Alamo Intermediate II Holdings, LLC
Case Number: 27-RM-333937
Date Filed: 01/19/2024
Status: Closed
No. of Employees: 73
Location: Denver, CO
Region Assigned: Region 27, Denver, Colorado
Unit Description: Despite the above, the RM Petitioner, Alamo Intermediate II Holdings, LLC (the “Employer”), contends that the petitioned-for unit is not appropriate because the unit must include all regular full-time and part-time employees at the Employer’s venues in the Denver, Colorado Market in Westminster, Littleton, and Sloan’s Lake. Alternatively,—even though the Employer argues that American Steel, 372 NLRB No. 23 (2022) was wrongly decided—assuming the petitioned-for unit does not include all of the Employer’s regular full-time and part-time employees at the Employer’s venues in the Denver, Colorado Market in Westminster, Littleton, and Sloan’s Lake, the unit must at least include all regular fulltime and part-time employees at each individual location because they share an overwhelming community of interest with the petitioned-for unit. The petitioned-for unit is a deceitful attempt to create micro-units, resulting in the weakening of labor peace and stability “by the balkanization of bargaining units in a single, coordinated workplace,” such as the Employer’s venues in the Denver, Colorado Market. Macy’s, Inc. v. NLRB, No. 15-60022, slip op. at 5 (5th Cir. Nov. 18, 2016) (citing NLRB v. R. C. Can Co., 328 F.2d 974, 978–79 (5th Cir. 1964)). Further, the Employer asserts that the overwhelming community of interest standard set forth in American Steel is the wrong standard and the standard set forth in PCC Structurals, Inc., 365 NLRB No. 160 (2011) is the correct standard that should be applied. Moreover, the Employer contends that all Supervisors in the Sloan’s Lake, Westminster, and Littleton locations must be included in the unit because they are not statutory supervisors under Section 2(11) of the Act. Exclude: Projectionists/Technical Engineers in the Employer’s Sloan’s Lake, Westminster, and Littleton venues should be excluded from the petitioned-for unit because they constitute a nationwide craft unit subject to a pending New York/IATSE case. (See 02-RC-319517.) Alternatively, the Technical Engineers share an overwhelming community of interest among all the Denver market . Technical Engineers and share a separate community of interest from the Front and Back of the House employees at Sloan’s Lake. The Employer also contends that all other employees, including, but not limited to, statutory supervisors, managers, and guards should be excluded, as defined in the Act
Docket Activity
Date ![]() |
Document | Issued/Filed By |
---|---|---|
07/24/2024 | Dismissal Letter* | NLRB - GC |
02/03/2024 | RD Order* | NLRB - GC |
01/22/2024 | Signed RM Petition* | NLRB - GC |
01/19/2024 | Signed RM Petition* | Petitioner |
The Docket Activity list does not reflect all actions in this case.
* This document may require redactions before it can be viewed. To obtain a copy, please file a request through our FOIA Branch.
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Allegations
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Participants
Participant | Address | Phone |
---|---|---|
Petitioner Legal Representative Burgo, Raeann Fisher Phillips, LLP |
6 PPG Place, Suite 830 Pittsburgh, PA 15222 |
(412)822-6630 |
Petitioner Legal Representative Lyon, Todd Fisher & Phillips, LLP |
111 SW 5th Ave., Suite 4040 Portland, OR 97204-3643 |
(503)715-7842 |
Involved Party Legal Representative Reinken, William Rosenblatt, Gosch & Reinken, PLLC |
8085 East Prentice Avenue Greenwood Village, CO 80111 |
(303)721-7399 |
Petitioner Employer Alamo Intermediate II Holdings, LLC |
Denver, CO 80204 |
(303)905-4881 |
Involved Party Union Communications Workers of America, Local 777 |
Greenwood Village, CO 801111 |
|
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