Srednick, es AFSCME and the City of Fall River have reached settlement on the following BCA cases: 09-047 Larry Fonseca Termination (Tim Hatfield, arbitrator) 10-206 Water Department Added Duties (o ) nl 10-319 Frederick Lima One Day suspension Withdrawal letters will be sent upon full compliance with the terms of the settlement a \ Jaime DiPaola-Kenny, Esquire Associate General Counsel AFSCME Council 93 (617) 367-6026 (ph) (617) 742-7666 (fx) The
INTERNATIONAL BROTHERHOOD OF POLICE OFFICERS, LOCAL 353 And the TOWN OF LUNENBURG REPORT OF TERMS OF SETTLEMENT JLMC CASE NUMBER: PARTIES: BARGAINING AGENTS: LABOR: Mike Bombard (IBPO) MANAGEMENT: Marc Terry, Esa PETITION RECEIVED: NO. OF PERSONS . IN UNIT: PETITIONED BY: 11 LEVEL OF JLEMC INVOLVEMENT: FIELD INVESTIGATOR(S) ASSIGNED: DURATION OF CONTRACT: MGMT.
Srednick, q AFSCME and the City of Fall River have reached settlement on the following BCA cases: 09-047 Larry Fonseca Termination (Tim Hatfield, arbitrator) c o UO nt 10-206 Water Department Added Duties 10-319 Frederick Lima One Day suspension Withdrawal letters will be sent upon full compliance with the terms of the settlement ne \ Jaime DiPaola-Kenny, Esquire Associate General Counsel AFSCME Council 93 (617) 367-6026 (ph) (617) 742-7666 (fx) The
Herman requested [t]he Retirement/ Settlement Agreement noted in IA No: IAD2019-0069 . . . [and] [t]he Suspension/Settlement Agreement noted in IA No: IAD2019-0446 . . . In a June 11, 2020 email, Mr. Herman informed this office he wishes to withdraw the administrative appeal. Accordingly, per Mr. Hermans request to withdraw his appeal, I will consider this administrative appeal closed. Sincerely, Rebecca S.
REPORT OF TERMS OF SETTLEMENT JLMC CASE NUMBER: JLMC 10-29P PARTIES BARGAINING AGENT MANAGEMENT: Town of Scituate Timothy Norris, Esq, LABOR: Bill Chaisson/Michael Clancy, Esq.
On the eve of their 3(a) hearing, the parties entered into a settlement agreement. (Attached.) All throughout negotiations and the JLMC process, the Union maintained that apparatus staffing while responding to emergencies was unsafe for its members and proposed to increase it.
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 (E): O 40. Name 41. Representative to 42.
SETTLEMENT AGREEMENT BY AND BETWEEN THE TOWN OF CHATHAM AND THE CHATHAM MUNICIPAL EMPLOYEES ASSOCIATION MUP-14-4229 WHERAS, the Town of Chatham (Town) and the Chatham Municipal Employees Association (CMEA) desire to amicably settle the unfair labor practice charge, MUP-14-4229; NOW THEREFORE, the parties agree as follows: 1. The Union agrees to withdraw with prejudice MUP-14-4229. 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. 1.
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 Divison mediator for settlement discussions. INFORMATION 17. Name ON CHARGING 18. Representative to contact 20. Telephone Number Ashley Call, Esquire 617-878-8286 Sandwich Education Association/MTA/NEA 19.
Note: The Division may decline fo 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 Divison mediator for settlement discussions. INFORMATION ON CHARGING PARTY 17. Name 18. Representative to contact 20. Telephone Number Ashley Call, Esquire 617-878-8286 Sandwich Education Association/MTA/NEA 19.
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. N. | INFORMATION ON CHARGING PARTY fe] 39, The Charging Party iis an Individual (0, Employee Organization (O), Employer : ce 40. Name NAGE, Local 207 a , 42. Telephone 41. Representative to contact James J. Dever, Esq.
Prior to March 2020, CSED LAs performed pretrial Case Conferencing, during which they would complete necessary case file documents and negotiate settlements. During this time, CSED Counsels were scheduled for Block Time, during which they review proposed settlements and litigate Probate and Family Court cases. 7.
On June 13, 2006, the Town of Winthrop and the Appellant entered into a settlement agreement in which the Appellants appeal to the Commission regarding the bypass in the Town of Winthrop was dismissed. As part of that settlement agreement between the parties, the agreement states, that Winthrop retracts its stated reasons for bypass of Richard Escobar in exchange for M r.