The Xxxx-Xxxxxx Grievance Sample Clauses

The Xxxx-Xxxxxx Grievance. The Xxxx-Xxxxxx Grievance (as it is described by the parties) was brought forward in 2009 and ultimately affected a number of part-time teachers at the secondary level. The grievance alleged the District was not properly compensating part-time secondary teachers in lieu of preparation time over the school year. The matter was resolved by the parties. A document prepared by the then Superintendent of Schools, which forms part of the settlement package, set out a calculation whereby a part-time teacher “should receive the same ratio of preparation time as a [full-time] teacher”. In the case of a part-time teacher with a 0.75 FTE (i.e., teaching six of eight blocks) the equivalent salary calculation was stated to be 0.86238 FTE. This figure was intended to match the total preparation time that a full-time teacher received. The Union puts forward the Xxxx-Xxxxxx Grievance settlement as evidence of the partiesmutual understanding that the Collective Agreement requires preparation time because monetary compensation was provided previously to part-time teachers who did not get relief from instructional time. The Employer argues the settlement has been overtaken by a June 3, 2016 email headed “A Joint Message from SD71 and the CDTA Re: Part time teacher FTE calculations”. The message deals with the FTE calculations for part-time teachers at both the elementary and secondary levels under the AIW schedules. The Employer says it reflects “an agreed approach” to the FTE determinations for part-time teachers in respect of both the calculation of a teacher’s FTE and the rate of pay. The Union responds by relying on Xx. Xxxxx’x testimony that he was not agreeing to the District’s approach, but it was necessary to move forward with part-time postings for the pending 2016-2017 school year. I have recorded the settlement of the Xxxx-Xxxxxx Grievance at this stage because it forms part of the Union’s practice evidence in respect of both its primary position under the Secondary Grievance and its alternate estoppel argument. The question of whether the settlement has continued application in relation to the AIW schedule can be set aside for now.

Related to The Xxxx-Xxxxxx Grievance

  • xxx/Xxxxxx/XXXXX- 19_School_Manual_FINAL pdf -page 101-102 We will continue to use the guidelines reflected in the COVID-19 school manual.

  • SOMEC XXXXX XXXXX XXXXX XXXXX XXXXX UNBUNDLED LOCAL SWITCHING, PORT USAGE End Office Switching (Port Usage) End Office Switching Function, Per MOU 0.001868 End Office Trunk Port - Shared, Per MOU 0.00018 Tandem Switching (Port Usage) (Local or Access Tandem) Tandem Switching Function Per MOU 0.0001067 Tandem Trunk Port - Shared, Per MOU 0.000222 Tandem Switching Function Per MOU (Melded) 0.000035296 Tandem Trunk Port - Shared, Per MOU (Melded) 0.000073438 Melded Factor: 33.08% of the Tandem Rate Common Transport Common Transport - Per Mile, Per MOU 0.0000032 Common Transport - Facilities Termination Per MOU 0.0003748

  • Xxxx-Xxxxx-Xxxxxx Notwithstanding any other provision in this Agreement, in the event the Xxxx Xxxxx Xxxxxx Antitrust Improvements Act of 1976, as amended (the “HSR Act”), is applicable to any Member by reason of the fact that any assets of the Company will be distributed to such Member in connection with the dissolution of the Company, the distribution of any assets of the Company shall not be consummated until such time as the applicable waiting periods (and extensions thereof) under the HSR Act have expired or otherwise been terminated with respect to each such Member.

  • Xx Xxxxxx No waiver or modification of this Agreement or any of its terms is valid or enforceable unless reduced to writing and signed by the party who is alleged to have waived its rights or to have agreed to a modification.

  • Xxxx Xxxxx Where the parties cannot agree on an arbitrator, one of the above named will be chosen at random.

  • Xxxx Xxxx Purchase Order and Sales Contact Email 2 2 Purchase Order and Sales Contact Phone 2 3 Company Website 4 Entity D/B/A's and Assumed Names 5 Primary Address 2 6 Primary Address City 7 Primary Address State 2 8 Primary Address Zip 9 Search Words Identifying Vendor Certification of Vendor Residency (Required by the State of Texas)

  • Xxxxx Xxxx Purchase Order and Sales Contact Email 2 Purchase Order and Sales Contact Phone 2 3 Company Website 2 4 Entity D/B/A's and Assumed Names 5 Primary Address 2 6 Primary Address City 7 Primary Address State 2 8 Primary Address Zip 9 Search Words Identifying Vendor Certification of Vendor Residency (Required by the State of Texas)

  • Xxxxxx Xxxxxx Xxxx Xx Day, 3rd Monday in January;

  • Xxx Xxxxx Chairman

  • Xxxx Xxxxxx Purchase Order and Sales Contact Email 2 2 Purchase Order and Sales Contact Phone 2 3 Company Website 4 Entity D/B/A's and Assumed Names 5 Primary Address 2 6 Primary Address City 7 Primary Address State 2 8 Primary Address Zip 9 Search Words Identifying Vendor Certification of Vendor Residency (Required by the State of Texas)