City ofBoston, 35 MLC 289, 291, MUP-04-4077 (May 20, 2009); Town of Dracut, 25 MLC 131, 133, MUP1937 (February 17, 1999) The Charge does not allege any adverse action occurred to Perry following the July 15 and 16, 2014 interactions with Perrys supervisors or any administrator at the College. From MUP-10-6073: Northampton Because and International Brotherhood there must be real harm, disillusionment will not suffice.
Complaint of Prohibited Practice Interim Procedure for Scheduling of the Hearing Standing Order 2009-1 P:\TM Documents\Merge Templates\TM NOTICE OF COMPLAINT AND HEARING.doc COMMONWEALTH OF MASSACHUSETTS DEPARTMENT OF LABOR RELATIONS 19 STANIFORD STREET, 18 FLOOR BOSTON, MA 02114 PROCEDURE FOR SCHEDULING OF THE HEARING Case No.: MUP-15-4925 & MUP-16-5160 Charging Party: Grafton Municipal Employees Assoc.
Srednicki, Executive Secretary Commonwealth of Massachusetts Division of Labor Relations 19 Staniford Street, 1st Floor Boston, MA 02114 Re: Grafton Municipal Employees Association/Town of Grafton DLR, Case No. MUP-16-5160 Dear Mr.
Confoey, Esq., Kaplan & Confoey, 225 Friend Street, 5th Floor, Boston, MA 02114 M86 L. Terry, Esq Da te d: J une 24, 2016 Practice Areas/LABOR/l6305/00052/A3328359DOCX 4
Address (street and No., city/town, state, and ZIP code) 225 Friend Street, Suite 503 Boston MA 02114 30. FAX Number 617-723-8440 31. E-mail Address 32. Firm/Organization colin@massunionlaborlaw,com Name Kaplan and Confoey E 33.
Town of Chelmsford, 8 MLC at 1916 (citing City ofBoston, 8 MLC 1281, 1284- 5 Complaint and Partial Dismissal (contd) MUP-21-8387 1285, MUP-3891 (August 17, 1981)). Accordingly, I dismiss this portion of the Unions charge. COMMONWEALTH OF MASSACHUSETTS DEPARTMENT OF LABOR RELATIONS ____________________________________ MARGARET M.
See City ofBoston, 6 MLC 1096, 1097, MUP-2878 (May 23,1979)) (setting forth balancing test for determining when employees conduct loses protected status).
Address (street and No., city/town, state, and ZIP code) 2 Liberty Sq., 10th Floor Boston MA 02109 23. FAX Number 617-367-4820 EMPLOYEE ORGANIZATION'S LABOR RELATIONS REPRESENTATIVE 24. Name Patrick N. Bryant 25. Telephone Number 617-367-7200 26,27,28,29. Address (street and No., city/town, state, and ZIP code) 2 Liberty Sq., 10th Floor Boston MA 02109 30. FAX Number 617-367-4820 31. E-mail Address pbryant@pylerome.com 32.
Zessin (BBO# 677612) KP Law, P.C. 101 Arch Street Boston, MA 02110-1109 (617) 556-0007 tzessin@k-plaw.com Date: January 18, 2023 CERTIFICATE OF SERVICE I, Timothy D. Zessin, hereby certify that on the below date, I served a copy of the foregoing Respondent City of Attleboros Withdrawal of Appeal by electronic mail to the following counsel of record: Patrick Bryant, Esq.
Zessin (BBO# 677612) KP Law, P.C. 101 Arch Street, 12th Floor Boston, MA 02110-1109 (617) 556-0007 tzessin@k-plaw.com Date: April 4, 2022 20 CERTIFICATE OF SERVICE I, Timothy D. Zessin, hereby certify that I have served a true and accurate copy of the foregoing Respondent City of Attleboros Post-Hearing Brief by electronic mail to the following counsel of record on April 4, 2022: Patrick Bryant, Esq.
Bryant Pyle Rome Ehrenberg PC 2 Liberty Square, 10th Floor Boston, MA 02109 617-367-7200 pbryant@pylerome.com Date: April 4, 2022 14 While Maskell was subject to a different Department head, she was subject to the same edict about visitors as the firefighters. Plus, her conduct was as notorious as the firefighters, given that she appeared in the photo. Plus, City Hall and the Citys former labor counsel were involved in the reprimand of Jacques.
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.
CITY OFBOSTON FIRE DEPARTMENT and MASSACHUSETTS CIVIL SERVICE COMMISSION MEMORANDUM OF DECISION AND ORDER ON PLAINTIFFS AND CIVIL SERVICE COMMISSIONS CROSS-MOTIONS FOR JUDGMENT ON THE PLEADINGS AND BOSTON FIRE DEPARTMENTS MOTION TO DISMISS Plaintiffs are former Fire Lieutenants with the Boston Fire Department (BFD). More Aete.
At some point in early June, Joseph Aiello, the Boards Chair, was informed that MBTA buses were being used to transport City ofBoston police officers to protests against systemic racism and police violence so that they could cover the protests. Additionally, Chair Aiello was also informed that MBTA buses were being used to transport members of the public who had been arrested at the protests.
Commissioners of Civil Service v. 6 Municipal Ct. of the City ofBoston, 359 Mass. 214 (1971). All applicants must be adequately and fairly considered. A "preponderance of the evidence test requires the Commission to determine whether, on the basis of the evidence before it, the Appointing Authority has established that the reasons assigned for the bypass of an Appellant were more probably than not sound and sufficient." Mayor of Revere v.
See City ofBoston, 35 MLC 289, MUP-04-4077 (May 20, 2009)(the same elements of proof apply to alleged violations of both Section 10(a)(3) and Section 10(a)(4) of the Law).
City ofHolyoke, 35 MLC 153 (2009); Town of Carver, 35 MLC 29 (2008); City ofBoston, 35 MLC 269 (2009); Town of Clinton, 12 MLC 1361 (1985). All of these elements have been met in this case. It was not contested during the hearing that Mr. Barris had engaged in concerted activity protected by Chapter 150E, that BHA knew of his concerted, protected activity, and that adverse actions were taking against Mr.
See generally City of Holyoke, 35 MLC at 156 (citing Town of Dracut, 25 MLC 131, 133 (1999)); compare City ofBoston, 35 MLC at 291 (2009) (citing Sallis v.
City of Holyoke, 35 MLC 153, 156, MUP-04-4503 (Jan. 9, 2009); Town of Carver, 35 MLC 29, 47, MUP-03-3094 (June 30, 2008); City ofBoston, 35 MLC 289, 291, MUP-04-4077 (May 20, 2009); Town of Clinton, 12 MLC 1361, 1365, MUP5659 (Nov. 9, 1985). The Charging Party has failed to make out a prima facie case, and therefore, his case should be dismissed.
Roberts, Director Department of Labor Relations 19 Staniford Street, 1 Floor Boston, MA 02114 RE: Brockton Housing Authority and Walter Barris: MUP-19-7544; MUP-197545 Respondents Response and Request to Dismiss or Show Cause Director Roberts, Please be advised that I represent the Respondent, Brockton Housing Authority (BHA), in the above-referenced matters, brought by a current employee, Walter Barris.
City ofHolyoke, 35 MLC 153 (2009); Town of Carver, 35 MLC 29 (2008); City ofBoston, 35 MLC 269 (2009); Town of Clinton, 12 MLC 1361 (1985). All of these elements have been met in this case. It was not contested during the hearing that Mr. Barris had engaged in concerted activity protected by Chapter 150E, that BHA knew of his concerted, protected activity, and that adverse actions were taking against Mr.
See generally City of Holyoke, 35 MLC at 156 (citing Town of Dracut, 25 MLC 131, 133 (1999)); compare City ofBoston, 35 MLC at 291 (2009) (citing Sallis v.
City of Holyoke, 35 MLC 153, 156, MUP-04-4503 (Jan. 9, 2009); Town of Carver, 35 MLC 29, 47, MUP-03-3094 (June 30, 2008); City ofBoston, 35 MLC 289, 291, MUP-04-4077 (May 20, 2009); Town of Clinton, 12 MLC 1361, 1365, MUP5659 (Nov. 9, 1985). The Charging Party has failed to make out a prima facie case, and therefore, his case should be dismissed.
Roberts, Director Department of Labor Relations 19 Staniford Street, 1 Floor Boston, MA 02114 RE: Brockton Housing Authority and Walter Barris: MUP-19-7544; MUP-197545 Respondents Response and Request to Dismiss or Show Cause Director Roberts, Please be advised that I represent the Respondent, Brockton Housing Authority (BHA), in the above-referenced matters, brought by a current employee, Walter Barris.