Harborside Healthcare, Inc.

7 Cited authorities

  1. Providence Alaska Medical Center v. N.L.R.B

    121 F.3d 548 (9th Cir. 1997)   Cited 26 times   2 Legal Analyses
    Holding that charge nurses were not statutory supervisors
  2. Nat'l Labor Relations Bd. v. Hilliard Devel

    187 F.3d 133 (1st Cir. 1999)   Cited 15 times
    Finding evidence insufficient to show that nurses played a supervisory role where they only reported to others who made the actual disciplinary decisions
  3. Nat'l Labor Relations Bd. v. Attleboro Associates, Ltd.

    176 F.3d 154 (3d Cir. 1999)   Cited 14 times   2 Legal Analyses
    Concluding that charge nurses were supervisors
  4. Glenmark Assoc. v. National Labor Rela. Board

    147 F.3d 333 (4th Cir. 1998)   Cited 13 times   1 Legal Analyses
    Holding that nurses were supervisors given their authority to schedule and discipline nursing assistants without management approval
  5. Telemundo de Puerto Rico, Inc. v. Nat'l Labor Relations Bd.

    113 F.3d 270 (1st Cir. 1997)   Cited 13 times   1 Legal Analyses
    Rejecting inference of supervisory authority where the subordinates "require[d] minimal supervision"
  6. Beverly Enterprises, Virginia, Inc. v. Nat'l Labor Relations Bd.

    165 F.3d 290 (4th Cir. 1999)   Cited 6 times   1 Legal Analyses
    Holding that nurses were supervisors because they exercised § 152 authorities “by and large without any guidelines or established criteria”
  7. Ohio Power Co. v. N.L.R.B

    176 F.2d 385 (6th Cir. 1949)   Cited 64 times   1 Legal Analyses
    Holding that plain and unambiguous text must be applied as written without resort to construction