Fax Number Rd, Ste 310, Southborough, MA 01772 508-485-4477 *** Questions 24 and 24a relate only to Petitions filed pursuant to M.G.L. c.150E * * * 24. If the Petitioner is an Employee organization, has the Petitioner complied with the filing requirements of M.G.L. c.150E, 13 and 14? Yes No [| (24a.
Norris, Murray & Peloquin, LLC Southbridge Police Department 32 Cordaville Road Southborough, MA 01772 Dear Attorney Fares: I have received the petition of Attorney Ginny Kremer appealing the response of the Southbridge Police Department (Department) to request for public records. G. L. c. 66, l0A; see also 950 C.M.R. 32.08(1).
Logan Jlogan and Associates LLC 2 Alexandria Circle Suite 100 Southborough, MA O1772 Dear Ms. Logan: I have received your petition appealing the response of your public records request made by the Town of Bourne - Police Department. The requirements for an appeal are as follows: Such appeal shall be in writing, shall include a copy of the Qriginal request, and shall include a copy of the letter by which the custodian made a response.
Lamond Attorney at Law McDonald, Lamond, Canzoneri & Hickernell 352 Turnpike Road, Suite 310 Southborough, MA 01772-1756 Tel: (508) 485-6600 Fax: (508) 485-4477 Home Office: (603) 436-3223 e-mail: jlamond@masslaborlawyers.com THIS DOCUMENT IS INTENDED ONLY FOR THE USE OF THE PERSON TO WHOM IT IS ADDRESSED. IT MAY CONTAIN INFORMATION THAT IS 1
The Commonwealth of Massachusetts William Francis Galvin, Secretary of the Commonwealth Public Records Division Manza Arthur Supervisor of Records April 4, 2025 SPR25/0919 Sean McCarthy Lieutenant Southborough Police Department 32 Cordaville Road Southborough, MA 01772 Dear Lieutenant McCarthy: I have received the petition of Michael Dreslinski appealing the nonresponse of the Southborough Police Department (Department) to a request for public records
Newell Chief of Police Southborough Police Department 32 Cordaville Road Southborough, MA 01772 Dear Chief Newell: I have received the petition of Paul McLaughlin appealing the response of the Southborough Police Department (Department) to a request for public records. See G. L. c. 66, 10A; see also 950 C.M.R. 32.08(1). On February 19, 2024, Mr.
The Commonwealth of Massachusetts William Francis Galvin, Secretary of the Commonwealth Public Records Division Manza Arthur Supervisor of Records November 6, 2024 SPR24/2916 Raquel Loayza Paralegal Department of Agricultural Resources 225 Turnpike Road, 3rd Floor Southborough, MA 01772 Dear Ms.
The Commonwealth of Massachusetts William Francis Galvin, Secretary of the Commonwealth Public Records Division Manza Arthur Supervisor of Records November 22, 2024 SPR24/3071 Raquel Loayza Paralegal Massachusetts Department of Agricultural Resources 225 Turnpike Road, 3rd Floor Southborough, MA 01772 Dear Ms.
Rota, hereby certify that a copy of the foregoing Answer was served on all parties of record by mailing an electronic copy to Attorney Jason Powalisz, McDonald, McDonald, Lamond, Canzoneri & Hickernell, Cordaville Office Center 352 Turnpike Road, Suite 310, Southborough, MA 2013. 01772, on the 13 day of August, Maria C. Rota
Rota, hereby certify that a copy of the foregoing Answer was served on all parties of record by mailing an electronic copy to Attorney Jason Powalisz, McDonald, McDonald, Lamond, Canzoneri & Hickernell, Cordaville Office Center 352 Turnpike Road, Suite 310, Southborough, MA 2013. 01772, on the 13 day of August, Maria C. Rota
McDonald, Lamond, Canzoneri & Hickernell Attorneys at Law 352 Turnpike Road, Suite 310 Southborough, MA 01772-1756 www.masslaborlawyers.com Alan J. McDonald Telephone (508) 485-6600 James F. Lamond (617) 928-0080 Jack J. Canzoneri Facsimile (508) 485-4477 (617) 928-0081 Mark A. Hickernell Olinda R. Marshall Jason R. Powalisz Memoriam lon Dennis M. Coyne Vida K. Berkowitz (1994-2005) Andrew M. MacDonald Kristen A.
. ; Address (street and No., city/town, state, and ZIP code) 508 485 4477 McDonald, Lamond, Canzoneri & Hickernell, 352 Turnpike Road, Suite 310, Southborough, MA 22. 01772-1756 The Charging Party is an: Individual X Employee Organization Employer DECLARATION | have read the above charge of prohibitted practice and swear under the pains and penalties of perjury that the information contained in it is true and complete to the best of my knowledge and
See Town ofSouthborough, supra. Further, Mr. Calderwood does not claim that Massport suspended him because he filed charges with the DLR on July 18 and October 3, 2012, nor can he because his suspension occurred ten months or more before he filed either of his charges. Mr. Calderwood cannot establish that Massport suspended him because he engaged in protected, concerted activity. In the absence of this evidence, Mr.