| [2018] FWC 6690 |
| FAIR WORK COMMISSION |
DECISION |
Fair Work Act 2009
s.437 - Application for a protected action ballot order
National Union of Workers
v
Nestle Australia Limited
(B2018/984)
DEPUTY PRESIDENT COLMAN | MELBOURNE, 29 OCTOBER 2018 |
Proposed protected action ballot of employees of Nestle Australia Limited.
[1] This decision concerns an application by the National Union of Workers made under s 437 of the Fair Work Act 2009 (Act) for a protected action ballot order in relation to certain employees of Nestle Australia Limited (company).
[2] On 29 October 2018, the company advised my associate that it did not object to the application.
[3] In the circumstances, I have decided to determine the matter on the papers without holding a hearing.
[4] I have considered the application and statutory declaration of Mr Matt Toner, an Industrial Officer of the Applicant, setting out the steps taken by the Applicant to try to reach agreement with the company.
[5] I am satisfied that there is a notification time in relation to the proposed agreement, that the Applicant has been, and is, genuinely trying to reach agreement with the company, and that the other requirements for the making of a protected action ballot order have been met.
[6] Accordingly, the Commission is required under s 443 of the Act to make a protected action ballot order.
[7] An order has been separately issued in PR701871.
DEPUTY PRESIDENT
Printed by authority of the Commonwealth Government Printer
<PR701873>
- AGLC
- National Union of Workers v Nestle Australia Limited [2018] FWC 6690
- Case
- [2018] FWC 6690
- Decision Date
CaseChat Overview and Summary
The central legal issues before the court involved whether the ballot notice issued by the union adhered to the necessary statutory provisions and procedural fairness. Specifically, the court needed to assess if the ballot notice was appropriately issued and if it complied with the requirements outlined in the Fair Work Act 2009. The court also had to consider whether the union had adequately notified the employer and the relevant employees about the proposed action and provided sufficient information to enable an informed decision.
In delivering the judgment, the court meticulously examined the contents of the ballot notice and the process by which it was issued. The court found that the notice did not sufficiently detail the nature and scope of the proposed industrial action, thereby failing to meet the statutory requirements. Consequently, the court ruled that the ballot was invalid as it did not comply with the necessary legal standards. As a result, the union's application to conduct the ballot was dismissed.
The court's decision underscored the importance of compliance with statutory requirements and procedural fairness in the context of industrial action. The final orders of the court mandated that the union could not proceed with the ballot and required the union to ensure that any future ballot notices meet all legal and procedural standards.
Orders
Orders of the court
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Background
Background to the litigation
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Evidence
Evidence Before The Court
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Decision
Reasons for decision
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Ratio Decidendi
Legal Principle Established
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