In Wackenhut the purchaser acquired substantially all the assets of the seller and assumed substantially all the seller's liabilities, although it did not expressly assume the seller's labor agreement.
In Downtown Bakery, the court upheld the policy of the NLRB that the employer, faced with competing demands for recognition, violated sections 8(a)(1), (2), and (3) of the Act by executing and maintaining a collective bargaining agreement with a rival union.