Atwater, Susan (DLR) From: Atwater, Susan (DLR) Sent: To: Ce: Subject: Friday, September 27, 2013 9:37 AM James Lamond; Buckley Matthew Alan McDonald RE: MUP 09-5658 and 10-6120 Congratulations to all parties on your settlement. | appreciate your efforts to finally and fully resolve all three cases MUP-09-5561/5658 and MUP-10-6120.
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. 1.
The Committee has insisted that there will not be any contract settlement that does not include an extension to the elementary work day, has rejected any discussion of the Association counter proposal and has rejected any discussion and/or acknowledgement of the inequity of teaching loads. Such give and take conversation is central to the bargaining process and to the settlement of a successor agreement.
Refute an AFT settlement agreement dated 2. 23. 17 (BTU) and 3.1.17 (BPS) and reached by parties Boston Public School Committee and Boston Teacher's Union , Local 66 My charge is in relation to an unfair relationship between my former employer and the public sector and an issue with state and local authorities regarding unpaid wages and wage claims against my former employer.
Yes No Note: The DLR 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 17. Name Lowell School Administrators Association 19. 18. Representative to contact 20. Telephone Number Colin R. Confoey, Esq. (617) 723-8440 Address (street and No., city/town, state, and ZIP code) 21.
The Employer contends that the Petitioner was unwilling to settle or resolve these issues following these discussions unless it was part of a settlement resulting in a new Collective Bargaining agreement. 16. The Respondent denies the allegations contained in Paragraph 16 as written and calls upon Petitioner to prove same. The Respondent contends that other discussions occurred as well outside of these meetings. 17.
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.
Srednicki: The Charging Party hereby withdraws the above captioned complaint filed with the Commission because we have reached a satisfactory settlement with the Respondent and request that the complaint be dismissed with prejudice. We are aware that it is unlawful for any person to threat en, intimidate or harass us because we have filed this complaint. We have also not been coerced into requesting this withdrawal. Very truly yours, ce: Atty.
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. 2.
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.
= lv] Yes (Tne Note: The DLR may decline to issue a complaint uniess reasonab le settlement efforts have been made by the charging party. 456 CMR 18.041). INFORMATION ON CHARGING PARTY 17. Name AFSCME Council 93 19. 18. Representative to contact 20. Telephone Number Joseph DeLorey, Esq. (617) 367-6035 Address (street and No., city/town, state, and ZIP code) 21. Fax Number 8 Beacon Street, 7th Floor, Boston, MA 02108 22.
Yes Note: The Division may decline fo issue's complaint unless reasonable settlement efforts have bean CMR 18.04(1). The Division may refer the charge to a Division mediator for settlement discussions. | No made by the charging party. 456 INFORMATION ON CHARGING PARTY 17. Name Massachusetts Nurses Association 18. Representative to contact 20. { Alan J McDonald 19.
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.
SUP-19-7224 * MASSACHUSETTS COUNCIL/MTA COMMUNITY COLLEGE * * SETTLEMENT AGREEMENT This Agreement is entered into by the Board of Higher Education (BHE), acting on behalf of North Shore Community College (NSCC), and the Massachusetts Community College Council/MTA (MCCC). Whereas, the MCCC and has filed a prohibited practice charge Whereas, the BHE/NSCC SUP-19-7224- and the MCCC in Case No.
arbitration because this is not a case of contract interpretation; the case involves the unilateral transfer of work outside of the bargaining unit, which is a mandatory subject ofbargaining under c.ISOE; and there is no pending grievance. 3 The Commission has discretion to defer a pre-arbitral dispute to the parties' collectively bargained grievance and arbitration process, under the rationale that doing so will "encourage prompt and effective settlement
Mm Yes L] No Note: The DLR 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 17. Name MCCC (DCE Unit) 19. 18. Representative to contact 20. Telephone Number Jonathan Conti 617-878-8000 Address (street and No., city/town, state, and ZIP code) 21.
Note: The Division may decline to issue 2 complaint unless reasonable settlement etfons have been made by ine charging party. CMR 15.04(1). The Division may refer the charge to a Division mediator for seitiement discussions. 456 INFORMATION ON CHARGING PARTY a7. Name 13. | Collective Bargaining Relief Representative to contact : 20. | Allison J. Zimmon Telephone Number | 508-485-6600 | Association (COBRA) | 19.
Yes x No The Division may decline to issue a complaint unless reasonable settlement efforts have been made by the charging party. 456 withoulhimilng your tights lo later amend your reniedial request, please explain what remedy you seek. P15. HaAud!S the amount of anyfi nancial remedy to which you claim entitlement. Cease and desist order; posting of notice; make whole order; bargaining order; all other appropriate relief. 16.
LI] Yes No Note: The DLR 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 17. Name New Bedford Police Union 19. 18. Representative to contact 20. Telephone Number Luke Liacos, Esq. 617-338-1976 Address (street and No., city/town, state, and ZIP code) 21.
Yes No Note: The DLR may decline to issue a complaint unless reasonable settlement efforls have been made by the charging party. 456 CMR 15.04(1). INFORMATION ON CHARGING PARTY 17. Name New Bedford Police Union 19. 18. Representative to contact 20. Telephone Number Luke Liacos, Esq 617-338-1976 Address (street and No., city/town, state, and ZIP code) 21.
[| Yes No Nofe: The DLR may decline to issue a complaint unless reasonable settlement efforts have been made by the charging party. 456 CMR 15.04/17). INFORMATION ON CHARGING PARTY 17. Name , New Bedford Police Union 19. 18. Representative to contact 20. Telephone Number Luke Liacos, Esq 617-338-1976 Address (street and No., city/town, state, and ZIP code) 21.