear Mr. Roberts: The Melrose School Committee (Committee or Melrose) acknowledges receipt of correspondence from the Department of Labor Relations (DLR) that charges have been docketed in the above-referenced matters.
COMMONWEALTH OF MASSACHUSETTS CIVIL SERVICE COMMISSION One Ashburton Place: Room 503 Boston, MA 02108 (617) 727-2293 SCOTT BACON, Appellant v. G1-17-075 CITY OF HOLYOKE, Respondent Appearance for Appellant: Shawn P. Allyn, Esq.
COMMONWEALTH OF MASSACHUSETTS CIVIL SERVICE COMMISSION One Ashburton Place, Room 503 Boston, MA 02108 (617) 979-1900 DAVID D. BEAUREGARD, Appellant v. G2-19-100 CITY OF CHICOPEE, Respondent Appearance for Appellant: Thomas A. Kenefick, III, Esq. 73 Chestnut Street Springfield, MA 01103 Appearance for Respondent: Thomas John Rooke, Esq.
AF T The Institute for Public Service (IPS) is located in the Sawyer Business School at Suffolk University, Boston, MA. The Suffolk IPS Team partnered with the IPSs National Center for Public Performance (NCPP) in this effort. The NCPP is an interdisciplinary research and public service center, devoted to improving performance in and of public and nonprofit organizations.
Murray Supervisor of Records February 7, 2018 SPRIS/117 Martha DeMaio City ofBoston- Police Department One Schroeder Plaza Dear Ms. DeMaio: I have received the petition of Said Mghafri appealing the response of the City ofBoston Police Department (Department) to a request for public records. G. L. c. 66, 1OA; see also 950 C.M.R. 32.08(1). Specifically, Mr.
City ofBoston and Sena, Local 9158, MUP-17-6211 and MUP-18-6679 (March 31, 2020). The Unions Notice of Appeal is barren of any evidence or legal argument showing that the Investigator exceeded her authority or abused her discretion. As a result, the Investigators dismissal should be affirmed. B. No Good Cause.
Fax Number 10 Park Plaza, Suite 4360, Boston, MA 02116 6. Employee Organization (if any): Coalition of MassDOT Unions - Unit E 8. 7. Representative to contact 9. Telephone Number Paul Donohue 617-367-2727 Address (street and No., city/town, state, and ZIP code) 90 North Washington Street #3, Boston, MA 02114 10, Fax Number 617-367-9371 11. This charge is filed against (check one) 12.
M.O.S.E.S. 90 North Washington Street, Suite 3 Boston, MA 02114 Denise Brogna, Esq. MassDOT 10 Park Plaza, Suite 7760 Boston, MA 02116 Re: SUP-20-8102, Massachusetts Department of Transportation and Coalition of MassDOT Unions Dear Mr. Donohue and Ms.
Brogna, BBO# 662920 Senior Lead Counsel Employment Litigation MassDOT/MBTA Office of the General Counsel 10 Park Plaza Boston, MA 02116 (617) 222-3189-office (617)429-9236-cell dbrogna@mbta.com CERTIFICATE OF SERVICE I, Denise Brogna, hereby certify that I have caused a copy of this document to be served by email, upon attorney Paul Donohue counsel for Charging Party the Coalition of MassDOT Unions-Unit E at PDonohue@moses-ma.org on this date.
M.O.S.E.S. 90 North Washington Street, Suite 3 Boston, MA 02114 Denise Brogna, Esq. MassDOT 10 Park Plaza, Suite 7760 Boston, MA 02116 Re: SUP-20-8102, Massachusetts Department of Transportation and Coalition of Mass DOT Unions Dear Mr. Donohue and Ms.
(BBO No, 563793) Special Projects Attorney, MOSES 90 North Washington Street, Suite 3 Boston, MA 02114 pdonohue@moses-ma.org (617) 367-2727 CERTIFICATE OF SERVICE I hereby certify that I served this Notice of Appeal on Denise Brogna, Esq. via email on todays date, October 2, 2020 /s/ Paul K. Donohue __________________________ Paul K. Donohue 5
Memorandum of Agreement between the Boston Teachers Union, Local 66 AFTMassachusetts and the School Committee of the City ofBoston This agreement, entered into this 9th day of September, 2020, between the Boston Teachers Union, Local 66, AFT-Massachusetts (BTU) and the School Committee of the City ofBoston (School Committee) is intended to address the impacts on terms and conditions of employment attendant to the Citys decision to reopen the Boston
Srednicki Executive Secretary Department of Labor Relations | | 19 Staniford Street, 1 Floor Boston, MA 02114 | Re: New England Police Benevolent Association and Commonwealth of Massachusetts (Massachusetts Department of Correction); Department of Labor Relations; Case No.: SUP-07- 5341 Dear Mr.