Settlement Agreement 1. The Stoughton School Committee (School Committee) and the Stoughton Teachers Association (Union) hereby agree as follows: a.) The School Committee agrees to send the letter, attached as Exhibit A of this Settlement Agreement to the Union and to abide by its commitments in the letter. b.) The Union agrees to withdraw charge MUP-13-2603 with prejudice. c.)
Note: The Division may decline to issue a complaint unless reasonable settlement efforts have been made by The Division may ] Yes the charging party 456 CMR No 15.04(1). refer the charge to a Divison mediator for settlement discussions. INFORMATION ON CHARGING PARTY 17. Name Stoughton Teachers Assoc 19. 18. Representative to contact 20. Telephone Number Ira Fader, Esq. 617-878-8245 Address (street and No., city/town, state, and ZIP code) 21.
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. 4.
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 17. Name New England Police Benevolent Assn' 19. PARTY 18. Representative to contact 20. Telephone Number Thomas E. Horgan 617-770-2929 Address (street and No., city/town, state, and ZIP code) 21.
The parties are directed to bring individuals with settlement authority to the mediati on, or have individuals with settlement authority available by telephone that day. Under no circumstances will mediation delay the scheduled expedited hearing date. ARBITRATION: Pursuant to Chapter 151, Section 577 of the Acts of 1996, parties may submit the case to an impartial arbitrator, subject to the requirements set forth in that statute.
The School indicates that it "reviewed the requested settlement agreements and, in good faith, redacted educational placement information in some agreements, but not others, given the concerns articulated above.
Rocheleau requested "[a]ny/all documents related to payments made for legal settlements and judgments involving the [EOEEA], its subagencies*, or employees from Jan. 1, 2015 through present date. This is [sic] includes but is not limited to settlements/agreements/ arbitration made both in and out of court." Mr.
This office has long held that settlement agreements are public records, and must be disclosed, subject to redaction. A 2013 Superior Court decision provides further guidance with respect to the public nature of separation, severance, transition or settlement agreements, as well as the types of personnel information included within such agreements that may be exempt from disclosure. See Globe Newspaper Company, Inc. v.
Rocheleau requested "[a]ny/all settlement agreements regarding the provision of special education service(s) and/or educational placement(s) for students with disabilities entered into by your school district with parent( s)/guardian( s) from Jan. 1, 2010 through present." On February 20, 2020, the School provided Mr. Rocheleau with a response which included a fee estimate. Unsatisfied with the School's response, Mr.
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), |O Employer (E): 40. Name 41.
Please be advised that the parties have reached a full and complete settlement of this matter and that the LSAA is hereby withdrawing the Charge from further proceedings before the DLR in accordance with that agreement. The Superintendent of the Lynn Public Schools, Dr. Patrick Tutwiler, and the School Committees Attorney, John Mihos, are copied on this email. Thank you. Colin Colin R.
Srednicki, Ed (DLR); Stephanie McNeil Lutz (smlutz@franklin.ma.us); Stephen Rivard (chiefr@mindspring.com); Ted Alexiades; Thomas Guerino (tguerino@townofbourne.com); Thomas McDermott (tmac1044@verizon.net) (tmac1044@verizon.net); Tim Francis; Troy Clarkson (troy.clarkson@hanover-ma.gov); William Cross (cross15@comcast.net) (cross15@comcast.net); William Mahoney Subject: Attachments: (wmahoney@springfieldcityhall.com) JLM-16-5266F, South Hadley Fire settlement
a S09 6- hes aT eboert KuvuRe Os Cnney shevwterR- Manner of Settlement in Last Two Contract t Negotiations (Mediation, Fact Finding, etc.) Piast Cow TaneT Petition Submitted By: Signature and Title of Principal of a CARE. 77)!
. | will forward you a copy of the settlement agreement at my earliest convenience. Nick Sent from my iPhone On Sep 30, 2016, at 4:00 PM, "Maldonado-Ong, Jen (DLR)" wrote: Good Afternoon: . The DLR had scheduled an in-person investigation for Friday, September 23, in connection with the above-referenced matter.
lV] T 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 Teamsters Local Union No. 653 19. 18. Representative to contact 20. Telephone Number Nicholas Chalupa 617-338-1976 21.
Massachusetts Department of Labor and Relations To whom it may concern, A Settlement Agreement has been entered into by and between Teamster Local 251 and Lisa Lafleur effective September 4, 2019. | (Lisa Lafleur), filed a charge of prohibited practice with the Massachusetts Department of Labor on August 14, 2019 (Case No.
C 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 18. Representative to contact 20. Telephone Number Same 508-493-5460 Lisa Ann Lafleur 19. Address (street and No., city/town, state, and ZIP code) 21. Fax Number 1800 Highland Avenue Apt 101 Fall River MA 02720 Ilafleur@comcast.net 22.