Editing Administrative Law

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'''Legal Constraints '''
'''Legal Constraints '''


===''Labor Relations v. Bell Aerospace'' (1974)===
<span style="color:#0000ff;">'''National Labor Relations Board v. Bell Aerospace Company Division of Textron, Inc. '''</span>
<span style="color:#0000ff;">'''National Labor Relations Board v. Bell Aerospace Company Division of Textron, Inc. '''</span>
* '''Facts:''' A union sought to unionize “buyers” at Bell’s plant. There was an issue over whether “buyers’ were “managerial employees” and thus not subject to the NLRA. In the adjudication, the NLRB reversed its prior policy that “managerial employees” were exempt from the Act and found that only managerial employees with labor management responsibilities were exempt. The Supreme Court reversed the Board’s decision and held that the NLRB’s original policy of exempting all managerial employees was correct. The issue of whether the buyers were managerial employees still existed and the case was remanded. The court of appeals held that the decision of whether a buyer is a managerial employee could only be made via rulemaking. the Supreme Court disagreed.  
* '''Facts:''' A union sought to unionize “buyers” at Bell’s plant. There was an issue over whether “buyers’ were “managerial employees” and thus not subject to the NLRA. In the adjudication, the NLRB reversed its prior policy that “managerial employees” were exempt from the Act and found that only managerial employees with labor management responsibilities were exempt. The Supreme Court reversed the Board’s decision and held that the NLRB’s original policy of exempting all managerial employees was correct. The issue of whether the buyers were managerial employees still existed and the case was remanded. The court of appeals held that the decision of whether a buyer is a managerial employee could only be made via rulemaking. the Supreme Court disagreed.  
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