lv] Yes LJ 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 18. Representative to contact NAGE 19. 20. Telephone Number Caroline M. O'Brien, Esq. 617 376 7275 Address (street and No., city/town, state, and ZIP code) 21.
Further, the decision contradicts COE preference not to be recorded while meeting with NAGE.38 COE would not allow NAGE to record the conversations regarding the meaning of terms of possible settlement on February 3, 2020. B. Audio-Recording is a Mandatory Subject of Bargaining In her Complaint, the Investigator stated that internal investigations are a mandatory subject of bargaining. (DLR Exh. 2.)
a Yes No Note: The Division may decline to issue a complaint unless reasonable settlement efforts have been made by the charging party 456 CMR 15.04(1). The Division may refer the charge to a Division mediator for settlement discussions. INFORMATION ON CHARGING PARTY 18. Name Guy Emerson 20. 19. Representative to contact 21. Telephone Number Guy Emerson 603-553-0473 Address (street and No., city/town, state, and ZIP code) 22.
Dear Attorneys Sorokoff and Kantany, The parties in these two cases have executed a settlement agreement, and therefore the union withdraws its charges of prohibited practice in cases MUP-20-8222 and MUP-21-8701. Thank you, James ________________________ James A.W. Shaw, Esq. Segal Roitman, LLP 33 Harrison Avenue, 7th Floor Boston, MA 02111 (617) 603-1432, phone (617) 742-2187, fax jshaw@segalroitman.com www.segalroitman.com 1
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 United Auto Workers, Local 2322 19. 18. Representative to contact 20. Telephone Number James Shaw, Esq. 617-603-1432 Address (street and No., city/town, state, and ZIP code) 21. Fax Number 33 Harrison Avenue, 7th Floor, Boston MA 02111 22.
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 Massachusetts State College Association 19. 18. Representative to contact 20. Telephone Number Laurie Houle (617) 878-8289 Address (street and No., city/town, state, and ZIP code) 21. Fax Number 2 Heritage Dr. Suite 800 Quincy, MA 02171 22.
On April 14, 2020, the MSCA emailed a proposal for a two-year successor agreement to Elizabeth Sullivan, Esq., the employers spokesperson in the negotiations, The MSCAs two-year proposal stated: The MSCA would like to make an effort to reach quick settlement on a successor agreement in light of the current pandemic, which would allow the parties to focus on increase work necessary to continue to provide high-quality instruction to our students.
No settlement inconsistent with the terms of this agreement may be agreed upon. 3. The purpose of the grievance procedure is to produce prompt and equitable solutions to those problems which from time to time may arise. 4. Inasmuch as a grievance procedure has been provided for, neither the Committee nor the Association will use any other means to settle a dispute or grievance covered by said grievance procedure.
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). The Division may refer the charge to a Division mediator for settlement discussions. INFORMATION ON CHARGING PARTY 39. The Charging Party is an Individual (1), Employee Organization (O), Employer 0 (E): 40. Name International Association of Firefighters, Local 1111 41.
The first step of the 4 procedure is between the employee and the Fire Chief and if no settlement is reached, 5 the grievance may be submitted to the Commissioners. Nowhere does the grievance 6 procedure state that is the exclusive avenue for employees to address what could 7 potentially be the subject of criminal charges. Cf. Edwin Parris & others v. Sheriff of 8 Suffolk County, 93 Mass. App.
If no settlement is reached at Step 1, then the grievance may be submitted to the WFC. 9 10 In December of 2017, Boutin had scheduled a yoga instructor to come to the station to teach a class for the firefighters. However, Boutin had not cleared the yoga session with Egloff and a CPR training was scheduled for the same day. Egloff instructed Boutin to cancel the yoga class. I find that Egloff had pulled Boutins ponytail on occasion.
INDEMNIFICATION 000055 Agency hereby agrees to indemnify and hold harmless Flock against any damages, losses, liabilities, settlements and expenses in connection with any claim or action that arises from an alleged violation of Section 3.1, a breach of this Agreement, Agencys Installation Obligations, Agencys sharing of any data in connection with the Flock system, Flock employees or agent or Non-Agency End Users, or otherwise from Agencys use of
Sent To Print By Iserv (iserv) 12/14/2021 10:14:36AM TAG #: VIN #: JS1GW71A262104414 record 2107719 All emails sent or received by Delores Hamilton, Yvonne Spicer, Thatcher Kezer, or Steven Trask b Amendment" Please include all attachments - Any legal invoices from Morgan Brown & Joy related to the MWDN's July 13 records request and s - Any invoices related to an investigation of Allison Benabdallah (If there's no responsive records, p - Any final settlement
BGG RAE OK SETTLEMENT AGREEMENT In the interest of promoting harmonious labor relations, the Commonwealth of Massachusetts through the Department of State Police (Department) and the Massachusetts Organization of State Engineers and Scientists Unit 9 (MOSES), hereby agree to the following as a final, full, and total settlement of the Charge of Prohibited Practice made by and/or on behalf of MOSES and its members in Massachusetts Department of Labor
LC] Yes No Note: The Division may decline to issue a complaint unless reasonable settlement efforts have been made by the charging party 456 CMR 18.04(1). The Division may refer the charge to a Divison mediator for settlement discussions, INFORMATION ON CHARGING PARTY 17. Name MA Organization of State engineers and Scientist} 19. 18. Representative to contact 20. Telephone Number Ann M.
Coutts and the BPD entered into a settlement agreement regarding her inability to complete the PAT due to her pregnancy and 12 how she would be treated in the next round of applicants (Testimony of Appellant, Exhibit 13). 34. Through the agreement the BPD and the City of Boston acknowledged that as of December 28, 2006 the BPD was not in possession of any information that would disqualify Ms.