Postal Rate Commission Submitted 12/21/2006 4:05 pm Filing ID: 55481 Accepted 12/21/2006 UNITED STATES OF AMERICA Before the POSTAL REGULATORY COMMISSION WASHINGTON, D.C. 20268-0001 Postal Rate and Fee Changes, 2006 ) Docket No. R2006-1 Initial Brief of The Office of the Consumer Advocate SHELLEY S. DREIFUSS DIRECTOR EMMETT RAND COSTICH KENNETH E. RICHARDSON ATTORNEYS December 21, 2006 -i- TABLE OF CONTENTS I. Page EXECUTIVE SUMMARY...................................................................................... 1 II. ECONOMETRIC ANALYSIS OF MAIL PROCESSING COSTS......................... 12 A. B. C. II. A Comparison of Alternative Models of Mail Processing Costs ............... 13 1. Witness Robert’s model of mail processing .................................. 14 2. Witness Bozzo’s model of mail processing ................................... 26 3. Implications of the model of mail processing for measurement and allocation of volume variable cost in mail processing. ............................................................................ 29 Response to Rebuttal Testimony............................................................. 33 1. Definition of processing categories ............................................... 34 2. Quarterly dummy variables and shifts in sorting technology..................................................................................... 36 3. Sample period analyzed................................................................ 39 Conclusion ............................................................................................... 40 ECONOMETRIC ANALYSIS OF CITY CARRIER COSTS................................. 42 A. Witness Bradley’s Volume Variabilities Presented in Docket No. R2005-1 Are Flawed................................................................................ 42 B. The Methodology in the Original Carrier Cost Study Needs Improvement............................................................................................ 44 1. The density variable should not have been used in the econometric equations. ................................................................. 44 2. In rebuttal testimony and during oral cross-examination, witness Bradley was unsuccessful in demonstrating the relevance of the density variable................................................... 49 3. Witness Bradley did not correctly compute the density variable. ........................................................................................ 51 4. Witness Bradley presented carrier cost variabilities based on a restricted, rather than full, quadratic, a major deficiency apparently due to computational problems. ................. 52 - ii - C. Witness Smith Provided Alternative Variabilities. .................................... 54 D. Witness Smith Has Concluded That Parcels and Accountables Should Be 100 Percent Attributable in Cost. ........................................... 56 E. The Use of the DOIS Database Would Solve Much of the Data Problem. .................................................................................................. 57 1. F. Witness Bradley’s Conclusions Are Now Outdated. ................................ 61 1. III. Witness Smith performed an analysis of volume variability using the DOIS database. ............................................. 60 Delivery technology is changing.................................................... 61 G. Witness Crowder’s Criticisms Are Largely Irrelevant ............................... 63 H. Concluding Comments ............................................................................ 64 WINDOW SERVICE COSTS ............................................................................. 66 A. In This Proceeding, the Postal Service Updated the Previous Window Service Transaction Supply Side Variabilities............................ 66 1. Postal Service witness Nieto’s updated window service transaction time study ................................................................... 68 2. The field study data collection effort appears to be seriously flawed because witness Nieto could not provide adequate justification of the sample design for data collection. ...................................................................................... 69 3. The transaction time study was not representative of small and large sites. .................................................................... 71 4. The Postal Service offers no substantiation that the collection of data over a two week period in April/May resulted in a database that was representative of postal transaction times or representative of the mix of postal products. ....................................................................................... 73 5. The Postal Service’s elimination of significant amounts of data raises the issue of whether the window service transaction study included sufficient quality control. ..................... 75 6. The erratic walk-time data from facility to facility and day to day are evidence that there may have been errors in the field study data collection process. ......................................... 77 - iii - 7. B. C. IV. The Postal Service did not analyze whether enough data was gathered for each type of window transaction in order to have a statistically adequate sample. .............................. 78 Using the Data Presented by Witness Nieto, Postal Service Witness Bradley Updated the Window Service Supply Side Variabilities with a Methodology Inconsistent with His Previous Testimony Before This Commission and Problematic in Several Other Respects........................................................................................ 84 1. Witness Bradley’s model in the current estimation procedure is linear, but he has used a quadratic approach in other testimony.......................................................... 84 2. Witness Bradley’s model is sensitive to changes in the data and thus is not robust............................................................ 86 3. Witness Bradley should have included walk-time in the modeling effort. ............................................................................. 87 4. Witness Bradley’s estimations of variability are flawed................. 89 In Conclusion, There Are Significant Problems with the Updated Window Service Transaction Side Variabilities........................................ 89 FIRST-CLASS RATE PROPOSAL..................................................................... 92 A. B. OCA Witness Thompson’s First-Class Rate Proposal Simplifies the Postal Service’s Increasingly Complex Schedule .............................. 92 1. OCA’s proposed four-ounce incremental rates, for letter-, flat- and parcel-shaped mail pieces, significantly reduce the complexity of the First-Class single-piece rate schedule proposed by the Postal Service ..................................... 92 2. Elimination of the additional ounce rate is feasible and justifiable ....................................................................................... 96 The Commission Should Reject the Postal Service’s Proposal for a Presort “Base Rate” in Favor of Continuing to Use the Traditional Bulk Metered Mail Benchmark when Establishing Presort Rates........................................................................................... 98 1. USPS Witness Taufique erroneously argues that the average First-Class single piece is the appropriate benchmark. ................................................................................. 100 2. OCA opposes giving intervenors greater discounts .................... 103 - iv - C. V. Declining First Class Mail Volumes May Force a Review to Determine Which Mail Class Bears an Increasing Portion of the Cost of Universal Service....................................................................... 107 CONFIRM RATE PROPOSAL ......................................................................... 109 A. B. C. The Postal Service’s Proposal to Restructure the Existing Subscription-Based Fee Schedule for Confirm Service Is Unnecessary to Recover Costs and Can Be Achieved by Adjusting Current Fees, as Proposed by the OCA ................................ 109 1. The Postal Service fails to meet its burden of proof that the classification changes it proposes for confirm service are superior to the existing subscription-based fee structure that was held fair and equitable in Docket No. MC2002-1 ................................................................................... 110 2. The Postal Service’s proposal will increase costs for, and reduce usage by, Confirm subscribers........................................ 111 3. The OCA’s proposal minimizes fee increases for most Confirm subscribers in order to expand usage while recovering costs .......................................................................... 114 The OCA’s Subscription-Based Fees for Confirm Service Will Recover Institutional Costs Unlike the Transaction-Based Fees Proposed by the Postal Service............................................................. 115 1. OCA’s Estimate of Confirm subscribers and estimated revenues is realistic..................................................................... 115 2. Witness Callow’s revenue estimate is likely to be achieved...................................................................................... 119 3. The Postal Service’s estimate of Confirm transactions lacks support, resulting in a revenue estimate that will not materialize................................................................................... 123 The OCA’s Fee Structure for Confirm Service Is Presumptively Fair and Equitable and the Postal Service’s Fees Are Arbitrary and Not Fair and Equitable. ................................................................... 127 1. OCA proposes to retain the existing, presumptively fair and equitable subscription-based fee structure previously recommended by the Commission.............................................. 127 2. The Postal Service’s differential unit-based fees for blocks of one-million scans is arbitrary, and unfair and inequitable................................................................................... 130 -v- VI. D. The OCA’s Fee Proposal for Confirm Service Preserves the Simplicity Inherent in the Existing Subscription-Based Fee Structure ................................................................................................ 132 E. The Potential for Future Enhancements to Confirm Service Is Not a Valid Reason to Accept the Postal Service’s Unit Pricing Proposal In Lieu of the OCA’s Subscription-Based Fees Which Can Also Accommodate Future Enhancements.................................... 134 F. The Existing Requirement to Provide Electronic Notifications for Entry of Confirm Mailings Should Be Retained to Permit Development of System-Wide Measurement of Service Performance .......................................................................................... 138 FOREVER STAMP........................................................................................... 142 A. B. VII. The Postal Service’s Proposed “Forever Stamp” Mail Classification Should Be Recommended by the Commission to Enhance Convenience for Individuals and Smaller Mailers................... 142 1. The Postal Service’s Forever Stamp proposal is a desirable postage option for individuals, smaller mailers and the Postal Service, and has minimal financial risk. .............. 143 2. The Postal Service’s cooperative development of the Forever Stamp proposal is commendable. ................................. 150 The Commission Should Recommend Witness Carlson’s Proposed DMCS Language to Resolve Ambiguities Created by the Postal Service’s Proposed DMCS Language About the Use of the Forever Stamp ............................................................................. 151 1. The Postal Service’s proposed DMCS language is ambiguous about the weight and classes of mail on which the Forever Stamp may be used....................................... 151 2. The Postal Service’s proposed DMCS language should be modified as proposed by intervenor witness Carlson............. 156 THE POSTAL SERVICE’S INSURANCE AND COD PRODUCTS HAVE A LOW VALUE OF SERVICE THAT HAS NOT BEEN TAKEN INTO ACCOUNT IN THE COST COVERAGES PROPOSED FOR THESE SERVICES ....................................................................................................... 157 A. The Cost Coverage For Insurance Should Be Set Close to Zero .......... 157 B. The Cost Coverage of Collect on Delivery (COD) Should Be Set Near Zero............................................................................................... 162 -6- Docket No. R2006-1 I. -1- Initial Brief of the OCA EXECUTIVE SUMMARY In the current rate case, OCA has focused its resources on three major cost areas: volume variability of mail processing costs, volume variability of city carrier costs, and supply-side variabilities for window service costs. OCA has also made two major rate proposals: a user-friendly First-Class rate design that sets rate levels using the well established bulk metered mail benchmark and a Confirm pricing proposal that has broad support within the mailing community. OCA also gives its endorsement to the Postal Service’s Forever Stamp proposal. Finally, OCA recommends sharp reductions in cost coverage for Insurance and COD as a consequence of the poor quality of service provided to purchasers of these special services. OCA’s treatment of each of these issues is summarized as follows. Mail Processing Costs The Postal Service’s mail processing cost model incorporates so many restrictive assumptions that it virtually guarantees volume variabilities of less than 100 percent. As professor Mark Roberts (OCA-T-1) shows, the Postal Service eliminates by assumption one of the paths by which changes in mail volume can cause changes in cost. Specifically, the Postal Service model prohibits a change in volume from affecting the mix of processing operations (e.g., manual, OCR, DBCS) used in a plant. The Postal Service assumes that there can never be an increase in volumes so great that it would cause a plant to use high-cost sorting operations more intensively. As witness Oronzio tells it, there is always enough DBCS capacity in every plant to process all machinable letters. This may be the view from headquarters, but MODS data tell a different story. Professor Roberts’s model allows the MODS data to speak freely. Docket No. R2006-1 -2- Initial Brief of the OCA The Postal Service’s estimation procedure also serves to reduce volume variability. The labor demand equation that witness Bozzo estimates removes the effects on cost of seasonal variations in volume. However, as professor Roberts shows, it is important to measure how a plant responds to seasonal volume changes. In particular, if the only seasonal effect known is an increase in nonmachinable letters during the peak holiday mailing season, this change in volume should be explicitly modeled. Professor Roberts’s model can do so (by incorporating a “nonmachinable” processing category), unlike the Postal Service’s model. City Carrier Costs OCA recommends that the Commission reject the volume variability results presented by Postal Service witness Bradley in favor of those developed by OCA witness Jed Smith (OCA-T-3). The Postal Service’s city carrier analysis is plagued by a number of fatal defects: (1) the restrictions imposed by witness Bradley on the quadratic equations he employs are excessive; (2) the City Carrier Street Time Study (CCSTS) database on which he relies suffers from multicollinearity, resulting in meaningless results for the Full Quadratic equation, high Variance Inflation Factors, and potentially incorrect regressors; (3) the 2002 CCSTS database is no longer representative of the major technology used to deliver mail, i.e., a “three bundle approach,” consisting of the carrier routinely carrying one Delivery Point Sequenced (DPS) bundle, one Cased Mail bundle, and one Sequenced Mail bundle to the street; the currency of the three-bundle model is advocated by Dr. Bradley himself in a paper he recently presented in Bern; (4) witness Bradley incorporates a density variable in his model that witness Smith has discredited; and (5) the Postal Service model is not Docket No. R2006-1 -3- Initial Brief of the OCA founded on a fully articulated and substantiated economic theory that relates the econometric estimation approach to the effect on city carrier costs from changes in volume, by mail type. Witness Smith provides alternative variabilities, summarized in Table 2 of this brief. At the request of the Presiding Officer (in POIR 25) to modify the Postal Service Full Quadratic model, witness Smith willingly did so. Witness Smith re-ran witness Bradley’s model, but removed the density variable and the cross-products terms with “spr.” Witness Smith refers to this case as “CC3: Witness Bradley Recommended Case without the Density Variable, Rerun for full quadratic, spr cross products eliminated.” Witness Smith performed a second run, that was also provided in response to POIR 25. In this case, he re-ran the model with density defined correctly and the “spr” cross-products terms again removed. This equation is denoted as “CC2: Rerun for Full Quadratic, spr cross products eliminated” in the table. OCA advocates serious consideration by the Commission of two other cases that were presented in witness Smith’s testimony. The first is equation CC5A, a full quadratic model based on the “three bundle” technology, using the CCSTS database. A second equation favored by OCA is equation ND6, which uses the DOIS database. OCA believes that all four of these approaches are superior to the variability results presented by the Postal Service. If the Commission decides to use the CCSTS database, over DOIS, and eschews the three-bundle model, equation CC3 would be the best alternative. Window Service Costs Docket No. R2006-1 -4- Initial Brief of the OCA In the current rate case, the Postal Service presents new supply-side variabilities for window service transactions. These variabilities are produced from a new window service survey sponsored by witness Nieto that furnishes inputs for an econometric analysis by witness Bradley. Before the current case, variabilities were based on a 1996 study and earlier methodologies. In the last ten years, there have been changes in window service procedures, and new products and services have been added. Moreover, the Postal Service has identified errors in the 1996 study. For all of these reasons, the Postal Service decided that an update of window service variabilities was necessary. OCA witness Jed Smith (OCA-T-2) is in agreement that an update of the 1996 study is desirable. However, he finds that mistakes were made both in the data collection process and the modeling process. Justification for the sample design of the new survey has never been furnished. The decisions concerning the number, and types, of sites to be surveyed, and the number of observations needed for particular postal products were never determined using formal statistical methods. Rather, highly subjective determinations underlie the data collection exercise. A decision to collect data only at one time of year – April and May – has not been defended. It is well established in the record of this case that the types and numbers of products sold at retail windows vary throughout the year, the winter holiday season being the most notable example. Poorly planned data collection techniques led to the deletion of a significant amount of data and inadequate samples. Although not intending to do so, rebuttal witness Kelley confirms these conclusions. Docket No. R2006-1 -5- Initial Brief of the OCA The volume variabilities estimated by witness Bradley are necessarily dependent on the inadequate database resulting from flawed data collection. For window service analysis, witness Bradley decided to use a linear model, although he has often favored quadratic models, both in this and earlier dockets. At the very least, justification for his decision not to use a flexible functional form should be provided. This is particularly important in the case of window service, since the use of a linear form is essentially equivalent to assuming 100 percent volume variability for a number of postal products whose sale is associated with other products. On behalf of OCA, Witness Smith testifies to the importance of including walktime as part of the transaction when analyzing the supply-side variabilities. Although the impact of including walk-time appears to be minimal, this impact is somewhat dependent on the questionable accuracy of the underlying walk-time data. The major issues that the Commission must decide are whether sample composition is acceptable, whether walk-time has been treated appropriately, and whether the underlying equation has been properly specified. Changes in these areas could produce substantially different variabilities. OCA concludes with a recommendation for the design and collection of a significantly improved database as well as upgrades to the modeling effort. First-Class Rate Proposal OCA witness Pam Thompson (OCA-T-4) presents a major restructuring of FirstClass Mail that greatly simplifies the First-Class rate schedule. OCA supports the USPS proposal of shape-based rates for First-Class Mail because it aligns costs with the mail characteristics that cause them. However, one drawback of the USPS shape- Docket No. R2006-1 -6- Initial Brief of the OCA based rates is increased complexity of the First-Class rate schedule. Consumers face an array of new rates with complex new requirements for First-Class letter-, flat- and parcel-shaped pieces. Witness Thompson’s rate design compensates for complexities created by the new shape-based rates by collapsing single-ounce rate cells into a much smaller number of four-ounce cells. As a result, the current First-Class rate schedule is dramatically simplified –144 rate cells are reduced to 28. Except for the newly proposed First-Class Mail Business Parcels rate category, rates proposed for singlepiece First-Class Mail are multiples of 42-cents. One of the distinct achievements of witness Thompson’s proposal is the elimination of the additional ounce rate in First Class. USPS witness Taufique testifies that, formerly, the additional ounce rate bore not only the cost of additional weight but the costs caused by differences in shape as well. With shape-based rates, mailers should be freed from the burden of weighing each piece of First-Class Mail so as to account for every ounce increment that bumps up the postage tab. Unfortunately, witness Taufique suffered from excessive timidity and would only go so far as to reduce the additional ounce rate from 24 cents to 20 cents. The Postal Service has again ignored the Commission’s oft-repeated instructions to submit data justifying the additional ounce rate. Witness Taufique readily admits that the additional ounce charge has been a significant source of revenue for First-Class and the Postal Service as a whole. However, OCA witness Thompson’s First-Class proposal proves that the additional ounce rate is neither justified nor necessary to meet the First-Class or overall revenue requirement. Docket No. R2006-1 -7- Initial Brief of the OCA OCA advocates retention of the BMM benchmark when establishing presort rates. This is in contrast with the Postal Service’s position in the current rate case. In his rebuttal testimony, witness Taufique claims that the Postal Service is unable to develop a single benchmark that adequately reflects all of the varieties of mail pieces that can convert to, or from, presort mail. He also testifies that the BMM benchmark the USPS formerly used has been a source of controversy among presort mailers, who believe they are entitled to greater discounts based on the worksharing they perform for the USPS. In keeping with bulk mailer preferences, witness Taufique proposes an alternative “base rate” benchmark of $0.346. The USPS benchmark is significantly lower ($0.074 or 18 percent) than the Commission’s traditional BMM benchmark of $0.42 (which would be the figure used in this case). Consequently, the USPS proposed Presort rates are much lower than would have occurred if the traditional BMM benchmark had been used. The effect of unwarranted reductions in Presort automation rates is to shift more of the cost burden of universal service to First-Class single - piece mailers with few alternatives, thereby ignoring Congress’ justification for granting the Postal Service monopolies over letter mail and access to the mailbox. Confirm Service Rate Proposal In this proceeding, the Postal Service proposes a fundamental restructuring of the schedule of fees for Confirm—a special service that provides mailers with near realtime tracking information on outgoing and incoming automation-compatible mailpieces entered as First-Class Mail, Standard Mail, or Periodicals. The Postal Service maintains that restructuring the existing fee schedule is necessary to generate sufficient revenues to cover costs so that the Postal Service can continue offering Confirm Docket No. R2006-1 -8- Initial Brief of the OCA Service. To generate sufficient revenues to cover Confirm service costs, the Postal Service abandons its current subscription-based fee schedule, establishing instead a single annual user fee, and a “declining block” schedule of fees for the purchase of additional blocks of 1 million scans by Confirm mailers. As a consequence, the Postal Service’s greater reliance on transaction-based fees will discourage usage by imposing significantly higher fees on most Confirm subscribers, particularly resellers, who provide important value-added services to mailers, and further diminish Confirm service as a tool for measuring service performance by business mailers and the Postal Service. The OCA disagrees that restructuring the existing fee schedule is necessary to cover the costs of Confirm service. Rather, the Postal Service’s goal of covering Confirm service costs can be achieved better by simply adjusting current fees, as proposed by the OCA. Toward that end, the OCA’s proposed fees produce a cost coverage of 127.3 percent, which is consistent with the Postal Service’s proposal, while preserving the benefits of the existing “subscription-based” fee schedule—that of encouraging the expanded use of Confirm service for use in promoting service performance measurement. The testimony of OCA witness James F. Callow (OCA-T5), presents the development of the proposed fees for Confirm service. The OCA also proposes, jointly with the Postal Service, retention of the requirement for an electronic preshipment notification contained in DMCS §991.31, which serves to “start the clock” for the Confirm mailings, and is essential to developing transparent, system-wide service performance measurement for business mail. Endorsement of the Forever Stamp Proposal Docket No. R2006-1 -9- Initial Brief of the OCA The Postal Service proposes a new mail product that offers a beneficial postage option to individuals and smaller mailers who predominantly use First-Class Mail. The Postal Service’s proposed “Forever Stamp” classification will be a non-denominated stamp with a postage value equivalent to the first-ounce, single-piece First-Class Mail rate prevailing at the time of its use—even if usage occurs subsequent to changes in postage rates years after purchase of the stamp. The Postal Service proposes that the Forever Stamp, if recommended by the Commission, be sold initially at the approved single-piece First-Class Mail rate (presumably $0.42). As a result, the Forever Stamp will provide greater convenience for individuals and smaller mailers as they adjust to First-Class Mail rate changes that occur at the next change in rates—after the $0.42 rate is implemented. Postal Service witness Altaf H. Taufique presents the Forever Stamp proposal in two separate pieces of testimony. USPS-T-32 and USPS-T-48. The Postal Service developed the Forever Stamp proposal presented in this proceeding in cooperation with the OCA and the Greeting Card Association (GCA). The OCA strongly supports Commission recommendation of the Forever Stamp proposal. In recommending the Forever Stamp proposal, the OCA also urges the Commission to resolve ambiguities in the DMCS language proposed by the Postal Service regarding the use of the Forever Stamp in favor of convenience and simplicity to individuals and smaller mailers. Toward that end, the OCA supports the changes to DMCS §241 proposed by intervenor witness Douglas F. Carlson (DFC-T-1) that prescribes more clearly the permissible use of the Forever Stamp. Recommendation of Sharply Reduced Cost Coverage for Insurance and COD Docket No. R2006-1 - 10 - Initial Brief of the OCA OCA urges the Commission to recommend the lowest possible cost coverage (one percent) for Insurance service. This radical request stems from a years-long investigation by OCA of the quality of service provided by Insurance. The dismal experience of many Insurance claimants was first brought to the attention of OCA by contacts from numerous individuals who had spent months, sometimes years, filing and re-filing and re-filing again the documentation needed to receive indemnification for an Insurance claim. From the stories told by individuals who contacted OCA, a common pattern could be discerned. First, clerks launched the claimants on their less-than-excellent adventures by not filling out the Insurance claim forms correctly; not submitting the form; and/or sending the form to the wrong place. This set off a chain of misery for claimants that involved repeated visits to the post office to plead with clerks to perform the fundamental activities needed to get the claim to the St. Louis Accounting Service Center. Visiting a post office four, six, or eight times was not unusual. Second, once the claim arrived at the Accounting Service Center, pronouncements that documentation was insufficient seemed to be the rule, rather than the exception. It sometimes happened that files would appear, disappear, and reappear. Telephone calls by concerned claimants went unanswered. When letters of rejection arrived months later, there would be inscrutable statements given for the reasons claims were being denied – mere boilerplate was used for any and all rejected claims with no trouble taken to explain to the particular claimant why his/her claim was being denied. Docket No. R2006-1 - 11 - Initial Brief of the OCA The length of time spent processing claims may give Insurance the distinction of having the poorest performance of all postal products out of a well populated field of candidates. The Postal Service has established 10 days as a respectable period for the processing of an Insurance claim (once received and entered into the electronic system in St. Louis); but the average length of time to process claims is five times the established standard – nearly 50 days. According to the Postal Service, it is not necessary to provide potential Insurance purchasers with information about the claims process because damage or loss to Insured items is rare. If this is so, then a public institution like the Postal Service has a duty to inform potential purchasers that they may be wasting their money – processing, transportation, and delivery of packages is so highly proficient that Insurance is almost certainly unnecessary. Furthermore, in order to make an informed decision whether to purchase Insurance, customers should automatically be given detailed printed information letting them know how complicated the claims process is, how long a wait they will have before the Postal Service acts on their claim, and the percentage of claims denied. For purposes of setting rates, the Commission should bear in mind this important fact about Insurance – customers are paying primarily for sale of the service by a clerk and the obtaining of a recipient’s signature by a carrier. Indemnification is a mere 15.5 percent of revenues, which may be the lowest level of indemnification among the various types of Insurance sold in this country. Purchasers in good faith of COD service have found themselves at the mercy of the managers of the Accounting Service Center and the Consumer Advocate in the last year and a half. The COD payment policies were dramatically altered so that Docket No. R2006-1 - 12 - Initial Brief of the OCA reimbursement for non-delivered COD packages is random by package type and random with respect to the amounts to be paid. The new policy was applied immediately before an official decision to do so was ever made. COD service has now been so seriously devalued as to warrant a cost coverage approaching zero. II. ECONOMETRIC ANALYSIS OF MAIL PROCESSING COSTS The mail processing model which the Postal Service has advocated in rate hearings since 1997 is flawed and should not be used as the basis for allocating mail processing costs across rate classes. The framework makes strong, untested assumptions about the relationship between the volume of mail processed in the system and the use of individual sorting operations in each mail processing plant. These assumptions eliminate one potentially important channel through which changes in the volume of mail in a plant can affect labor hours and cost. Specifically, changes in the plant’s volume of mail are assumed to have no effect on the mix of sorting operations used in the plant. As a result, the framework does not even recognize the possibility of the increased use of manual sorting in high volume periods or of capacity constraints that might alter the mix of sorting operations used. Both are channels through which an increase in mail volume can lead to rising marginal cost and both are eliminated from consideration. The practical implication is that volume variabilities estimated by the USPS using the MODS data are too narrowly defined and only account for part of the relationship between mail volume and cost. In fact, the term “volume variability” for these estimates is a misnomer. When these variabilities are used to scale the labor expenditures in each sorting operation to create pools of volume Docket No. R2006-1 - 13 - Initial Brief of the OCA variable costs, they will tend to underestimate the size of the VVC pools, or equivalently, underestimate the marginal cost of processing mail. This limitation is not the result of using a particular econometric method, sample period, functional form for the labor demand equation, disaggregation of sorting operations, or definition of categories of processing output. It is a more fundamental problem that results from the way that information in the plant-level MODS data is combined with aggregate data on the mix of mail by rate class (the distribution key). The combination of steps requires that all of the relationship between mail volume and the mix of sorting operations utilized in the plant be captured by the distribution key step, but the assumptions underlying this step are particularly restrictive and constrain how changes in mail volume are allowed to impact labor hours and costs. The limitations of the USPS framework can be resolved by allowing a more general or flexible relationship between plant-level mail volume and plant-level labor hours. This more general relationship is a key component of the mail processing models developed in Roberts (2002, 2006) and used in OCA-T-1. A. A Comparison of Alternative Models of Mail Processing Costs The differences between the mail processing models underlying the most recent USPS testimony (R2006-1, USPS-T-12) and the testimony in OCA-T-1 have been discussed in detail in Roberts (2002, Sections II and III), Roberts (2006, Sections II, III, and IV), OCA-T1, Section 4, pp. 8-11, and USPS/OCA-T1-24, Tr. 23/8337-8340. Some of the key differences have been examined empirically, including the separability assumption (USPS/OCA-T1-3c, Tr. 23/8290), the proportionality assumption (OCA-T-1, Section IV, pp. 12-16, particularly Table 1), and the assumption that TPF is an Docket No. R2006-1 - 14 - Initial Brief of the OCA exogenous regressor (USPS/OCA-T1-9, Tr. 23/8303 and USPS/OCA-T1-43, Tr. 23/8377-8388). In each case, the empirical evidence does not support the USPS framework. In this section we do not review all of the issues raised but will highlight just some of the more important distinctions. We will focus on the processing of lettershaped mail because all of the important distinctions can be made there and carried over to processing of other shapes. 1. Witness Robert’s model of mail processing The goal of the mail processing model used in OCA-T-1 is to measure how a change in the volume of mail arriving in a plant affects the use of man hours. This is what is needed to measure the marginal cost of processing an additional piece of mail in a processing plant. Figure 1 provides a summary of the important components of the model in OCA-T-1. 1 The figure illustrates three stages to the processing and cost allocation process. Beginning on the left, each box represents the system-wide volume of mail in each of the 17 CRA rate classes (VRC1, VRC2, … VRC17). This mail then moves to processing plants, and one plant is represented in the remaining panels of Figure 1. The dashed vertical line separating the first and second stages distinguishes the movement of mail that is external to the plant, and therefore is not measured in the plant-level MODS data, from the internal movement of mail in the processing plant, which is quantified in the MODS data. 1 The development of this model over time is reviewed in USPS/OCA-T1-35, Tr. 23/8364-8366. Docket No. R2006-1 - 15 - Initial Brief of the OCA Once inside the processing plant, mail that will receive piece sorting in the facility is recombined into distinct processing categories based on its shape, machinability, level of mailer processing, and level of final dispatch. The number of processing Docket No. R2006-1 - 16 - Initial Brief of the OCA Figure 1 Letter-Shaped Mail: OCA Model In ternal to P lant Exte rnal to P lant Volum e of m ail by rate class Vo lum e of m ail b y processing category So rting operations VR C 1 V IN Ho urs, TP F OC R VOUT Hours, TP F BC S VR C 2 ! VR C 1 7 Hours, TP H Cost Pool Allocation Stage M anual Cost Pool Estim ation Stage Docket No. R2006-1 - 17 - Initial Brief of the OCA categories used in the empirical modeling can be varied by the researcher but, in practice, will be limited by the amount and quality of the data on plant mail volume. Figure 1 distinguishes two processing categories, incoming processing and outgoing processing. VIN and VOUT represent the volume of mail in each processing category arriving in the plant.2 The mail in each processing category moves through the separate sorting operations, represented as OCR, BCS, and manual, generating both labor hours and piece feedings/handlings in each operation. Sorting the mail in each processing category will generally require a different mix of sorting operations and thus have a different quantity of labor hours and cost. For example, processing VIN will require more BCS labor hours and fewer OCR hours than processing VOUT (USPS/OCA-T1-45(d), Tr. 23/8386-87), and this can result in different marginal costs for the two processing categories. The arrows running from each processing category to each sorting operation represents one of the hours-volume relationships that are estimated in OCA-T-1 using the MODS data. In the case of two processing categories and three sorting operations there are six output elasticities of labor demand that are estimated.3 The relationship that is estimated is between the total volume of mail in each processing category incoming or outgoing and the total hours of labor used in each sorting operation. It is not necessary to distinguish the exact pathways that letters follow as they pass through 2 Two processing categories are used to simplify this explanation, but this can be extended, and is extended in the empirical analysis in OCA-T-1, to a larger number of processing categories. 3 For this case, the six elasticities are reported in the first two lines of OCA-T-1, Table 3, p. 34. Additional estimates for alternative specifications and data samples are reported in Table #4, p.37 and for additional output processing categories in Table 5, p. 42. Docket No. R2006-1 - 18 - Initial Brief of the OCA the sorting operations. All that is necessary is to estimate the relationship between the volume in each processing category and total hours in each operation. For example, it is not necessary to know how much of the mail volume moves from the OCR to the BCS processing stage or how much is diverted to manual. It is also possible that some of the pathways may not be used. For example, if the processing categories distinguish mail that is barcoded, from mail that is not barcoded and the barcoded mail enters processing in the BCS operation, then this category will not generate any labor hours in OCR. This is fine. The estimated elasticities linking the volume of mail in each processing category with the hours in each sorting operation will reflect whatever relationships exist in the plant-level data. 4 A second point that is illustrated in Figure 1 is that there is no special role for information on TPF/TPH. As the volume of mail processed in an operation increases, amount of both labor the hours and machine time used in processing increase. We will observe an increase in both TPF/TPH and man hours in the operation. In the automated OCR and BCS operations, TPF is a count, not of how many unique pieces of mail are processed, but how many passes are made through the sorting machinery. This is a measure of the amount of work that the machinery does in contributing to the 4 Some efficiency can be gained in estimation by imposing restrictions on the elasticities if the restrictions are true. For example, if barcoded mail never runs through an OCR operation then the elasticity of OCR labor with respect to the barcoded mail category could be set equal to zero (i.e. the volume of mail in this processing category would be dropped from the OCR labor demand equation). The problem with this procedure is, if the restriction is not true, then the output elasticities for the other processing categories can be biased. This reflects the standard tradeoff between bias and efficiency present when specifying variables to omit from an econometric model. Some caution must be used when imposing restrictions on the empirical model based on stylized models of the processing plant such as USPS/OCA-T1-XE-1 at Tr. 23/8395 since this may ignore relationships that are present in the data (Tr. 23/8434-8435 lines 1-11). In the processing plants even processing pathways that seem obviously impossible to exist apparently do. For example, even the movement of mail from manual back to automated operations occurs (Tr. 36/12290 at line 15 and 36/12291 at lines 1-13). Docket No. R2006-1 - 19 - Initial Brief of the OCA overall sorting of the mail volume in the plant. Equivalently, it is a measure of the flow of capital services or capital input that is used to sort the pieces of mail processed in that operation (see Roberts 2006, Section IV.C, pp. 35-38 for discussion). It is exactly analogous to the flow of labor services, measured as man hours, that is used for the labor demand estimation. Machine services and labor services are the two inputs used to sort mail in the automated operations. The first can be measured by TPF and the 5 second by man hours in the operation. In manual operations there is only a single input, labor hours, and, of course, TPH is not a measure of capital input in this operation. Manual TPH is a measure of the number of pieces of mail that are handled in the manual sorting operation and reflects both pieces entered directly into manual operations and pieces rejected from automated operations. It is not useful information for measuring volume elasticities because there is no way, using the MODS data, to relate this variable to the volume of mail in the plant or the volume of mail in any relevant processing category. 6 Finally, it is important to recognize that estimated labor-output elasticities will reflect at least two mechanisms through which plant-level mail volume and hours are related. One is the relationship that exists within each sorting operation. If the number of pieces of mail arriving for processing in the BCS operation increases, then the 5 Of course, as witness Bozzo points out (USPS-T-12 at 27-29), TPF and man hours will be related. Capital and labor inputs in any production process will be related, but measuring the relationship between them does not provide an estimate of the relationship between output and labor use. Witness Bozzo’s attempt to explain away this interpretation in USPS-T-12, p. 29, lines 1-8, by saying that it implies capital input and labor input are identical makes no sense. As the use of the automated operation increases, both labor hours and machine counts will rise. They do not have to increase by the same amount, and the USPS estimates of elasticities of labor hours with respect to piece feedings show they do not. The capital and labor inputs can scale up by different amounts as the use of the operation increases. Docket No. R2006-1 - 20 - Initial Brief of the OCA increase in BCS labor hours will reflect any economies or diseconomies that exist within the operation. This will capture the role of setup and take-down time, runtime, waiting time, and overhead activities within the operation that are always emphasized in the USPS testimony (USPS-T-12, Section II.F, p.26-32). But this is not the only mechanism affecting the relationship between the volume of mail processed in the plant and cost. A second mechanism is the scaling up or down of the individual sorting operations in response to changes in a plant’s mail volume. During high-volume periods, all operations are scaled up to meet the increase plant volume but, as the operations staff has testified, the mix of sorting operations may change. Capacity constraints and timing issues on DBCS equipment can result in mail being processed on OCR equipment (Tr. 36/12282, line 19 to 12284, line 14). The use of manual sorting increases at the holiday time to handle the increase in nonmachinable mail volume (Docket No. R97-1, USPS-T-4 at 20). If the mix of sorting operations changes as the volume of mail changes, this will be a second pathway through which volume changes affect cost. This pathway will be reflected, as it should be, in the estimated output elasticities in the OCA framework. Once the relationships between the plant’s mail volume in each processing category and hours in each sorting operation have been estimated using the MODS data, the marginal cost of mail in each processing category can be calculated using the formula in Roberts (2006, equation 5, page 10). Notice that this is, to use the USPS names, a “constructed marginal cost” for the volume of mail in the processing category. 6 In particular, it is not a measure of the volume of non-machinable mail entered directly into the manual sorting operations. Docket No. R2006-1 - 21 - Initial Brief of the OCA It is estimated for the processing category using data on volume and hours for the 7 category of mail. Multiplying the marginal cost by the volume of mail in the processing category gives the volume variable cost pool for each processing category. The terms marginal cost and volume variable cost are used interchangeably in this discussion. It is important to note that volume variable cost (VVC) pools are defined for each processing category, not each sorting operation. This is appropriate. It is the sorting of a volume of mail with a given set of processing characteristics that generates labor hours and costs, and it is the marginal cost of processing an increased volume of mail with a given set of processing characteristics that we are trying to measure. It is also important to note that the VVC pool for each processing category will depend on the mix of sorting operations used for that category of mail. For example, the VVC cost pool for VIN will reflect a different mix of OCR, BCS, and manual labor inputs than the VVC pool for VOUT because each uses a different mix of the three sorting operations. The outgoing sorting will use a higher proportion of the OCR operation and a lower proportion of the BCS operation than the incoming operation (USPS/OCA-T1-45(d), Tr. 23/8382). Since the construction of the VVC pools relies on the estimated volumehours relationship, the bottom of Figure 1 labels this step the “Cost-Pool Estimation Stage.” 7 One additional strength of this modeling framework is that, since it provides estimates of the marginal cost of mail in each processing category, it can be used as a basis for calculating price discounts for the mail in different processing categories. For example, even if only the incoming and outgoing categories are used, the differences in marginal costs provide a basis for calculating discounts for presorted mail that skips the outgoing processing stage entirely. Since the USPS framework never estimates marginal costs for processing categories, it can’t be used in this way. This is one area which should be explored in the future if the Commission adopts the use of the OCA framework. Docket No. R2006-1 - 22 - Initial Brief of the OCA Once the VVC pools have been constructed for each processing category, it is necessary to allocate each cost pool across the 17 CRA rate classes. (Greater detail on how this allocation should be done is described in USPS/OCA-T1-24, Tr. 23/83378340). This is represented on the left side of Figure 1 as the “Cost-Pool Allocation Stage.” What is needed to do this allocation is information on how the system-wide volume of mail in each rate class is linked to the volume of mail in each processing category in the processing plants. The needed linkages are represented by the arrows on the left side of the figure. If we make the assumption that a proportional expansion in the volume of mail in each rate class, system-wide, results in an equal proportional expansion in the plant-level volume of mail in each processing category, then each VVC pool will be allocated across the rate classes using the share of each rate class in the cost pool volume. Specifically, the VVC pool for the processing category of VIN will be distributed across the rate classes using the shares of the volume of mail in each rate class in VIN. These shares cannot be measured using the MODS data because this data set does not contain any information on the division of mail by rate class. To implement this fully will require a sampling method that samples the plant mail stream in each processing category and constructs shares of each rate class by processing category. Notice that these are not shares of piece handlings, as is used in the USPS methodology, but shares of the number of pieces of mail. These shares are not reported in the current USPS testimony and thus the appropriate distribution step cannot be constructed at this time. Until the required distribution key is constructed, a simpler, but more restrictive, alternative, may be available to the Commission. Rather than allocate cost pools for Docket No. R2006-1 - 23 - Initial Brief of the OCA VIN and VOUT separately, a single VVC pool is constructed for letters where the scaling factor is the aggregated volume elasticity for letters (OCA-T-1, Table 4, p. 37, elasticity of total letters with respect to a change in FHPIN and FHPOUT). Then a single distribution key expressing the mail volume in each rate class as a share of the total mail volume sorted in all piece handling operations in the plant could be used as an alternative. This process does recognize in the estimation stage that VIN and VOUT use different input mixes and therefore have different marginal costs but does not recognize in the allocation stage that the mail contained in the VIN category may contain a different mix of rate classes than the mail contained in VOUT. Ultimately, to take full advantage of the flexibility present in the estimation stage, the distribution key will have to be brought up to date to reflect the mix of rate classes in each processing category in the plant. The final point to recognize from Figure 1 is that the cost pool estimation and allocation stages are separated “at the plant door.” The allocation stage only deals with the relationship between system volume by rate class and plant volume by processing category. This will likely be done using aggregate data based on sampling the mail stream, so that there is a single distribution key which is used for all plants. The allocation stage reflects what occurs externally to the plant and makes no assumptions and places no restrictions on how the mail is processed within the plant. The estimation stage only deals with the relationship that occurs within the plant and it captures the entire relationship between the mail volume in each processing category that arrives at the plant and the labor hours used in sorting. Failing to distinguish the dividing line between processing relationships that occur within the plant and Docket No. R2006-1 - 24 - Initial Brief of the OCA relationships between mail volumes that are external to the plant is a major problem with the USPS framework and results in it missing one piece of the volume-hours relationship that is needed to estimate the marginal cost of processing mail. Docket No. R2006-1 - 25 - Initial Brief of the OCA Figure 2 Letter-Shaped Mail: USPS Model Internal to Plant External to Plant Volume of mail by rate class Volume of mail by processing category Sorting Operations VRC1 TPF OCR VIN Hours VRC2 ! VOUT TPF BCS VRC1 7 Hours TPH Manual Hours Cost-Pool Allocation Stage Cost-Pool Estimation Stage Docket No. R2006-1 2. - 26 - Initial Brief of the OCA Witness Bozzo’s model of mail processing The model of mail processing used in the USPS testimony since 1997 can be represented in Figure 2. Roberts (2006), Section III, pp. 12-23 provides detailed discussion of this model and its underlying assumptions about the sorting technology. There are several differences from Figure 1. First, there is no role for the plant-level volume of mail, either in total or disaggregated by processing category. This is recognized by the fact that there are no arrows joining VIN and VOUT to any other part of the diagram. From this fact alone, it is clear that, despite their name, the volume variabilities estimated with the USPS model do not contain any information on the relationship between the volume of mail received in the plant and labor use. Second, the cost pool estimation stage, which is represented on the right side of the diagram, relies on the estimated relationship between TPF/TPH and hours in each of the three sorting operations. Causality is assumed to run from TPF/TPH to labor hours in each operation. The vertical arrow from the TPF/TPH box to the labor-hours box on the right side of Figure 2 represents the elasticity that is estimated by the USPS. If there are three sorting operations, there are three elasticities estimated. Unlike the OCA model in Figure 1, which had two processing categories and six output elasticities, the number of elasticities in the USPS model is determined solely by the number of sorting operations, three in this case, and is not affected by the number of processing categories for the mail. This also illustrates why the USPS framework is more restrictive than the framework implemented in OCA-T-1. The OCA framework estimates a different relationship between the volume of mail in each processing category and each sorting Docket No. R2006-1 - 27 - Initial Brief of the OCA operation, while the separability assumption imposed on the sorting plants in the USPS framework requires the whole relationship to operate through the intermediate step of a cost driver in each operation. This issue is discussed in greater detail in Roberts (2006, Sections IV.A and IV.B, pp. 27-35). It is also the case that the USPS framework cannot provide an estimate of the marginal cost of handling a piece of mail in a processing plant. Given the MODS data on TPF/TPH and hours, which the USPS model uses, there is no way to calculate how the three sorting operations are combined to handle the processing of a given category of mail. Thus, there is no way to tell that an increase in VIN, for example, will have a different impact on labor use of OCR relative to BCS than an equivalent increase in VOUT. In other words, it is impossible to use the estimates to measure the relative costs of processing two different categories of mail in the plant. Once the elasticity between piece feedings and labor hours is estimated for each sorting operation, a VVC pool for each sorting operation is constructed by scaling the labor expenditure in the cost pool by the estimated elasticity. It is important to recognize that the size of a VVC pool will depend on an estimated elasticity that captures only the relationship between TPF/TPH and hours within that sorting operation. Unlike the output elasticities in the OCA model in Figure 1, the elasticity will contain no information on the relationship between the volume of mail in the plant and the level of use of the sorting operation. The final step of the USPS methodology allocates the cost pools across rate classes using a distribution key. If the USPS methodology is to be capable of measuring the relationship between mail volume and the usage of each sorting Docket No. R2006-1 - 28 - Initial Brief of the OCA operation, it will have to occur in the cost-pool allocation stage. Unfortunately, the USPS methodology is particularly restrictive at this stage. For each sorting operation, the distribution key measures the share of piece feedings that are accounted for by each rate class. This cost allocation is represented in Figure 2 by the long arrows from the separate boxes identifying the volume of mail for each rate class (VRC1, VRC2, … VRC17) to the piece feedings in each sorting operation. These shares sum to one across rate classes for each sorting operation. The relationship measured by the distribution key is labeled the “Cost-Pool Allocation Stage” in Figure 2. Note, in particular, that it is not limited to the relationship between system-wide mail volume and plant volume, as the OCA framework is. It does not end at the plant door, but rather crosses into the plant and involves an assumption about the response of the individual sorting operations. It is at this point that any chance of allowing flexibility in how the mix of sorting operations responds to changes in mail volume is lost. The assumption underlying this distribution method is that a proportional increase in the volume of mail in all rate classes in the system will result in an equal proportional increase in the piece feedings in every sorting operation. This assumption, which is labeled the proportionality assumption, is described as a first-order approximation to a more general relationship (R2005-1, USPS-T-12, p. 20) or as measuring the effect of small, local changes in volume on the cost driver in each operation (R2005-1, USPS-RT-3, p.11). However described, it is not an innocuous assumption. Figure 2 shows that the proportionality assumption is an assumption about how the plant responds to changes in system volume that, presumably, work their way through the volume of mail arriving in the plant. All operations in the plant are Docket No. R2006-1 - 29 - Initial Brief of the OCA scaled up proportionately in response to a system-wide increase in mail volume. Another way of stating this assumption is that the plant uses the sorting operations, OCR, BCS, and manual in fixed proportions. Thus, if a change in the volume of mail processed in the plant results in a different mix of sorting operations being used, the USPS framework will miss the cost implications of this change. In particular, if the shift is to higher cost operations such as manual, the USPS framework misses a potentially important source of increased cost that is caused by the plant’s response to increased mail volume. Looking over the whole USPS framework as illustrated in Figure 2, it can be seen that the limitation of the methodology is that it skips over the relationship between plant volume and the relative use of the sorting operations. Thus it can measure, at best, only one of the two mechanisms by which mail volume can affect cost in a plant. It does not recognize any mechanism through which an increase in plant volume results in a change in the mix of sorting operations. In particular, if the increase in plant volume results in the more intensive use of higher-cost sorting operations, such as manual, the USPS framework will miss this source of rising marginal processing cost. At a minimum this response of the mix of sorting operations to changes in plant mail volume is something that should be examined using the plant-level MODS data, rather than being assumed fixed. 3. Implications of the model of mail processing for measurement and allocation of volume variable cost in mail processing. One issue which is clearly illustrated in Figures 1 and 2 is that the USPS framework and the OCA framework are not estimating the same economic relationships from the MODS data. By construction, the USPS estimates of elasticities of labor hours Docket No. R2006-1 - 30 - Initial Brief of the OCA with respect to TPF in an operation can only estimate economies or diseconomies that arise within a single operation. If production in the operation is driven by a combination of a fixed setup time followed by a long run time, then it is not surprising to see elasticities of labor hours with respect to TPF that are less than one, as the hours used in setup get spread over a larger number of piece feedings. In fact, as illustrated in Table 1, the preferred USPS estimates of these elasticities from the last four rate cases are virtually always less than one. In contrast, the OCA model encompasses a much broader range of activities that can affect the relationship between mail volume and labor hours in the plant. This includes the economies or diseconomies that arise at the operation level, but also the effect of a changing mix of sorting operations as plant mail volume changes or as capacity constraints on operations bind. Docket No. R2006-1 - 31 - Initial Brief of the OCA Table 1 USPS Preferred Estimates (standard errors in parentheses) Sources R 2000-1 USPS-T-15 Table 6, p. 119 Table 7, p. 120 p. 121, line 12 R 2001- 1 USPS-T-14 Table 9, p. 61 Table 10, p. 62 Table 11, p. 63 Table A-1, Col. 1, p. 71 R 2005-1 USPS-T-12 Table 5, p. 48 Table 6, p. 49 Table 7, p. 50 Table 1, p. 3 R 2006- 1 USPS-T-12 Table 26, p. 99 Table 1, p. 3 Letters OCR BCS BCS/DBCS BCS outgoing BCS incoming Manual LSM .751 (.038) .895 (.030) ---.735 (.024) .954 (.022) .77 (.06) .94 (.05) .87 (.05) --.58 (.04) .90 (.06) .78 (.06) .90 (.05) .85 (.07) --.87 (.07) -- .78 (.05) -.88 1.06 (.06) .82 (.07) .89 (.09) -- Flats FSM FSM 1000 AFSM 100 Manual .817 (.026) --.772 (.027) .74 (.05) .74 (.05) -.71 (.05) 1.01 (.04) .73 (.03) 1.03 (.09) .90 (.13) -.72 (.03) .99 (.08) .94 (.07) Parcels SPBS Manual .641 (.045) .522 (.028) .66 (.05) .44 (.04) .77 (.06) .78 (.18) .87 (.05) .80 (.18) Priority Manual .522 (.025) .55 (.05) .76 (.08) .75 (.09) Cancellation/Prep Composite .549 (.037) .760* -.71 .46 (.07) .83 .50 (.07) .85 Docket No. R2006-1 - 32- Initial Brief of the OCA A significant limitation of the USPS framework for mail processing costs is that it assumes that the plant manager cannot utilize the sorting operations in different proportions as plant volume expands or contracts. At a minimum, the assumption that sorting operations scale up and down in fixed proportions in response to volume changes should be tested empirically. Using the USPS framework, and testing it in an econometrically appropriate way that recognizes the endogeneity of the key TPF variables, has only been done by witness Roberts. OCA-T-1, Table 1, reports evidence that the proportionality assumption does not hold.8 In rebuttal testimony (USPS-RT-5, Table 10) Dr. Bozzo claims to provide evidence that the proportionality assumption is valid, but his evidence does not show this. The proportionality assumption is the requirement that, in every operation, the elasticity of TPF with respect to plant volume equal one. Dr. Bozzo reports a specification in which the sum of TPF across all sorting operations has an elasticity with respect to plant volume equal to one. This does not imply that all the individual operations have elasticities equal to one, which is what the proportionality assumption implies. His evidence does not speak to the issue of how the mix of sorting operations changes in response to changes in plant mail volume and Dr. Bozzo agrees (Tr. 36/12481 at 6-13). While the purpose of Table 10 is unclear, it certainly cannot be interpreted as evidence supporting the proportionality assumption. 8 Dr. Bozzo also criticizes the specification of the regression model underlying Table 1 in OCA-T-1 (USPS RT-5, Section VI.B.2). The purpose of those regressions was not to estimate a complete model of the mix of operations utilized in the plant (although the equations would be the starting point for that model) but rather to show, in the clearest, simplest way possible, that the proportionality assumption which underlies the USPS analysis is not true in the plant-level data. The results in Table 1 demonstrate that clearly. The USPS has not provided any empirical evidence justifying the use of the proportionality assumption, and raising criticisms of this evidence still does not establish that the proportionality assumption is correct. Docket No. R2006-1 - 33- Initial Brief of the OCA If the use of higher cost sorting methods, particularly manual, rises with plant volume, then an important source of rising marginal cost is missed. The practical way that this error appears in the estimates of VVC is that the labor demand elasticities with respect to piece feedings that are used to scale the cost pools to construct VVC pools underestimate the scaling factor for operations that are used more heavily when volume increases. Since this is likely to be manual, the VVC pool for the manual operation is too small. Since manual hours are a substantial fraction of total hours, 35.8 percent in letter processing and 28.6 percent in flats processing in 2005, this is likely to lead to substantial underestimates of marginal cost. Since the within-plant relationship between the volume of mail and the use of the different sorting operations is a potentially important component of the marginal cost of processing mail, it should not be restricted, or eliminated, unnecessarily. Restricting the potential relationship between mail volume and labor hours as the USPS framework does, makes it inappropriate as a basis for constructing and allocating volume variable processing costs across rate classes. Overall, the USPS methodology needs to be generalized so that it does not place a priori restrictions on the way that the plant responds to changes in mail volume. The framework utilized in OCA-T-1 does not restrict the technology in this way. B. Response to Rebuttal Testimony The rebuttal testimony offered by Dr. Bozzo includes a number of criticisms of the testimony presented by Dr. Roberts in OCA-T-1 and a great deal of speculation about the motivation behind that testimony. There appear to be four themes that run through the relevant parts of USPS-RT-5. One of them, the need for a distribution key, Docket No. R2006-1 - 34- Initial Brief of the OCA has already been discussed above. It can be added that the need for a distribution key to allocate cost pools to rate classes has always been obvious and Dr. Roberts has never claimed that one is not necessary. The remaining three themes involve the definition of processing categories, the use of quarterly dummy variables, and the sample period analyzed. In each case, the criticisms reflect errors in describing the OCA model or an incomplete reading of the papers written by Dr. Roberts. 1. Definition of processing categories In OCA-T-1, Dr. Roberts divides the volume of letter and flat mail processed in the plant into volume in two processing categories, the outgoing operation and the incoming operation, and estimates separate output elasticities for each category. These are reported in OCA-T-1, Table 4, p. 37. He also further disaggregates letter mail into four categories: incoming with a barcode, incoming without a barcode, outgoing with a barcode, and outgoing without a barcode, and estimates separate output elasticities for each. These are reported in OCA-T-1, Table 5, p. 42. When all four categories are used (Table 5, Panel D), the number of output elasticities estimated increases to 12, compared with 6 when only two processing categories are used. In the discussion of these results in Section VIII.C, pp. 41-44, Dr. Roberts points out that as the level of disaggregation of the processing categories increases, the precision of the individual estimates decreases. However, the aggregated elasticities for the incoming and outgoing categories are not highly affected by whether two or four processing categories are defined. In addition, the aggregated elasticity for the whole plant is basically the same whether one, two, or four processing categories are defined. What this demonstrates is that the MODS data is useful for estimating volume-hours Docket No. R2006-1 - 35- Initial Brief of the OCA relationships for some fairly broad processing categories, but will be more problematic as the level of disaggregation increases. Dr. Bozzo argues that this specification renders the results useless because the nonbarcoded processing category includes both nonmachinable pieces that have to be entered directly into manual sorting and machinable pieces that will be entered into one of the address recognition processing steps (USPS-RT-5, pp. 59-61). At the same time he argues that the FHP entered directly into the manual processing stage is a minority of the overall category and so it will be difficult to distinguish the “costs for ‘true’ nonautomation mail from automation mail.” This criticism is misdirected. Dr. Roberts advocated the use of two-output models because, as summarized above, further disaggregations resulted in imprecise parameter estimates. In addition, it will be difficult to estimate output elasticities for processing categories that contain very little mail volume. The concern about distinguishing the costs of nonautomation from automation mail is puzzling, since the USPS model cannot distinguish these differences, and it has never been raised as a limitation in their previous testimony. Dr. Bozzo also provides evidence that the disaggregation into what he defines as manual and automated output categories produce “better-behaved” results when the manual output is eliminated from the automated operations labor demand curves. When doing this he ignores the distinction between incoming and outgoing operations and specifies the model differently than the OCA model. He then finds that the old model is more “inefficient” than the USPS models at uncovering a relationship that is basically imposed in the USPS model. A more useful way to proceed would have been to maintain the distinction between incoming and outgoing processing categories, since Docket No. R2006-1 - 36- Initial Brief of the OCA those have been shown to have different volume elasticities, and then demonstrate that separating each of those further into (i) nonmachinable, (ii) machinable without a barcode, and (iii) machinable with a barcode processing categories could be estimated and produce precise parameter estimates. This amounts to a further disaggregation of the four-output model used in OCA-T-1 into a six-output model. If that model could be estimated, that would be useful to know, but Dr. Bozzo’s discussion does not shed any light on the issue. 2. Quarterly dummy variables and shifts in sorting technology The model estimated in Roberts (2006) and in OCA-T-1 does not include quarterly dummies in the labor demand function. Quarterly dummy variables are justified in the labor demand models if the technology for mail sorting changes systematically from quarter to quarter. They are not justified simply because the volume of mail, or the composition of mail between, for example, barcoded and non barcoded processing categories, changes. Changes in the volume and composition of mail should be controlled for with the output measures used in the model and not by including quarterly dummies that represent changes in the technology. There is no evidence that the technology available in the plant shifts on a quarter-by-quarter basis. Dr. Bozzo agrees (Tr. 36/12473 at 7-24). The only operational testimony which the USPS offers that is relevant to this point is presented in Docket No. R97-1 by witness Moden (USPS-T-4). He describes the seasonal effect of the holidays as a change in “the volume and characteristics of the mail.” (R97-1, USPST-4 at 20). There is more mail volume to be processed, and the characteristics of the mail change so that there is a higher proportion of nonmachinable mail. The response Docket No. R2006-1 - 37- Initial Brief of the OCA of the plants to this exogenous shift in the mail stream is to use more manual labor, particularly more temporary clerks. In other words, as the volume of mail rises and the composition of the mail changes, the USPS uses a different mix of inputs, in particular higher cost inputs that will result in higher processing costs. This is not a change in technology that should be modeled with quarterly dummies. This is a change in the mix and quantity of mail processed, not an exogenous shift in the processing technology, and its impact should be recognized as a volume-driven change in cost. The model implemented in OCA-T-1 does exactly this. The volume of mail in each of several processing categories is included as the output controls in the labor demand equations. The increase in volume in the holiday season is measured directly using plant FHP, and the change in the mix of mail characteristics is measured directly by disaggregating FHP into multiple processing categories. In OCA-T-1, this disaggregation includes distinguishing incoming and outgoing mail as well as barcoded and nonbarcoded. The holiday surge in nonmachinable mail would be measured directly as an increase in the volume of the outgoing, nonbarcoded category. How the plant responds to this change in the mail stream is exactly the effect that should be measured by the volume elasticities in the labor demand curves. Dr. Bozzo argues that Dr. Roberts is inconsistent in his treatment of quarterly dummies over time. This is true. Roberts (2002) included quarterly dummies in the labor demand models based on the USPS justification. As he explains in Tr. 23/8414 at 17 through 8418 at 9, that paper focused on a number of other specification problems with the USPS model (the failure to incorporate volume measures as output, the use of the manual ratio as an explanatory variable, and the failure to recognize the Docket No. R2006-1 - 38- Initial Brief of the OCA endogeneity of TPF in the demand equations among other issues), and he did not question the USPS justification for the use of quarterly dummies. In preparing his 2006 paper he recognized that the specification of quarterly effects was an important issue and systematically explored their justification and implications for the results. This is explained in Roberts (2006), Section V.E, and his conclusion was that quarterly dummies were inappropriate in a model of labor demand. He also summarized the effect that they had on the results in that paper on page 59 and in Table 8, p. 74. Finally, in the current testimony (OCA-T-1, Section VII, pp. 27-29) he shows that quarterly dummies could be also be used as instrumental variables. Based on statistical tests for relevance and overidentification, they are useful and appropriate in six out of 10 sorting operations using two-output processing categories (USPS/OCA-T112, Tr. 23/8309-8313) and in all but one sorting operation when more disaggregated processing categories are used for letters (USPS/OCA-T1-34(a), Tr. 23/8361-8362). Finally, Dr. Roberts also shows that, when quarterly dummy variables are included in the labor demand equations, their magnitudes are unrealistically large (USPS/OCA-T1-44, Tr. 23/8379-8380). For example, between different quarters of the year, they show a 16.7 percent swing in manual labor use, a 15.0 percent swing in DBCS labor hours, a 13.9 percent shift in manual flat hours and a 12.0 shift in AFSM hours. Given that there is no testimony indicating that the technology changes from quarter to quarter, it is hard to square these estimates with operational reality. More realistically, they reflect quarter-to-quarter fluctuations in average labor hours that are due to differences in the average mail volume. Overall, the discussion and treatment of the quarterly data variation in Dr. Roberts’ papers demonstrates substantial Docket No. R2006-1 - 39- Initial Brief of the OCA development over time and has better illuminated a set of issues that have not been addressed in the USPS testimony. 3. Sample period analyzed Dr. Bozzo criticizes the use of the sample period 2002-2005 rather than the period 1999-2004 used in Roberts (2006). As originally noted in Roberts (2006) pp. 5253, the volume elasticities for the FSM1000 and manual flat sorting operations were sensitive to the time period, suggesting that the technology, specifically the relationship between plant volume and hours in each operation, had changed as a result of the introduction of the AFSM. In preparing the testimony in OCA-T-1, Dr. Roberts explored this issue in more detail and found that introduction of the AFSM was responsible for a change in coefficients in other operations. As a result, he limited the sample for flat sorting to the plants and time periods in which the AFSM was in full operation. This is appropriate if the change in technology results in different output elasticities for the operation. It is also important to recognize that the OCA model is a model of a plant, not a sorting operation, and introduction of a new technology as significant as the AFSM is very likely to affect the output elasticities for other operations. Dr. Roberts shows in Table 7, Panels A and D that the output elasticities do differ between observations in which the AFSM was utilized and observations where it was not. Given this evidence, it would be inappropriate to pool the observations from all plants and time periods. The sample period for letter sorting operations was also limited to the period 2002-2005. This was done to try to remove one source of potential criticism of the analysis, that the samples were being selectively chosen for some reason. By using an Docket No. R2006-1 - 40- Initial Brief of the OCA identical time period for all the analysis this would seem to remove the issue from consideration, but apparently it did not. Finally, in his original testimony, (Table 4 Panel D p. 37), Dr. Roberts reports a complete set of output elasticities for letters using the extended time period 1999-2005 and finds no difference from those estimated on the shorter time period. C. Conclusion The framework underlying the USPS model of mail processing costs USPS-T-15 is flawed and should not be used as the basis for measuring marginal or volume variable costs or allocating costs for across classes of mail. The framework eliminates a potentially important channel through which changes in the volume of mail in a plant can affect labor hours and result in rising marginal processing costs. As shown in Table 1, the USPS estimates of volume variabilities are virtually always less than one and this is consistent with the limitations inherent in the framework. The alternative framework estimated in OCA-T-1 directly measures the relationship between mail volume and labor hours at the plant level, and this is a major source of the difference in volume variability estimates. In the case of letter processing, the preferred estimate for the elasticity of total labor use with respect to an increase in total plant FHP is 1.276 (Table 4, Panel B, p. 37), and this estimate is robust across a number of alternative specifications. For priority mail the estimates are 1.184 and 1.033 depending on whether the plant uses the SPBS technology (Table 9, p. 54). For cancellation operations the elasticity is .918 (Table 11, p. 56). In the case of flat sorting in plants that use the AFSM technology the elasticity of total labor use is 1.098 (Table 7, Panel B, p.47). However, the underlying estimates for flat sorting operations, Docket No. R2006-1 - 41- Initial Brief of the OCA particularly manual, are not estimated precisely and it is advisable to wait until the AFSM operation has been in place longer and all adjustments in staffing of other operations has occurred before estimating the elasticity for flat sorting operations. Overall, it is clear that the estimates using the OCA framework are consistently larger than those produced by the USPS model and do not support the Postal Service arguments that there are significant economies of scale in mail processing. We recommend that the Commission reject the modeling approach advocated by the Postal Service and adopt the alternative presented in OCA-T-1. Docket No. R2006-1 II. - 42- Initial Brief of the OCA ECONOMETRIC ANALYSIS OF CITY CARRIER COSTS A. Witness Bradley’s Volume Variabilities Presented in Docket No. R2005-1 Are Flawed. In Docket No. R2005-1 witness Bradley presented volume variabilities by shape 9 for City Carrier mail delivery. Witness Bradley testified in the current case that there was insufficient time to revise the city carrier street time costing methodology which he had presented in R2005-1 for presentation in the current case.10 Accordingly, the Postal Service has adopted the conclusions and volume variabilities from that study for use in the current case. OCA witness Smith has reviewed witness Bradley’s City Carrier study and has testified on the deficiencies in that study in the estimation of volume variabilities for letters, flats, collection volume, small packages, sequenced mail, large packages, and accountables. He found a number of deficiencies: (1) The density variable is incorrectly used. The variable is not needed from a theoretical viewpoint. (2) Witness Bradley also computed the density variable incorrectly. (3) The underlying database for the original study appears to suffer from multicollinearity, as evidenced by high values for the Variance Inflation Factor (VIF). This appears to be the cause of the generation of negative volume variabilities in some cases—a result that is clearly incorrect. (4) Furthermore, multicollinearity problems in the database can result in the computation of regressors which are unreliable; accordingly, the subsequent 9 Testimony of Michael D. Bradley, Docket No. R2005-1, USPS-T-14. 10 Testimony of Michael D. Bradley, Docket No. R2006-1, USPS-T-14. Docket No. R2006-1 - 43- Initial Brief of the OCA use of the regressors in the computation of volume variabilities also renders the estimates of volume variability unreliable. (5) Witness Smith recognized that the Commission presented a thorough and comprehensive analysis of the deficiencies of the City Carrier Street Time Survey (CCSTS) database in Docket No. R2005-1. (6) Witness Smith demonstrated in his response to POIR 25 that problems caused by multicollinearity could be reduced by eliminating selected cross product terms associated with the variable “spr”. (7) Witness Smith also demonstrated that the volume variability estimation problem could be recast in terms of what may be called the “three bundle approach,’ wherein carrier costs are modeled primarily in terms of Delivery Point Sequenced (DPS), Cased, and Sequenced mail in addition to mail collected at the customer’s site. Witness Bradley subsequently acknowledged the relevance of using DPS and cased mail in modeling city 11 carrier delivery. (8) Witness Smith has concluded that changing delivery technologies, as acknowledged by witness Bradley, lead to the conclusion that witness Bradley’s volume variabilities based on the 2002 database may be obsolete. (9) Witness Smith also discusses the potential use of the Delivery Operations Information System (DOIS) database. Although the database was not received until late in the case, preliminary results indicated that it holds great promise. He further indicated that the use of the Delivery Operations Information System (DOIS) data could reduce the major data problem in this case—multicollinearity. (10) Witness Smith did not need to address the estimation methodology and results related to the volume variabilities of parcels and accountables in detail. As he discussed, parcels and accountables should be 100 percent attributable in cost, for the Postal Service has been able to segregate the costs (delineated by time) and has shown that the costs would not be incurred without the associated mail volumes. 11 Michael D. Bradley, Jeff Colvin, and Mary K. Perkins, “Measuring Scale and Scope Economies with a Structural Model of Postal Delivery,” presented at Conference on Postal and Delivery Economics (2006, Bern, Switzerland) in Liberalization of the Postal and Delivery Sector, Michael A. Crew and Paul R. Kleindorfer, editors, Elgar, 2006. Docket No. R2006-1 B. - 44- Initial Brief of the OCA The Methodology in the Original Carrier Cost Study Needs Improvement. 1. The density variable should not have been used in the econometric equations. Witness Smith concluded that the use of the density variable was incorrect in the current estimation process and that it should be eliminated from the analysis.12 The City Carrier equations presented by witness Bradley model delivery time as a function of the quantities of the various types of mail being delivered, delivery points, and density. Inclusion of quantities of mail as a driver is obvious; mail is an output of the delivery process. In addition, delivery points clearly should also be included in a modeling effort, for carriers need to pass each delivery point in order to complete the route: one of the outputs of the delivery process is the passage by a carrier past a delivery point whether or not any mail is delivered. One could propound the density variable as accounting for differences in the physical layouts of ZIP codes—e.g., congestion, urban/suburban/rural, and other factors. Inclusion of the density variable, however, is theoretically incorrect. In modeling mail delivery there are a number of types of functions which could be 13 estimated : 12 13 (1) Production function (Equation 8.2.1 in Intriligator): output as a function of inputs. (2) Factor Demand function (Equation 8.2.28 in Intriligator): Derived demand for inputs as a function of the price of inputs and price of the product. Direct Testimony of J. Edward Smith, Docket No. R2006-1, OCA-T-3 at 3. POIR No. 25 at 13. The equations discussed are from Michael D. Intriligator, Ronald G. Bodkin, Cheng Hsiao, Econometric Models, Techniques, and Applications, Second Edition, Prentice Hall, 1996. Docket No. R2006-1 - 45- Initial Brief of the OCA (3) Cost function (Equation 8.2.57 in Intriligator): Cost as a function of input costs and output. (4) Cost curve (Equation 8.2.14 in Intriligator): Cost as a function of output. Witness Smith testified that in the modeling of an economic process one generally expects to see the maximization or minimization of a process subject to some type of constraint. This results in the development of various equilibrium conditions. Witness Smith concluded that no theoretical analysis of the underlying economic processes of mail delivery has been explicitly hypothesized in conjunction with the modeling effort (a conclusion disputed by witness Bradley14). Witness Smith concluded that witness Bradley’s equations model a cost function, with cost (measured in terms of time) as a function of output (pieces of mail delivered or collected plus coverage of the delivery points). Witness Smith, therefore, is disputing the suitability of drivers which should enter the estimating equation. There are several variables that impact the cost of mail delivery: e.g., square miles of the subject ZIP code, route miles for the delivery of mail in a ZIP code, environmental factors, and route structures as well as other potential variables. As witness Smith indicated, It is not unusual to develop equations based on the ad-hoc selection of variables; there are numerous examples of ad-hoc estimation efforts in the Operations Research literature, and the equations have in many cases met the needs for which they were developed. Ad-hoc specification is not necessarily bad, even though the equations are not directly consistent with economic theory.15 14 Tr. 34/11563. Although not presented in this case, one can find some theoretical discussion on this issue by witness Bradley et. al., “Measuring Scale and Scope Economies with a Structural Model of Postal Delivery.” 15 POIR No. 25, at 12. Docket No. R2006-1 - 46- Initial Brief of the OCA Accordingly, one would be free to include a variety of variables in an ad-hoc estimating equation. However, in estimating a cost curve, one would use variables which are drivers. Density is a variable which is subsumed in the production process. Witness Smith has indicated that a cost curve for a firm models cost as a function of output. The costs are a result of production decisions and tradeoffs made by the firm’s management in an attempt to minimize overall costs. Accordingly, adjustments made to account for a variety of factors are taken into account in arriving at a cost function based on a production function. Witness Crowder has summarized the adjustment process: There are three principal workload variables affecting city carrier costs: volumes, possible delivery points, and square mileage describing a delivery unit’s service territory. The latter by definition is ZIP-code square miles. Postal managers reconfigure and add routes as necessary to minimize costs, subject to any operational constraints (daily carrier hours for example). In this route restructuring, they are responding to changes in these three primary variables.16 Witness Crowder is correct in stating that square miles are an important consideration; so probably for that matter do other factors impact the cost of mail delivery. However, as indicated by witness Crowder, postal managers perform a minimization process that takes the multitude of factors into account; accordingly, square mileage, density, etc. are variables addressed by the least cost solution of the production process and are not necessary in the estimation of the cost curve. Witness Bradley has described this concept: 16 Tr. 34/11647-8. Docket No. R2006-1 - 47- Initial Brief of the OCA ...duality theory establishes that there is a duality between production cost, in the sense that for every technology there is an associated cost function, and for every cost function there is an associated technology. TR 11563 ….Consequently, researchers no longer need to explicitly (or mathematically) derive the cost function when they want to investigate characteristics of the technology… The level of costs is a result of decisions made by the firm’s managers to attain a level of output for various levels of inputs.17 There are a wide number of decisions to be made in the production process: The equilibrium of the firm in the long run, when both inputs can be freely varied, is at the tangency of an isocost to an isoquant. Only at such a point is output maximized for a given cost, or, equivalently, is cost minimized for a given output. The former follows by moving along any one isocost: if at any one point it crosses an isoquant it is possible to increase output with no additional cost—by moving toward the tangency point. Similarly, moving along any one isoquant, if at any one point it crosses an isocost, it is possible to decrease cost while holding output constant—by moving toward the tangency point. The locus of tangency points is the set of possible equilibrium points for the firm: it is called the expansion path and is characterized by the equality of slopes of isocost and isoquant. From the above results on these slopes, the geometric tangency is in fact equivalent to the algebraic condition (89.2.7), stating that, for profit maximization, the marginal rate of technical substitution 18 must equal the ratio of wages. Based on the achievement of economic efficiency and the use of duality, one can obtain a cost function. Accordingly, it appears that witness Bradley’s model is that of a cost curve with C = f(y1, y2, …yn). Types of mail--e.g., letters, flats, sequenced mail, collection volume, and small packages—as well as delivery points are the outputs whose cost is being measured. From a theoretical viewpoint the use of the density 17 OCA-T-3 at 4. 18 Intriligator et. al., op. cit. at 278. Docket No. R2006-1 - 48- Initial Brief of the OCA variable is wrong; it should be eliminated from the equations. 19 Insofar as a variety of cost related factors are balanced and adjusted in arriving at a production point (termed the tangency of an isoquant and isocost) it would appear that density is subsumed in reaching a solution and is not needed even as a control variable. Intriligator,20 has noted that “The modern approach to the theory of the firm is based on the concept of duality….” He has outlined the variables used in a production function (Equation 8.2.1), cost function (Equation 8.2.57), cost curve (Equation 8.2.14), and factor demand function (Equation 8.2.28). The density variable does not have the characteristics of any of the variables referenced by Intriligator in any of the functions cited. The density variable does not represent output, factor prices, or product prices. Rather, the density variable appears to measure delivery characteristics that are subsumed in some type of maximization or adjustment process for efficient City Carrier delivery; the process is then modeled by an equation with the economically relevant variables. 21 Finally, it should be noted that many of the operational or environmental characteristics allegedly explained by the density variable are also explained by the delivery points variable when the variable is disaggregated. The disaggregated points yield statistically meaningful results. Delivery points is a variable which is clearly relevant and which could be disaggregated in an analysis: there are substantial 19 Equations with the density value are included in Table 1of witness Smith’s testimony, OCA-T-3 at 10, for purposes of comparison. Witness Smith, however, does not advocate their use. 20 21 Intriligator et al., op.cit., 283. Although witness Smith testifies against the use of the density variable, his tables of equation results contain equations with and without density in the interest of full disclosure, recognizing that the Commission requires that all relevant work and alternatives be presented. Docket No. R2006-1 - 49- Initial Brief of the OCA differences between curb, central, NDCBU, and “other” delivery points at the residential and business level. For example, witness Bradley acknowledges that a neighborhood cluster box could have 12 to 20 delivery points at a stop, and central deliveries might have 50 to several hundred delivery points at a stop.22 The focus on density is misplaced. Differentiation among the various types of delivery points is a much better match for the way that deliveries are made across distances, or that may be co-located, and drive carrier costs. Density is a very crude tool. Delivery point technology information gives more precise data of the type needed.23 2. In rebuttal testimony and during oral cross-examination, witness Bradley was unsuccessful in demonstrating the relevance of the density variable. Witness Bradley presents a discussion of two hypothetical ZIP codes, one which is 10 miles square, and a second that is 100 miles square.24 By his own computations, both ZIP codes have routes that violate the 8 hour rule, and his argument is based on the design of delivery routes that would never exist. Although it is easy to hypothesize abstract situations to support a position, there is little relevance between the imagined example and actual postal deliveries. During cross-examination on the two squares examples, it was shown that conclusions at variance with witness Bradley’s example could be obtained simply by varying the placement or numbers of delivery points within the imaginary ZIP codes. What was learned from this example was best summarized by witness Bradley himself: 22 Tr. 34/11615. 23 This concept was acknowledged in the Roy article cited by witness Bradley. Tr. 34/11610. 24 Tr. 34/11561. Docket No. R2006-1 - 50- Initial Brief of the OCA Well, again I ‘m not doing any analysis of this type of zip code. The only thing I’m learning here is perhaps it’s not a good idea to 25 give simple examples. Witness Bradley also cited Roy’s article26 in support of the use of the density variable. Witness Bradley implicitly confirmed that the article included the following statement: “Geographic density is often highlighted as the main factor influencing delivery costs.”27 Subsequently, the Roy article indicated that The initial results therefore tell us that population density is not enough of a cost factor—far from it—to estimate delivery cost. The inclusion of the single variable leads to extremely wide error 28 interval in estimating the cost of outdoor delivery work In response to additional questions about the article and whether the magnitude of the volume variability related to the density variable was small, witness Bradley reiterated his contention about the importance of the density variable, but did not show that the density variable was significant on the basis of the Roy article.29 Accordingly, use of the density variable has not been shown to be appropriate, either from a theoretical or computational basis. 25 Tr. 34/11630. 26 “Technico-Economic Analysis of The Costs of Outside Work in Postal Delivery,” Roy, B., in Emerging Competition in Postal and Delivery Services, Crew, M. and Kleindorfer, P., (eds.) Kluwer 1999. 27 Tr. 34/11604. 28 Tr. 34/11605 29 Tr. 34/11606-09. Docket No. R2006-1 3. - 51- Initial Brief of the OCA Witness Bradley did not correctly compute the density variable. Witness Smith concluded that the density variable is not correctly computed in witness Bradley’s model. 30 This problem was further evident from the response given by witness Bradley to interrogatory OCA/USPS-T14-2.31 It appears that density for a ZIP code as computed by witness Bradley is a function of the number of routes reporting deliveries in a given ZIP code and can vary from day to day. The total number of delivery points, presumably indicative of area congestion and/or other physical layout, does not appear to be correctly delineated in the density computations. This was subsequently confirmed by witness Bradley: As was discussed in Docket No. R2005-1, the CCSTS database sometimes does not include reporting for all routes in ZIP code on a given day. This means that the delivery points associated with recorded delivery time and volumes can vary from day to day within a ZIP code. Ideally, one would know the square mileage for the area served by the included routes and would calculate density by dividing that square mileage into the delivery points on the same routes. Unfortunately, that data is not available and an approximation must be made. In Docket No. R2005-1, I propose an approximation that would account for the variation in routes. Dr. Smith disagrees, and would prefer an approximation that does not vary from day to day, even though the actual density associated with the recorded delivery time is likely varying. 32 In computing density for a ZIP code, the correct approach would be to divide the land area in a ZIP code by the maximum number of delivery points in the ZIP code. Density should be a constant for a ZIP code, rather than being dependent on the number of routes reporting. 30 OCA-T-3 at 8. 31 Tr. 13/3788-89. Docket No. R2006-1 4. - 52- Initial Brief of the OCA Witness Bradley presented carrier cost variabilities based on a restricted, rather than full, quadratic, a major deficiency apparently due to computational problems. Witness Bradley attempted to measure volume variability using both a full and restricted quadratic equation.33 It appears that a full quadratic model, which takes into account the interactions between various types of mail during the delivery process, would be more appropriate. 34 Casual observation of the delivery process shows that small packages and letters may be bundled together with flats for insertion at the mailbox. The mix of mail appears to have an impact on carrier actions. It appears that there is interaction in handling procedures by city carriers in delivering the various types of mail--letters, flats, sequenced mail, etc. The carrier’s actions in delivering DPS letters and cased flats and letters also appear to be related to the handling of sequenced mail. Accordingly, it appears that interaction terms are drivers of carrier time and should be retained if one is modeling delivery time as a function of the shapes. Furthermore, the full quadratic function is the more general of the two. For the modeling effort using the 2002 CCSTS database, estimation using the full quadratic was the appropriate approach. However, witness Bradley discarded the full quadratic form because he obtained an incorrect sign in developing his model: a negative volume variability for small packages. Obviously such an outcome is meaningless. The negative variability is reflective of the database. Witness Bradley recognizes the problem is “an extreme 32 Tr. 34/11568-9. 33 The restricted form lacks cross products. 34 OCA-T-3 at 23. Docket No. R2006-1 - 53- Initial Brief of the OCA symptom of multicollinearity.”35 Multicollinearity is caused by the nature of the available sample data, involving cases in which variables have approximate linear relationships with each other. Although true multicollinearity is rare, approximate relationships involving a degree of multicollinearity are common. A significant level of multicollinearity can occur when variables vary together; one might find such a situation occurring in the case of mail delivery when one used a two-week time frame. There are three solutions to multicollinearity: accept it (an acceptable solution if one is estimating the dependent variable; a poor solution if one is going to use the regressors in computing volume variability), eliminate a variable (which could be done by combining the values of the variables, recognizing that one will be able to compute fewer volume variabilities), or obtain additional data, possibly through the use of a longer time series (for example, the DOIS database). Witness Bradley indicates that the existence of substantial multicollinearity renders the estimated coefficients unreliable even if they are not negative; the implications of the statement for witness Bradley’s propounded volume variabilities appear to be highly negative. 36 That is, the volume variability estimates subsequently computed from unreliable regressors may themselves be unreliable. Witness Bradley’s analysis effort has illustrated the problems of collinearity associated with the appearance of unexpected signs and high VIF values. Negative volume variability is meaningless. Given the problems of the underlying database as evidenced by the types of results obtained, it appears that the Carrier Cost analysis 35 Tr. 34/11566 36 Tr. 34/11566-67. Docket No. R2006-1 - 54- Initial Brief of the OCA presented in Docket No. R2005-1 is flawed and that additional analysis is needed. Witness Smith in his analysis also obtained cases of negative volume variability, further confirming the deficiencies of the CCSTS database. Witness Smith Provided Alternative Variabilities. C. Even though there appear to be significant problems associated with the underlying CCSTS database, OCA witness Smith performed an analysis investigating possible alternatives to witness Bradley’s model. The analysis was presented in Tables 1 and 4 of his testimony. He evaluated the models on the basis of their economic meaning. 37 Table 2 summarizes some of the variabilities in witness Smith’s testimony and his response to POIR 25. Table 2 presents witness Bradley’s model, the CC5 model recommended by witness Smith on the basis of his analysis of the CCSTS data, a recommended model ND6 based on the DOIS data, CC2 with spr cross products removed, and CC3 with spr cross products removed. Witness Smith recommended adoption of the CC5 variabilities in his testimony as the preferable model, based on the elimination of the density variable, positive signs for volume variabilities, and a reasonable relationship between letters and flats in terms of cost. He noted that the reason for the rejection of the full quadratic case for CC3 was a negative sign for volume variability in the case of small packages. 37 OCA-T-3 at 10-11 and 17. Docket No. R2006-1 - 55- Initial Brief of the OCA TABLE 2 Letters Flats Sequenced Collection Sm Prcls Deliv Pts Density Mail Volume CC1: Witness Bradley Recommended Case Full Quadratic Volume Variability 0.24069 0.11606 0.00700031 0.04707 -0.019978 0.67068 -0.0777 Marginal Cost 1.53 2.26 0.46 2.22 -12.29 CC1: Witness Bradley Recommended Case Restricted Quadratic Letters Flats Sequenced Collection Sm Prcls Deliv Pts Density Volume Variability 0.22268 0.0712 0.012912 0.088135 0.015836 0.66888 -0.0825 Marginal Cost 1.39 1.36 0.82 4 9.56 CC2: Recommended Case, density modified Density redefined as dens = units/sqm; Full Quadratic Letters Flats Sequenced Collection Sm Prcls Deliv Pts Density Volume Variability 0.25654 0.13852 0.015301 0.039501 -0.022269 0.68459 -0.0551 Marginal Cost 1.62 2.68 0.99 1.81 -13.6 CC2: Recommended Case, density modified Density redefined as dens = units/sqm; Restricted Quadratic Letters Flats Sequenced Collection Sm Prcls Deliv Pts Density Volume Variability 0.24101 0.06943 0.0067851 0.080097 0.0047302 0.70117 -0.0556 Marginal Cost 1.52 1.34 0.43 3.68 2.89 CC2: Rerun for Full Quadratic, spr cross products eliminated Density redefined as dens = units/sqm; Full Quadratic Letters Flats Sequenced Collection Sm Prcls Deliv Pts Density Volume Variability 0.24263 0.13802 0.016292 0.043027 0.0019312 0.66942 -0.0566 Marginal Cost 1.53 2.65 1.05 1.96 1.17 CC3: Witness Bradley Recommended Case without the Density Varible Full Quadratic Letters Flats Sequenced Collection Sm Prcls Deliv Pts Density Volume Variability 0.23729 0.09846 0.00961802 0.055261 -0.005995 0.67683 Marginal Cost 1.53 1.94 0.63376 2.58541 -3.73382 CC3: Witness Bradley Recommended Case without the Density Varible Restricted Quadratic Letters Flats Sequenced Collection Sm Prcls Deliv Pts Density Volume Variability 0.1905 0.06018 0.015632 0.097381 0.034415 0.65003 Marginal Cost 1.21 1.17 1.02 4.49 21.12 CC3: Witness Bradley Recommended Case without the Density Varible Rerun for full quadratic, spr cross products eliminated Full Quadratic Letters Flats Sequenced Collection Sm Prcls Deliv Pts Density Volume Variability 0.21346 0.09219 0.01125 0.063835 0.028562 0.65517 Marginal Cost 1.37 1.81 0.74 2.98 17.7 The following model recommended by witness Smith based on CCSTS database CC5A: DPS Case Letters contain only DPS mail; flats include all other letter mail plus flats. Full Quadratic Letters Flats Sequenced Collection Sm Prcls Deliv Pts Density Volume Variability 0.16827 0.16695 0.014871 0.065867 0.0052223 0.66961 Marginal Cost 1.62 1.6 0.96645 3.03943 3.20827 The following model recommended by witness Smith based on DOIS database Letters Flats Seq Sm Prcls Curb Central NDCBU ND6 Technologydelivpts Full Quadratic Volume Variability 0.19372 0.12727 0.016056 0.035732 0.11285 0.083708 0.03286 Marginal Cost 1.92 3.2 1.75 66.03 Other 0.40691 Docket No. R2006-1 - 56- Initial Brief of the OCA Subsequently, the Commission issued POIR 25, requesting further analysis of equations CC2 and CC3. An analysis of the matrix of correlations between regressors and interaction terms showed that there was substantial correlation, most noticeably in the case of small packages. When multicollinearity is present, one option is to drop the highly correlated terms. Witness Smith analyzed the effects of dropping the crossproduct terms involving the “spr” variable. In the case of the full quadratic for CC3A, a negative volume variability was originally reported for small packages. Once the variables with cross products for “spr” were dropped, the computed negative variability vanished, and the Variance Inflation Factors were substantially decreased. Accordingly, CC3A with “spr” cross products removed is a full quadratic (minus cross products for “spr”) with marginal costs that appear to comport with what one would expect. This is consistent with witness Bradley’s approach but offers a number of advantages: there is more consideration of interaction among types of mail because fewer restrictions are imposed, there are no negative variabilities, and the model lacks an incorrectly specified density variable. In the case of the revised CC2 with “spr” cross products eliminated, again there are no negative volume variabilities. This is an equation that includes the density variable, which is, however, computed differently from the approach used by witness Bradley. Density in this case is computed as housing units per square mile. D. Witness Smith Has Concluded That Parcels and Accountables Should Be 100 Percent Attributable in Cost. All time for the delivery of large parcels and accountables should be attributable; this has been demonstrated by the Postal Service’s ability to specifically and separately record time and quantities for these delivery activities and time, and to model them Docket No. R2006-1 - 57- Initial Brief of the OCA separately. If the accountables and large parcels were not delivered, then there would be no time incurred as a result of a deviation in the route. If accountables and large parcels are delivered, then the Postal Service knows exactly how much time is incurred and that time arises solely from the route deviation needed to make a non-routine delivery. Accordingly, it is clear that the time is 100 percent attributable. Witness Bradley’s estimation procedures for Parcels and Accountables are irrelevant.38 E. The Use of the DOIS Database Would Solve Much of the Data Problem. There appears to be a substantial collinearity problem in the estimation process, and this process appears to be exacerbated by the use of cross-product variables as well as squared variables. Incorrect signs for volume variabilities and high VIF values for regressors demonstrate the existence of the problem. In addition, the resulting regressors may give unreliable values, which makes the computation of volume variability potentially inaccurate. The use of time series data over a time period substantially longer than that available in the CCSTS should help to reduce multicollinearity. For example, in using the Delivery Operations Information System (DOIS) database the Full Quadratic equation for ND6, based on the DOIS data, had in general lower Variance Inflation Factors (VIFs) that was the case for the Full Quadratic version of witness Bradley’s CCSTS based model. The use of a longer time series of data from the DOIS improved the VIF values as multicollinearity was reduced. Similarly, elimination of some cross product terms associated with the variable “spr” also reduced multicollinearity, resulting 38 POIR 25 at 15 Docket No. R2006-1 - 58- Initial Brief of the OCA in lower VIF values and improved estimates of volume variability; the improved volume variability estimates are presented as revised equation 3 of Table 2 in this Brief. The Delivery Operations Information system (DOIS) is a potential solution to the data problem. DOIS provides delivery unit supervisors with operations data for management and decision making purposes. DOIS covers approximately 96 percent of city carrier routes.39 A major advantage to the use of the DOIS data is the availability of the data on an ongoing, long-term basis. The data available in the DOIS are similar to that found in witness Bradley’s CCSTS data base with the following exceptions: there is no differentiation between small and large packages, piece data are unavailable for accountables, and there is no piece count of mail collected. Each of these deficiencies will be addressed. First, DOIS parcel information does not differentiate between large and small parcels. The CCSTS database does, however, provide this differentiation. There are relatively few large parcels, and the total amount of delivery time spent on both large parcels and accountables is in the neighborhood of 7 percent. Using the CCSTS database it should be possible to identify the mean amount of time involved in a large parcel delivery as well as the mean number of large parcels which would typically be delivered. We also have available updated CCSTS information, so there is an adequate sample from a statistical viewpoint. A statistical adjustment could be developed to remove large parcels from the DOIS database. It should be noted that the use of statistical adjustments is common to much Postal Service data analysis, so estimation is not a novel or radically new concept. 39 Tr. 8D/4782-83. Docket No. R2006-1 - 59- Initial Brief of the OCA Second, DOIS information does not include information on accountable pieces. Again, as in the case of large parcels, it should be possible to back out the accountables delivery time, based on an estimate of accountables per ZIP code and time to deliver accountables. Finally, DOIS does not provide information on collection volume. Again, the CCSTS database would permit an adjustment which could be performed on the DOIS database. Using the DOIS data with adjustments would permit the estimation of variabilities for the major types of mail, i.e., letters, flats, and sequenced mail. The variabilities for accountables and large parcels should be 100 percent, so the only type of mail for which one would not have variabilities on an ongoing basis would be pieces collected. The striking benefits of using a DOIS database are that data would be available from all city carrier routes over a multi-year timeframe, as contrasted with the eleven-day CCSTS timeframe. One would expect increased precision and accuracy in the estimated results. The use of a limited number of statistical adjustments is not an insurmountable problem: statistical adjustments are common to most database development efforts. Docket No. R2006-1 1. - 60- Initial Brief of the OCA Witness Smith performed an analysis of volume variability using the DOIS database. The data were received several months into the current case, 40 so an extensive quality control and data checking effort was not possible. However, data were available over a 16-quarter, rather than 2-week, timeframe, and the number of ZIP code days was 21,700. One would expect that the amount of usable data would inevitably be reduced as data cleaning and verification efforts are mounted, but one would ultimately expect to have several times the 1,545 ZIP code days worth of data from the original CCSTS database. In analyzing the DOIS database, witness Smith made the decision to develop both full quadratic and limited quadratic cases generally consistent with those presented in Table 1 of his testimony. He identified equation ND6 as presenting volume variabilities based on the DOIS analysis. The DOIS analysis also showed that delivery points could be analyzed by type: curb, central, NDCBU, and “other”. The disaggregation by delivery point type accounts for the substantial differences in technology used in delivering mail and the proximity of delivery points to one another: for example, delivery operations associated with a cluster box (multiple delivery points at one stop) are clearly different from operations on a foot route (where delivery points are more widely dispersed). 40 USPS-LR-L-160—DOIS Data Provided in Response to OCA/USPS-T14-8. received on July 21, 2006. The data were Docket No. R2006-1 F. - 61- Initial Brief of the OCA Witness Bradley’s Conclusions Are Now Outdated. 1. Delivery technology is changing. Increasingly carriers are performing their work in terms of three bundles of mail: (1) Delivery Point Sequenced letters, wherein the processing plant provides letters in a sorted form requiring no additional carrier sorting (DPS); (2) Cased Mail, which is letters and flats sorted in-office by the carrier before being taken to the street; and (3) Sequenced Mail, which arrives as one or more sets.41 Some of witness Smith’s equations, such as his CC5 equation, are in this form. Witness Bradley has testified against modeling the CCSTS data for 2002 based on three bundles: First, as I explained in my Docket No. R2005-1 testimony, Postal Service delivery methods were mixed in FY2002 when the carrier data were collected. At that time, DPS was not widespread as it is now and there was still some separate casing of letters and flats. Thus the “three bundle” approach was not universal as it is now. It is questionable to specify a model based upon more recent technology for estimation with a data set in which costs were generated more in 42 accord with an older technology. Witness Bradley’s comments call into question the relevancy of his analysis, which is based on the 2002 database. Granted, the 2002 CCSTS study is an improvement over the previous City Carrier volume variability estimation approach, which was decades old. However, the years since 2002 involve the implementation of new delivery technologies. His conclusions are essentially moot. Future work will consider seriously the three bundle approach. In addition, it is clear that having data available on an ongoing basis from an existing, operative managerial data collection 41 As previously mentioned, this was discussed in Bradley et. al., “Measuring Scale and Scope Economies with a Structural Model of Postal Delivery.” 42 Tr. 34/11572. Docket No. R2006-1 - 62- Initial Brief of the OCA system would avoid the need for the commissioning of special studies and surveys; this is a major advantage of the DOIS database. In his testimony, witness Smith discussed the changing nature of collection volume, which is significantly different today as contrasted with the 2002 data.43 Although one tends to think of collection volume in terms of the carrier removing outgoing letters from a receptacle, the Postal Service now has an online program allowing customers to request that letter carriers pick up packages, including Express Mail, Priority Mail, and Parcel Post (when combined with Express Mail or Priority Mail), on their regular delivery routes. This type of pickup may require a major route deviation, akin to that involved in delivering large parcels and accountables. This new parcel pickup service was not offered to the public in 2002. Hence the mail pieces collected were almost exclusively letters. Accordingly, the collection volume variability developed by witness Bradley is now irrelevant. Witness Bradley strongly disagrees, arguing that “…Dr. Smith provides 44 no support for this strong claim.” Actually, witness Smith was only quoting witness Bradley’s client, the Postal Service, on this one. Witness Bradley indicates that the proportion of letters and flats of total collected mail continues to be over 99 percent; he apparently believes that the program has had little impact. However, the program is still young and the service is attractive, so the likelihood of witness Smith’s comments becoming increasingly relevant seems high. 43 OCA-T-3 at 21. 44 Tr. 34/11579 at 26. Docket No. R2006-1 - 63- Initial Brief of the OCA Witness Crowder’s Criticisms Are Largely Irrelevant G. OCA disagrees with witness Crowder’s criticisms of witness Smith. Her comments are best summarized in one of her earlier statements: Dr. Smith’s analysis of the CCSTS data and analyses is superficial, with very little in the way of new evaluation.”45 The introduction to this section of the brief summarizes 10 issues addressed by witness Smith. Of particular interest in this case was the revised CC3 unrestricted quadratic presented by witness Smith in POIR 25 and also presented in Table 2 of this Brief. The equation solves the key problems with witness Bradley’s proposed variabilities: lack of an analysis based on a full quadratic, the generation of positive volume variabilities, and the elimination of the spurious density variable. Problems remain, most noticeably the inherent deficiencies of the CCSTS database; in fact, many of witness Crowder’s criticisms are basically criticisms of the underlying database. However, the alternative equation presented by witness Smith is a significant advance. Witness Crowder is correct that the DOIS database lacks a number of variables. 46 She asserts At a minimum, future use of the DOIS data for city carrier modeling requires the addition of collection and accountable volumes, and disaggregation of parcel volumes into large and small parcel components. Without these changes, all DOIS city carrier models will remain tainted.47 45 Tr.34/11640 at 22. 46 Tr. 34/11653 47 Tr. 34/11657 at 3. Docket No. R2006-1 - 64- Initial Brief of the OCA However, as discussed, it is clear that one could make statistical adjustments to the data in addressing accountables, packages, and collection volume. Accordingly, witness Crowder’s comments do not identify any substantive problems beyond those already addressed by witness Smith. H. Concluding Comments OCA notes that the revised equation CC3 as presented in POIR 25 solves some of the problems associated with witness Bradley’s approach. First, the equation is full quadratic, allowing for the interaction of delivery products in the delivery process. Volume variabilities are positive. There is a reasonable relationship among marginal costs. The equation doses not contain a density variable. Recognizing that the Commission needs to make a recommendation on the appropriate choice of volume variabilities, the output of the revised CC3 is preferable to that presented by witness Bradley. However, OCA does not believe that CC3 as revised should be the final word in volume variability. It is clear that packages and accountables should be treated as 100 percent attributable. In the case of other types of mail, however, additional concepts need to be considered. First, delivery technologies have changed, as recognized by both witnesses Smith and Bradley. Accordingly, volume variabilities based on the three-bundle approach and more current data need to be considered fully. Second, further analysis of the drivers and technologies associated with the delivery process is necessary. In just a short time the nature of the delivery process has changed, as indicated by the three-bundle approach. Furthermore, additional Docket No. R2006-1 - 65- Initial Brief of the OCA consideration of how cost minimization is achieved during the delivery process and how cost functions are designed is appropriate. Third, the DOIS data that are available, overall, are most suitable to the estimation process. Although the database has limitations, it is also the case that the CCSTS database is inferior, plagued with multicollinearity issues; suffering from limited observations; and spanning too short a timeframe. Docket No. R2006-1 III. - 66- Initial Brief of the OCA WINDOW SERVICE COSTS A. In This Proceeding, the Postal Service Updated the Previous Window Service Transaction Supply Side Variabilities. Until the filing of the current case, transaction supply-side variabilities for window service had been based on a 1996 study conducted by the Postal Service as well as earlier methodologies.48 In this case, the Postal Service has presented a new survey of window service transaction time through the testimony of witness Nieto (USPS-T-24). Using the results of that survey, a new methodology and estimate of volume variabilities was presented in the testimony of witness Bradley (USPS-T-17). OCA witness Smith (OCA -T- 2) filed testimony rebutting portions of their testimony. In turn, testimony rebutting witness Smith was filed by Postal Service witnesses Bradley (USPS-RT-4 (Tr. 34/11548, 11581-11597)) and Kelley (USPS-RT-6 (Tr. 36/12244-12265)). Witness Bradley testified that the prior Window Service volume variability was deficient due to errors in methodology, and that the operating procedures currently used by the Postal Service are different from those in use during the initial data collection effort in 1996. The Postal Service’s implementation of the Point-of-Sale (POS-ONE) system, the addition of new products and services, and the implementation of operational changes triggered the need for updated variabilities. (USPS-T-24 at 1). The OCA concurs with witness Bradley’s conclusions regarding the deficiencies of the earlier study. (Smith, OCA-T-2 at 2). 48 Postal Service witness Bradley (USPS-T-17 at 1, note) references testimony of Michelle LaMorte in Docket No. R90-1, USPS-T-6 and testimony by Christopher Brehm in Docket No. R97-1, USPS-T-21. Docket No. R2006-1 - 67- Initial Brief of the OCA In conjunction with witness Bradley’s analysis, Postal Service witness Nieto presented the results of a field study to collect window service data on transaction time, by postal product, for input into the cost analysis which witness Bradley used to calculate the variabilities of window service costs for various window service products. OCA witness Smith identified a number of deficiencies associated with the database presented by witness Nieto. The OCA is concerned that the statistical validity of the database has not been demonstrated, resulting in witness Bradley’s variability study’s conclusions being based on inadequate information. In addition, the OCA believes that walk-time and data outliers should have been addressed differently than they were handled in witness Bradley’s approach, and that the underlying methodology for witness Bradley’s study may need improvement. Although the OCA concurs with witness Bradley that the earlier studies are deficient, the burden is on the Postal Service to demonstrate that the replacement study is reasonable and that it should be accepted by the Commission. Given the inadequacies of the outdated earlier study, the Commission should recommend an update. However, OCA’s witness Smith has enumerated several deficiencies embedded within the Postal Service’s updated variability computations and offers alternative, though similar, variabilities. (Smith, T-2 at 17; library reference OCA-LR-3, Window Service Analysis).49 Witness Smith also presented several caveats about the updated Postal Service study of which the Commission should be aware and which the Commission should 49 Two additional library references relating to window services were filed by OCA: OCA-LR-7 filed in response to POIR No. 17 and OCA-LR-9, Tables 1-4 WindowService.xls files, responsive to USPS/OCA-T2-2 and T2-3. Docket No. R2006-1 - 68- Initial Brief of the OCA advise the Postal Service to consider. By heeding these caveats, the Postal Service should be able to improve the window service variability computations in future rate cases. (Smith, T-2 at 18-26). 1. Postal Service witness Nieto’s updated window service transaction time study Witness Nieto has provided information on the development of the new database for window service transactions. She describes the data collection effort as consisting of the field collection of transaction data through collector observations and the subsequent merging of that data with POS-ONE records. The study design was based on a data collection effort over a two-week period in April and May of 2005 at 27 randomly selected post offices. Collectors used Palm Pilots to gather transaction time data. The collectors stood unobtrusively near postal window clerks recording information on the time associated with each transaction. (USPS-T-24 at 4-6). Witness Nieto stated that data were reviewed and cleaned to correct errors, and were subsequently combined with the POS-ONE transactional data from the days and sites observed. The transaction time data was matched with POS-ONE records to determine the quantities and types of products involved with each recorded transaction time. (Id. at 7). Then, product variables were created that consolidated the product identification information into products that are included in the established window service costing model. (Ibid.). Docket No. R2006-1 2. - 69- Initial Brief of the OCA The field study data collection effort appears to be seriously flawed because witness Nieto could not provide adequate justification of the sample design for data collection. Witness Nieto has not provided an adequate justification for the selection of sample size in terms of the total number of transactions, the number of sites sampled, the breakout between small and large sites, nor the number of transactions by postal product. For example, Witness Nieto states: The proportion of 2 large sites to 1 small site was chosen to balance the considerations of maximizing the number of transactions observed with including small offices. Including more large offices than small is likely to increase the number of transactions observed, but small offices were also included to account for the possibility that they might have differences in 50 transaction times despite having fewer transactions per day. OCA witness Smith determined the above comments relating to sample size are not sufficient support for an adequate statistical analysis. (OCA-T-2 at 5). In reviewing a data collection effort based on the sampling of transactions at sites, one would expect to find an analysis of the population of sites, types of transactions and data to be collected, justification for the selection of sites, computation of sample sizes in terms of their statistical properties, and quality control procedures. (Ibid.). The information provided in the testimony and the associated library reference, USPS-LR-L-78, was inadequate to justify the sampling plan. (Ibid.). Witness Nieto’s analysis appeared to be related to the concept of a stratified sample; however, she has not provided adequate analysis of the statistical issues associated with the development of a representative, stratified sample of data. In fact, she admitted this omission when she indicated: 50 Tr. 5/700 (OCA/USPS-T24-1(h)). Docket No. R2006-1 - 70- Initial Brief of the OCA The goal of the study was not [to] (sic) produce an estimate of total annual transactions by type but rather to produce a dataset that permitted an update of the established transaction time econometric model.51 Witness Smith explained the significant impact that can result if there is a deficient theoretical basis for the sampling. A database that is not based on statistical sampling theory, and that cannot be verified to be representative of the set of transactions studied, does not provide a foundation for the development of a transaction-time econometric model. (Smith, OCA-T-2 at 6). In fact, witness Smith testified, a model developed on the basis of incomplete and irrelevant data can give incorrect conclusions. (Ibid.). Witness Kelley (USPS-RT-6 (Tr. 36/12244)), rebutting witness Smith’s criticisms of the study, maintained: Dr. Smith wants more justification for the selection of sites included in the study, but he is not specific as to what type of additional justification he is seeking….” (USPS-RT-6 at 13 (Tr. 36/12259)). To the contrary, witness Smith explained that one would wish to see a statistical justification and analysis of the basis for any stratification (not provided by witness Nieto), as well as a study of the required number of sample observations (also not provided by witness Nieto, but provided by witness Smith and discussed by witness Kelley). (OCA-T-2 at 14-16 and particularly Table 4 at 15; Kelley, USPS-RT-6 at 12-15 (Tr. 36/12258-12261)). In rebutting witness Smith’s concerns about the sample size, witness Kelley states: 51 Tr. 5/706 (OCA/USPS-T24-5). Docket No. R2006-1 - 71- Initial Brief of the OCA However, since the purpose of this study was to provide the data needed to update the econometric model and not estimate national level point estimates, constructing such a table would not have been useful. (USPS-RT-6 at 4 (Tr. 36/12250)). The statement is wrong. It would be very useful, even important, to know if the underlying database is statistically adequate, because the data are subsequently used in the econometric model. Witness Kelly’s contentions notwithstanding, the data are used to build a national model of window service transactions supply-side variabilities. We are left by the Postal Service without an understanding of the required sample size for the study of postal products provided through window service; we are left only with an inadequate assurance about the appropriate number of sites: The sample size for the 2005 study (27 sites) was largely based on the size of the previous 1996 Transaction Study (20 sites), which provided sufficient data for the estimation of an econometric equation for transaction time, the results of which were accepted by the Commission in Docket R97-1. (USPS-RT-6 at 5, footnote omitted (Tr. 36/12251)). In short, the previous study, based on a flawed methodology and now obsolete operating practices, as carefully explained by witness Bradley, is, nevertheless, supposed to serve as the basis for the current study without further statistical analysis. Witness Smith has explicitly expressed his view that there was inadequate consideration of the underlying statistical issues associated with sample design. (Smith, OCA-T-2 at 4-9). 3. The transaction time study was not representative of small and large sites. OCA witness Smith demonstrated in Table 1 of his testimony that the transactions reported were not representative of the mix of small and large sites: there is approximately a 50/50 distribution between small and large sites in Postal Service Docket No. R2006-1 - 72- Initial Brief of the OCA offices, but small sites make up only 33 percent of the sample in terms of number of sites. (Smith, OCA-T-2 at 7). Small sites appear to account for 23 percent of the observations in the sample, but only 15 percent of the revenue. (Smith, OCA-T-2 at 67). Accordingly, small sites appear to be under-represented in terms of the number of sites, but overly represented in terms of transaction volume Witness Kelley appears to find a circular argument in witness Smith’s conclusions. (Kelley, USPS- at 7-9 (Tr. 36/12252-12255)). Witness Kelley is wrong. Witness Smith has simply called for (1)increasing the number of small sites sampled in order to be proportional to the overall mix of small versus large sites, and (2) changing the mix of observations from small and large sites. The application of standard sampling theory to this approach should be relatively straightforward, recognizing that overall sample size will also need to increase in order to obtain statistically accurate sub samples for various products. Witness Kelley’s discussion of probability sampling that invokes a quote from the noted statistician W. Edwards Deming is misdirected. 52 Witness Smith was applying recognized concepts of statistics with respect to sample size. Witness Smith was not addressing the procedures with which the Postal Service selected its inadequate sample of 27 locations. Witness Kelley appears to be addressing the issue of sample selection, as related to specific sites; this appears to be the issue addressed by Deming. However, this is not an issue on which witness Smith has offered criticism. Witness Smith has addressed sample size in terms of numbers of observations and 52 Kelley (USPS-RT-6 at 7 (Tr. 36/12253)) citing W. Edwards Deming, Sample Design in Business Research, John Wiley & Sons, 1990. Docket No. R2006-1 - 73- Initial Brief of the OCA numbers of sites, not selection of sites. Witness Kelley’s comments on this point are irrelevant. 4. The Postal Service offers no substantiation that the collection of data over a two week period in April/May resulted in a database that was representative of postal transaction times or representative of the mix of postal products. Postal Service witness Hintenach, a manager with experience in Retail Operations and 40 years of service with the Postal Service, stated in this record that during heavy mail time periods, such as holidays or tax-filing deadlines, the Postal Service manages its lobby operations differently than is the case at other times. 53 The Postal Service now has a lobby program to conduct business with customers while they wait in line. These factors could affect the transaction times at the window, particularly at a time when lines are longer during the busiest holiday period.54 The explanations by witness Nieto as to the reasons for selecting the April/May time period for the field study do not support her position that the time periods selected are representative and, therefore, valid, for a statistical study of year-round window service transaction costs. Witness Nieto testified that the goal was not to produce “an estimate of total annual transactions by type” but only to update “the established transaction time econometric model.”55 Obviously, the task was not to merely estimate total annual transactions, and in that OCA agrees. However, the task was to conduct a field study that would yield a representative estimation of the window service transactions 53 Tr. 3/399-400. 54 Ibid. 55 Tr. 5/706 (OCA/USPS-24-5). Docket No. R2006-1 - 74- Initial Brief of the OCA occurring during the entire year in order to accurately estimate window service costs in the test year. Witness Nieto explained she consulted the “USPS Retail Operations experts” as to any operational issues associated with the selected period and strove to minimize potential clerk disruption during tax time. These explanations do not constitute evidence that the period selected for the study provided data representative of window service operations for an entire year. Moreover, the established econometric model she claims to be updating was thoroughly discredited by witness Bradley. Although the implication of witness Nieto’s explanation is that her study relied upon an already established model, that methodology has been discredited. The Postal Service is not updating that model. It is actually generating a new model supported by a new field study. The reason for a new study is to incorporate new operational realities into the model. There is no evidence in this record to support her assumption that, despite the change in operations resulting from the introduction of the POS-ONE system which now requires an updated study, window service operations have otherwise remained so similar in terms of window service activity during the year and the number of representative locations, that the old methodology of the established study is still valid. In fact, by the Postal Service’s own admission, operating procedures are different from those in use in 1996. (Bradley, USPS-T-17 at 1, 3-6). The introduction of the POS-ONE system may have impacted customer requirements for window service. The lobby program alluded to by witness Hintenach may also have impacted the window service transaction time at different times of the year.56 Also, 56 Tr. 3/399-400. Docket No. R2006-1 - 75- Initial Brief of the OCA witness Kelley’s comparison of the 1996 study with the 2005 study clearly indicates the earlier study was conducted at a different time of year than the new study. (Kelley, USPS-RT-6 at 16 (Tr. 36/12262)). Either additional information is needed to determine if a two week data collection time period in April and May would be representative of an entire year or additional information is needed to determine whether different or additional time periods must be selected to constitute an adequate statistical study. 5. The Postal Service’s elimination of significant amounts of data raises the issue of whether the window service transaction study included sufficient quality control. Approximately 30 percent of the nested transactions were dropped from the database due to collection problems: only 133 of 190 nested transactions were retained in the study. 57 Witness Nieto concluded that the 57 deleted nested transactions were a small number. She stated: Therefore, dropping those 57 out of the 190 that were included does not create any unnecessary issues. It’s just a transaction that happens to be separated into two parts.58 In addition, approximately 16 percent of all data collected was deemed unusable: Data were gathered for 9,459 transactions, but 1,535 were dropped from the database because they could not be matched.59 Witness Nieto testified data were dropped from the database when the POS-ONE observations could not be matched with the records 57 Nested transactions occur when a transaction is interrupted by another transaction and is then completed; for example, a customer initiates a Registered Mail transaction, steps away briefly from the window to complete some forms while the clerk continues with another transaction, and then returns to the window to complete the transaction. (Smith, OCA-T-2 at 10, note 8). 58 Tr. 5/720. 59 Tr. 5/707 (OCA/USPS-T24-6). Docket No. R2006-1 - 76- Initial Brief of the OCA maintained by the data collectors. She testified that is a little on the high side but within reason. 60 Yet, the Postal Service provided no analysis of the impact on the database from the elimination of the unusable observations; that is, whether the 1,535 dropped observations biased the resulting sample and significantly affected computed volume variabilities. Witness Nieto concluded: The data just could not be matched to the product specific information, so I don’t have specific concerns about the number of transactions that were dropped because we ended up with a number of transactions that were equal to or greater than the transactions in the previous study.61 A database with a number of transactions that are “equal to or greater than the transactions in the previous study” is not a statistical criterion. (Smith, OCA-T-2 at 11). Furthermore, witness Nieto did not refer to the statistical literature to determine whether a significant amount of data had been dropped. She was unable to cite any statistical literature covering the subject of the dropping of data.62 Witness Kelley has acknowledged the importance of the matching process and that the collectors eliminated a significant amount of data they had just collected but were unable to match. Witness Kelley testified: This matching process was crucial to validate the information recorded by the data collectors as part of the study…Transactions that were unable to be matched with the census of transactions were not included in the final database. (USPS-RT-6 at 5-6 (Tr. 36/1225112252)). 60 Tr. 5/721. 61 Tr. 5/722. 62 Tr. 5/723. Docket No. R2006-1 - 77- Initial Brief of the OCA While it may be that data that survived the matching process are correct, the Postal Service should have been more concerned about the elimination of the data that did not survive the process. Questions arise: what is different, important, or unique about the data that was eliminated due to lack of matching, and why was data just recently collected quickly eliminated? Witness Kelley’s own testimony highlighted the problem by referring to the matching process as “crucial.” In commenting on the dropping of observations, witness Bradley stated: Dropping all observations with a studentized residual greater than 2.0 (in absolute value) would mean elimination of 250 data points. This is over 3% of the collected data.63 Apparently, witness Bradley was concerned about dropping 250 data points (only a little over 3 percent of the data). This pales in comparison to the 1,535 dropped data points out of 9,459 data points (or more than 16 percent of the data) discussed by witness Nieto.64 Thus, without support for the limited April/May data collection timeframe, and because of the large percentage of dropped nested and non-nested transactions, the quality of the database is questionable. (Smith, OCA-T-2 at 11). 6. The erratic walk-time data from facility to facility and day to day are evidence that there may have been errors in the field study data collection process. In Library Reference USPS-LR-L-159, witness Nieto provided walk-time data by facility. Walk-time denotes the total time period (in seconds) during which the customer approaches the window. Data collectors were instructed to gather walk-time data for each transaction in cases where the walk was long enough to be measured. OCA 63 POIR No. 7, Question 7, note 1. 64 Tr. 5/776 (POIR No. 7, Question 8). Docket No. R2006-1 - 78- Initial Brief of the OCA witness Smith provided his Table 3, summarizing the total walk-time data (in seconds) on a facility-by-facility, daily basis. He has shown that data collection was apparently erratic from facility to facility and day to day. (Smith, OCA-T-2 at 13). 7. The Postal Service did not analyze whether enough data was gathered for each type of window transaction in order to have a statistically adequate sample. Normally, in performing survey work, the researcher computes the required sample size; i.e., how much data is necessary in order to have statistically reliable conclusions from the sample at an acceptable level of confidence? The Postal Service apparently did not consider the issue in this case. Witness Nieto testified: No analysis of the number of transaction observations needed for each product was performed, because the study was not designed to provide national estimates of product-specific transaction times or product volumes. The notion of “statistically representative” product observations is not well-defined in the context of this update because many transactions contain multiple products. Rather, the objective of the transaction time study was to create a database that contained sufficient transactions to allow an update of the established transaction time econometric model.65 OCA witness Smith presented sample size calculations for each type of transaction. The calculations for the computation of sample size shown in his Table 4 were based upon accepted methodology. (Smith, OCA-T-2 at 15).66 Witness Kelley, in rebuttal to witness Smith, criticized witness Smith’s method of computation underlying that table (Kelley, USPS-RT-6 at 12 (Tr. 36/12258)), but he did not find any error in 65 66 Tr. 5/701 (OCA/USPS-T24-2). Gilbert A. Churchill, Jr., Market Research Methodological Foundations, Sixth Edition, Dryden Press, 1995, at 631. Docket No. R2006-1 - 79- Initial Brief of the OCA witness Smith’s calculations. Witness Kelley’s criticisms are irrelevant. Even if witness Kelley’s objections are accepted for purposes of argument, such as the passport example in his rebuttal testimony, the point of witness Smith’s testimony is not refuted; rather, it is reinforced. That is, for the same products shown in witness Smith’s Table 4 as having insufficient samples, even if the number of required samples are computed as proposed by witness Kelley, the actual sample sizes obtained by the field study were far less than the number necessary for a proper statistical analysis. Witness Kelley testifies: Theoretically, in deriving the required sample sizes provided in Table 4, witness Smith incorrectly uses H=4.5 seconds, which is five percent of the mean transaction time over all single item transactions of 93 seconds. The proper use of this formula is to calculate a different H for each transaction type. If it is desired to have the same level of precision for all transactions, then H is derived by taking five percent for example, multiplied by the mean transaction time for that transaction type. (Kelley, USPS-RT-6 at 13-14 (Tr. 36/12259-12260)). Witness Kelley computes the required sample for Passport transactions, and finds that the required sample size is 614, whereas witness Smith calculated a required sample size of 49,343 using an accepted methodology. The actual sample taken by the Postal Service consists of only 35 transactions, rather than the 614 which witness Kelley calculates to be valid. This supports witness Smith’s conclusion that there is not enough data. Given that witness Kelley has provided an alternative computational method, OCA has recomputed the required samples using witness Kelley’s proposed computational approach. The computations are presented as alternatives to witness Smith’s Table 4 within the following Table 3. Docket No. R2006-1 - 80- Initial Brief of the OCA Table 3, Required Sample Sizes A Variable and Product Category CERT (Certified Mail) FC (First Class) STMPSCN (Samps Scanned) STMPNO (Stamps Not Scanned) PM (Priority Mail) MO (Money Order) PP (Parcel Post) OWR Bounded Printed Matter Library Mail Media Mail EM (Express Mail) PVI (PVI Strips) INS (Insurance) RP (Ready Post Items) INTERNATL STMPEN (Stamped Envelopes) REGINS (Registered with Insurance) PASS (Passport) RETAIL BOX (PO Box Items) DOMCOD (Domestic COD) FCENCL (First Class with Enclosure) OSS (Other Special Services) Return Receipt Delivery Confirmation Signature Confirmation Certificate of Mailing Postage Due SERVICES Hold Mail Pickup Mailing Payments E F G H I J K L Cases with one item in a Total Time Required Actual Required Cases Where transaction for One Item Sample Size Sample Sample Size Computations -------------------------------------------------- Transactions Based on Size Based on Identify Transactions Time Std.Dev. Col(E)*Col(F) H = 4.5 USPS-RT-6 Inadequate Seconds (Smith Testimony) (Kelley Methodology) Data 674 1223 627 602 455 85 57 5 na 52 235 43 na 57 152 77 na 13 3 68 na na na na na na na 8 74 345 8 74.8 52.6 61.8 46.1 64.1 58.1 105 75.3 118.4 111.9 101.3 57.2 112.6 94.6 82 64 na na 115.6 97 155.2 78.9 100.6 112.5 na na 88.9 74.6 188.8 151.6 53.8 52.6 na na 807 510 337.3 101.8 191.6 195.6 na na na na na na na na na na na na na na 129.5 47.8 101.994 82 95.5 62.4 102 83 161.8 157.2 Total Transactions: 4863 na: insufficient data to permit computation. Time per Transaction: Total Time: 0 50415 75581 40191 63210 53872 8611 6418 410 0 6011 36472 4326 0 5067 28698 4143 0 10491 1012 13029 0 0 0 0 0 0 0 1036 7067 35190 1294 na 525 403 640 1076 2375 621 1698 777 na 1785 1181 2401 na 1056 4360 525 na 49343 1966 7258 na na na na na na na 433 1276 739 1307 4688 391 1777 2019 1266 1550 851 291 159 1 323 148 322 101 314 334 332 163 15 35 8 82 1 1 839 319 480 18 22 9 490 78 402 13 760 855 1262 790 1373 490 1085 936 x x x x 1082 397 1922 x x x 1082 991 1469 x x x 614 140 1601 x x x 209 993 656 1017 1451 x x x x x 452544 93.058524 In Table 3, columns B, C, and D of witness Smith’s original table have not been reproduced since they are not relevant to the current analysis. Columns E, F, and G are reproduced from the original Table 4. Column I presents the required sample size based on witness Smith’s original calculations. Column K presents the required sample size based on witness Kelley’s approach. As shown in column L, in all instances where witness Smith previously indicated a lack of sufficient data, there continues to be a significant shortage of data. Docket No. R2006-1 - 81- Initial Brief of the OCA Witness Kelley’s comments, therefore, do not refute witness Smith’s conclusions, rather, his comments confirm the conclusions. As witness Smith explained in his testimony, (Smith, OCA-T-2-16), there is insufficient data for a number of products—Money Order, Parcel Post, Bounded Printed Matter, Express Mail, PVI Strips, Ready Post Items, International, Stamped Envelopes, PO Boxes, Postage Due, Hold Mail, Pickup, and Mailing Payments. Furthermore, in the case of certain types of services—such as Return Receipt, Delivery Confirmation, Signature Confirmation, and Certificate of Mailing—there is no basis for computing required sample size. Witness Kelley is, however, correct on one issue: …Dr. Smith, by constructing Table 4, assumes that the means and standard deviations by transaction type are known before the survey is conducted. In practice, usually crude estimates are used when applying 67 the sample size formula. This is exactly the approach used by witness Smith in applying H = 4.5 in the estimation problem across the board. Further refinement, based on witness Kelley’s comments has led OCA to generate the new Table 3. In both cases, however, the conclusions are unchanged. Witness Kelley continues: Now, on a practical level everyone wants larger sample sizes. However, data collection is costly, so limits need to be set. Therefore, constructing Table 4 might be a nice academic exercise, but as a practical matter it is not useful.68 67 Kelley (USPS-RT-6 at 14 (Tr. 36/12260)). 68 Ibid. Docket No. R2006-1 - 82- Initial Brief of the OCA Witness Kelley is wrong. He does not take into account the impact on the matter being studied. Given the millions of dollars involved in window service costs, and the need to collect only a few hundred more observations in most cases, the achievement of statistical accuracy is more than “a nice academic exercise.” Furthermore, achievement of the appropriate sample size does not appear to be beyond the capabilities of survey research, nor is it unreasonable to expect the Postal Service to conduct a competent, statistically reliable study. Witness Kelley stated, “The purpose of the study was to update the established transaction time econometric model.” (Kelley, USPS-RT-6 at 15 (Tr. 36/12261)). Obtaining an adequate database would be a good start. OCA witness Smith concluded that the database presented by witness Nieto suffers from a number of statistical problems that render it unsuitable for a final estimation of volume variabilities. On rebuttal, witness Kelley cited the model of the previous study as justification for the current study (Kelley, USPS-RT-6 at 10-11, 16 (Tr. 36/12256-12257, 12262)), claiming “the current study has a superior dataset to the previous one….” (Kelley, USPS-RT-6 at 12 (Tr. 36/12258)). Whether or not the database is better than the previous database, witness Nieto has not established that the database is adequate to support witness Bradley’s analysis. The Postal Service has discredited the work on the variability model in the previous study. Given the apparent errors uncovered in that methodology, that study was apparently not subjected to intensive analysis and close scrutiny in the rate proceeding where the Docket No. R2006-1 - 83- Initial Brief of the OCA variabilities have been applied.69 There is little justification to rely upon the remainder of that same study relating to the data gathering process as a model to be followed when witness Smith has pointed out critical flaws. In rebuttal testimony, Witness Bradley stated: I find that his [Dr. Smith’s] concerns about the updated data set are speculative and not substantive, and they do not have the effects on the variabilities that he asserts. (Bradley, USPS-RT-4 at 28 (Tr. 34/11581)). He subsequently continues: He does not point to even a single instance, out of nearly 8,000 transactions, in which there was an error in recording the type of transaction. (Bradley, USPS-RT-4 at 29, emphasis omitted (Tr. 34/11582)). Witness Kelley also claims the validation procedure led to an accurate data set. (Kelley, USPS-RT-6 at 11 (Tr. 36/12257)). A review of witness Smith’s testimony shows that both witnesses Bradley and Kelley are on the wrong track, insofar as approximately 16 percent of the transactions could not be matched, even though gathered as part of the survey process. (Smith, OCA-T-2-10; Tr. 5/721). With such a large portion of the transactions being unmatched, the question arises as to whether even those instances that did match with the POS-ONE data are otherwise accurate as to the data on the length of the transaction time separately recorded only by the data collectors. It seems that if errors in recording a large proportion of transactions leads to their elimination from the data base, it calls into question the statistical reliability of the remaining transactions even though no errors were individually identified. The reliability of the study and the elimination of bias are necessarily dependent upon a careful 69 3(b)). In recent rate dockets, no party has objected to or criticized the study. Tr. 5/740 (OCA/USPS-T17- Docket No. R2006-1 - 84- Initial Brief of the OCA measurement of a very large and statistically defined proportion of the events at the locations randomly selected. B. Using the Data Presented by Witness Nieto, Postal Service Witness Bradley Updated the Window Service Supply Side Variabilities with a Methodology Inconsistent with His Previous Testimony Before This Commission and Problematic in Several Other Respects. Witness Bradley reviewed the established methodology for the computation of window service supply side variabilities, concluding that there was no analytical support for the existing calculation of window service volume variabilities (Bradley, USPS-T-17 at 9). He then mathematically derived a revised transaction time variability (Bradley, USPS-T-17 at 10-18). 1. Witness Bradley’s model in the current estimation procedure is linear, but he has used a quadratic approach in other testimony. Witness Bradley used a linear model as the basis for his analysis. He noted that the model had been used in Docket Nos. R2001-1 and R2005-1, with no party criticizing or objecting to the analysis, concluding that it seemed appropriate once again to adopt a linear specification. 70 During the hearings, he reiterated his position and noted further that the linear model provides variabilities which are consistent with the entire structure of the window service costing model.71 It should be noted, however, that the use of a model other than a linear model, such as a quadratic model for this phase of the window operation, would not be theoretically inappropriate. In other cases, witness Bradley has strongly advocated the 70 Tr. 5/740 (OCA/USPS-T17-3(b)). 71 Tr. 5/848. Docket No. R2006-1 - 85- Initial Brief of the OCA use of flexible functional forms. No advantage of a linear model has been established for this purpose, nor would use of a different type of model by witness Bradley in any way conflict with the analysis. The potential use of a quadratic model or other type of suitable flexible functional form should have been explored. The choice of a linear model should have been defended. A deficiency of the linear model is that it effectively sets volume variabilities for a number of products sold with other products, such as insurance and return receipt, at 100 percent. The products are always sold in conjunction with another product. Witness Bradley explained the reason for the assumption of 100 percent variability in those cases: The assumption really comes from the fact that for those special services they’re never sold by themselves. They’re always sold with another product and so they have no transaction core related time. All they have is the time associated with themselves in the transaction, 72 and that’s why you get the 100 percent. Witness Bradley also stated: In a linear model, like the established model, a product never sold by itself would have no “fixed” or “common” time. It is easy to show that [in] (sic) a linear model, a product with no “fixed” or “common” time has a variability that is 100 percent.73 Witness Smith has recommended the consideration of a flexible functional form in estimating the volume variabilities of window services. (Smith, OCA-T-2 at 25-26). 72 Tr. 5/853. 73 Bradley (USPS-T-17 at 10). Docket No. R2006-1 2. - 86- Initial Brief of the OCA Witness Bradley’s model is sensitive to changes in the data and thus is not robust. Witness Bradley indicates that “his [witness Smith’s] theoretical attempt to criticize the transaction time study database actually shows that the variability results are robust, not fragile.” (Bradley, USPS-RT-4 at 29 (Tr. 34/11581)). Witness Bradley devotes the first part of his rebuttal testimony to a discussion of the robustness of the data. (Bradley, USPS-RT-4 at 29-34 (Tr. 34/11582-11587)). However, his computed variabilities result from changes to a database that resulted from excluding over 16 percent of the original database. Given such a significant percentage of exclusions, the degree of confidence expressed by witness Bradley is unwarranted. Witness Bradley removed a number of outlying observations, as mentioned on pages 22-24 of his testimony. (Bradley, USPS-T-17). A POIR requested that witness Bradley supply a test for outliers. In response, witness Bradley noted that he had removed a number of outliers, but that he had not used a formal statistical test. 74 Witness Bradley discussed the use of studentized residuals: In general, a studentized residual is a residual divided by its standard error, but in outlier analysis it is important to have an “externally’ studentized residual. Externally studentized residuals have the standard error calculated with the observation removed, thus eliminating the possibility that a large outlier could contribute to a large standard error and thus make it harder to identify the outlier itself.75 Witness Bradley’s response to Question 7 of POIR No. 7 provided a list of studentized residuals with an absolute value above 2. He concluded that observations with a studentized residual above absolute value 3 are likely outliers, and that those 74 POIR No. 7, Question 7. (The response to this POIR question was designated and commences at Tr. 5/779, but most of the response, including the portion pertinent here, was not transcribed.) Docket No. R2006-1 - 87- Initial Brief of the OCA with a studentized residual above 2 in absolute value bear investigation. He furnished a list of 250 observations with a studentized residual above 2 in absolute value and 117 observations with a studentized residual above 3. OCA witness Smith used the list of 250 observations with a studentized residual above 2 to calculate the variabilities which appeared in column 5 of his Table 5. Witness Bradley’s rebuttal testimony criticized the dropping of the observations (USPSRT-4 at 42); however, he does not appear to have investigated the observations on a case-by-case basis. Accordingly, we are left with 250 observations which, statistically, are suspect. Witness Bradley also acknowledged that the SISQ (Single Item, Single Quantity) 76 value should be 9 for the product, “Other SS1.” In the case of “Other SS1,” by switching eight transactions, the corrected volume variability fell to 95.2 percent instead of witness Bradley’s original calculation of 99.4 percent variability. This situation demonstrates that the impact of failing to account for a few transactions can be important: From this, it is fair to conclude witness Bradley’s model is sensitive to changes in data. 3. Witness Bradley should have included walk-time in the modeling effort. Witness Bradley did not include walk-time in his model, but, as witness Smith testified, walk-time should have been included. Walk-time is defined as the time 75 Id. at 2. 76 Tr. 18A/5311 (POIR No. 11, Question 1). Docket No. R2006-1 - 88- Initial Brief of the OCA required by a customer to reach the service window. In some cases—e.g., small post offices with minimal walk-times—it is reported that the data collectors did not record walk-time. However, walk-time was recorded for larger offices or where the time was considered to be significant. Witness Bradley summarized the definition of a window transaction, indicating: The “transaction time” recorded in POS is simply the time from when the window clerk presses the button to enter the first item to be sold until the time when the receipt is printed. This amount of time is short of the total transaction time and the gap between the actual time and 77 the POS ONE recorded time will vary with the type of transactions. Witness Nieto explains that on-site data collectors recorded information on the time associated with the customer approaching the window (if applicable), the time the transaction began, and the time the transaction ended.78 She stated in written crossexamination that customer walk-time is not included in the transaction time: …The purpose of the transaction time study was to construct a database permitting an update of the econometric model of transaction time, thus any non-transactional time was not relevant. …The “walk” part of the transaction was recorded for those transactions in which the walk was long enough to allow a data collector to record a separate measurement. However, the time associated with the ”walk” part of the transaction was not included in the calculation of transaction time for any transactions….79 The approach of the customer requires the clerk to be available and prepared to serve; whether the clerk is actually doing any other meaningful work is irrelevant. 77 USPS-T-17 at 5. 78 USPS-T-24 at 6, lines 13-17. 79 Tr. 5/703 (OCA/USPS-T24-3(e)). Docket No. R2006-1 - 89- Initial Brief of the OCA Accordingly, customer walk-time should have been included as part of the window service transactions. Witness Bradley indicated: Thus, including walk time in the regression is adding a nonvolume related amount of time to the dependent variable and such an addition cannot, by definition, improve the estimation of the transaction time coefficients.” (Bradley, USPS-RT-4 at 40 (Tr.34/11593)). Walk time is, however, associated with each transaction; in some cases it may be fairly minimal, and in other cases may be somewhat more substantial. Nevertheless, walk-time is present and should be included. (Smith, T-2 at 20). Witness Bradley disputes witness Smith’s claim that the reporting of walk time is erratic. (Bradley, USPS-RT-4 at 37 (Tr.34/11590)). Although walk time is not recorded as a large percentage of overall time, an examination of the reported walk time at sites 127869, 116806, and 85098—among others—(Smith, OCA-T-2, Table 3 at 13) suggests that there are substantial variations, calling into question the overall recording process. 4. Witness Bradley’s estimations of variability are flawed. Given the deficiencies in methodology and data, it is clear that the variabilities estimated by witness Bradley are deficient. Witness Smith has provided alternative variabilities that are not appreciably different from witness Bradley’s, but these alternatives are themselves of limited value due to the underlying limitations of the existing study database. C. In Conclusion, There Are Significant Problems with the Updated Window Service Transaction Side Variabilities. Docket No. R2006-1 - 90- Initial Brief of the OCA A database that is not representative of the population of data cannot yield meaningful results. Witness Nieto has not provided affirmation that the database meets the quality standards that are needed. Consequently, because witness Bradley’s model seems to be very susceptible to potential errors in the database, his results are open to question for the reasons enumerated by witness Smith. Witness Smith’s analysis in Table 5 of his testimony presents relatively minor modifications to the variabilities recommended by witness Bradley. (Smith, OCA-T-2 at 17) However, it should be noted that major changes in variabilities might result from the development of an adequate database. This is, however, a matter about which we have insufficient information. Finally, witness Bradley has endorsed the use of a flexible functional form for estimation purposes in other cases before this Commission. It is speculative as to whether the use of a flexible functional form in this analysis would have resulted in substantially different conclusions. It is clear, however, that for some postal products included in witness Bradley’s testimony, such as insurance and return receipt, the use of a linear form is essentially equivalent to assuming 100 percent volume variability. If a flexible functional form were utilized for those products, their volume variability could be affected. The OCA, therefore, agrees with witness Bradley that the current window service variabilities are outdated and should be revised but offers, in lieu of witness Bradley’s variabilities, the volume variabilities as shown on Table 5 of witness Smith’s testimony. OCA also requests that the Commission recommend improvement in the window service transaction study. This would entail a study that includes: Docket No. R2006-1 - 91- Initial Brief of the OCA a. a statistically appropriate number of sites, types of sites, and time period; b. a sufficient number of transactions; c. a sufficient sample design providing for an appropriate number of transaction samples for each product; d. data without an indication of errors in the data collection process signaling potential quality control problems; and e. a database that does not exclude a substantial percentage of transactions, or, otherwise, an analysis of the impact of their exclusion. Finally, the OCA suggests that the Commission should also recommend that a future Postal Service supply-side window service volume variability model include walk-time and better explain data outliers in the modeling effort together with a full consideration of a flexible functional form. Docket No. R2006-1 IV. - 92- Initial Brief of the OCA FIRST-CLASS RATE PROPOSAL A. OCA Witness Thompson’s First-Class Rate Proposal Simplifies the Postal Service’s Increasingly Complex Schedule In this docket, the USPS is proposing shape-based rates for First-Class letters and sealed parcels. OCA supports the USPS’s proposal for shaped-based rates, because rates may be more nearly aligned with mail characteristic costs. However, the USPS proposals for First-Class single - piece mail dramatically increase the rate schedule complexity. Now customers must understand the differences between letters, flats and parcels, as defined by the USPS, as well as pay particular attention to the actual weight of a mail piece—especially a letter whose weight (greater than 3.5 ounces) bumps it up to a flat rate category. (USPS-T32, Revised August 25, 2006, at 19.) The OCA proposal is less complex. Except for cards, the rates proposed for single-piece First-Class Mail would be, with one exception, multiples of $0.42. For FirstClass single-piece mailers, only one type of stamp needs to be stocked to satisfy most mailing needs. In addition, the OCA proposes to eliminate the additional-ounce rate as unnecessary. The USPS failed to justify the additional-ounce rate because: (1) there are no known additional costs of processing mail pieces weighing in excess of one ounce; and (2) new USPS mail processing equipment is capable of processing lettershaped mail pieces up to six ounces. 1. OCA’s proposed four-ounce incremental rates, for letter-, flat- and parcel-shaped mail pieces, significantly reduce the complexity of Docket No. R2006-1 - 93- Initial Brief of the OCA the First-Class single-piece rate schedule proposed by the Postal Service The USPS is proposing shape-based rates for First-Class Mail. Consumers will need extensive education regarding the mailing requirements for First-Class letter -, flatand parcel-shaped pieces. In addition, consumers must be more aware of the mail piece’s weight and flexibility because those two criteria impact a mail piece’s classification as either a letter, flat or parcel and the postage required. OCA supports the USPS’s proposal for shaped-based rates. However, under the USPS proposal, the consumer must maintain several unique types of stamps for: letters (especially since the USPS proposes to restrict letters to 0 to 3.5 ounces), additional ounces, flats, and parcels. This means the general public will: (1) make more trips to the post office; (2) generate more window transactions; and, (3) wait in longer lines for window service, simply because consumers may not want to maintain more than one type of stamp. As reported by the Washington Post, on October 18, 2006, 80 stamp vending machines will be a thing of the past and not a consumer option for purchasing stamps for the First-Class additional-ounce, letter-, flat- and parcel-shaped mail pieces because the USPS plans to eliminate the machines by 2010. As vending machines break, they will not be repaired or replaced. Postal Service spokeswoman, Yvonne Yoerger, indicated that the Postal Service is increasing its use of the automated postal centers (APC). Yet, APCs are designed to print postage, for a specific mail piece, on demand. At present, only a few APCs sell stamps. (Id.) The Postal Service has made no 80 http://www.washingtonpost.com/wp-dyn/content/article/2006/10/18/AR2006101801047.html Docket No. R2006-1 - 94- Initial Brief of the OCA commitment to increase the number of APCs that will sell stamps such as those currently sold through a vending machine. The USPS might argue that the consumer can easily go to a convenience or grocery store to purchase stamps. However, convenience and grocery stores currently carry First-Class single - piece letter stamps for the convenience of their customers. Stamps are not a significant source of revenue for the stores. Given the amount of management involved in tracking inventory, distributing several types of products and recording stamp sales, there is no guarantee that local stores will maintain a diverse inventory of stamps unless they are given financial incentives. A review of the rate schedule proposed by the Postal Service reveals the variety of stamp inventory a consumer or small business will have to maintain in order to have the appropriate postage for varying types of First-Class Mail: • 42-cent stamps for machinable letters up to one-ounce • 20-cent stamps for each additional ounce of First Class above the first ounce • 62-cent stamps to pay the postage on one-ounce First-Class flats • $1 stamps to pay the postage on one-ounce First-Class parcels Admittedly, a 20-cent stamp could be paired with a 42-cent stamp to pay for a one-ounce flat; and five 20-cent stamps could be applied to pay for a one-ounce FirstClass parcel. It should be noted, however, that, by itself, the workhorse 42-cent stamp is of little use in paying for any type of mailpiece other than a machinable one-ounce letter. For example, two 42-cent stamps would involve an overpayment of 22 cents on a one-ounce flat, and a 2-cent overpayment on a two-ounce flat. Three of them would involve a 26-cent overpayment on a one-ounce parcel, and a 6-cent overpayment on a Docket No. R2006-1 - 95- Initial Brief of the OCA 2-ounce parcel. Nearly every rate cell proposed by the Postal Service would produce overpayment by the stamp-using public. In stark contrast, OCA’s proposed rate schedule gives stamp users the ability to maintain only a stock of 42-cent stamps to pay for almost any type of First-Class mailpiece. OCA witness Thompson’s proposal resolves the problems associated with: (1) maintaining a diverse inventory of denominated stamps for letter-, flat- and parcelshaped pieces; (2) more frequent post office trips to obtain various types of postage stamps; (3) increases in the number of window transactions due to the Postal Service’s proposal for more diverse postage denominations; and (4) increased lobby wait times for patrons. OCA adopts the USPS’s proposed rate of $0.42 for a First-Class single - piece letter-shaped mail piece. However, OCA witness Thompson recommends that the $0.42 rate be applied to single-piece letter-shaped mailpieces weighing between 0 and 4 ounces. This eliminates the additional ounce rate which has not been justified by the USPS. A 0-to-4-ounce weight increment effectively reduces the number of First-Class single-piece letter-shaped rates from four (as proposed by the USPS) to one. Also, witness Thompson proposes rate simplification for First-Class flat- and parcel-shaped mail pieces. Her proposal recommends rates in four ounce increments—0 to 4, 4 to 8 and 8 to 13 ounces—and (except for one rate cell) all are priced in increments of $0.42. Her proposal reduces the number of First-Class rate cells from 144 to 28 (excluding the new USPS category for Business Parcels). Consumers will need to maintain only one denomination of stamp to meet almost all of their First-Class single - piece postage requirements. Docket No. R2006-1 2. - 96- Initial Brief of the OCA Elimination of the additional ounce rate is feasible and justifiable As noted above, witness Thompson’s proposal eliminates the additional-ounce rate. In the current rate case, the Postal Service again fails to justify the additionalounce rate. (a) The Postal Service continues to ignore Commission requests for data regarding the cost of processing FirstClass Mail in excess of one ounce As noted in the PRC’s Op. R97-1, para. 5035, Notwithstanding the extensive supporting material the Service has filed, a glaring omission is information addressing the cost support for the FirstClass Mail additional-ounce rate. The Service’s failure to devote attention to this long-requested review has hindered the Commission’s ability to review the additional-ounce issue. The Postal Service provided no information regarding the cost of processing mail pieces weighing more than one ounce. On the contrary, USPS witness Taufique essentially concedes that there is no cost justification. He states candidly that additional-ounce charges are nothing more than revenue generators. The additional-ounce fee is “substantial and an important source in meeting the revenue requirements for the subclass and the Postal Service as a whole.” (USPS-T32, Revised August 25, 2006, at 5.) Further, witness Taufique states: Historically, the additional ounce rate bore, not only the cost of additional weight, but also recovered the cost caused by differences in shapes. As the Postal Service explicitly recognizes the shape differences in FirstClass Mail rates, the additional ounce rate may be reduced ….” (USPST32 , Revised August 25, 2005, at 4-5.) According to the USPS, all that remains as justification for having an additional-ounce rate are weight-related costs. The USPS implies that an automation-compatible mail Docket No. R2006-1 - 97- Initial Brief of the OCA piece costs more to process on a given piece of machinery simply because it weighs more than one ounce. An automation-compatible mail piece is either machinable or it is not. Other than rumors, 81 the USPS reports provided no evidence showing that an automation compatible mail piece is processed differently on any given piece of machinery due to weight. (Tr. 16/4938-40; 20/7362.) In fact, the Postal Service has provided information to the contrary. This is discussed in the next section. (b) New USPS mail processing machinery processes lettershaped mail weighing up to six ounces In the test year, USPS witness McCrery states that the USPS plans on having 617 DIOSS-EC machines operational. The machines are capable of handling lettershaped mail pieces weighing one - to six-ounces. (Tr. 11/2754.) Therefore, there is no weight-based cost justification for charging additional ounce fees for single-piece lettershaped mail weighing up to six ounces. Since the Postal Service proposes to keep the weight cut-off for letter-shaped mail pieces well below the six-ounce limitation, no additional ounce fee is justified. (c) The Postal Service’s additional ounce rate arbitrarily exacts more money from the general public In his testimony, witness Taufique readily admits that the [r]evenue generated from additional ounces is substantial and an important source in meeting the revenue requirements for the subclass and the Postal Service as a whole. (USPS-T32, Revised August 25, 2006, at 5.) 81 The Postal Service cannot rely on the ancient “3.5 ounce Heavy Letter Field Evaluation Report.” Neither witness McCrery nor witness Laws was involved with test design or report preparation. Neither witness could answer questions about the meaning or interpretation of the report. (Tr. 34/11474-75; 39/13446.) Accordingly, the report’s conclusions have no evidentiary weight. Docket No. R2006-1 - 98- Initial Brief of the OCA OCA witness Thompson’s rate proposal eliminates the additional ounce rate, more closely reflects shape- and weight-related cost characteristics, and meets the USPS revenue requirement. Thus, USPS witness Taufique’s argument, in support of an additional ounce rate as a necessary fund raiser, is fatally flawed. B. The Commission Should Reject the Postal Service’s Proposal for a Presort “Base Rate” in Favor of Continuing to Use the Traditional Bulk Metered Mail Benchmark when Establishing Presort Rates In this docket, the Postal Service proposes a new approach to pricing First-Class Mail which has the overarching objective of equal unit institutional cost contribution for single-piece and workshared First-Class Mail. The Postal Service’s reasoning, for the new benchmark methodology, appears to be based on the fact that there has been considerable controversy by presort mailers regarding discount levels. In addition, if the USPS benchmark is not changed, First-Class presort rates will experience a double digit increase. (Tr. 38/13349-50.) Intervenors who send presort letters have contended that using what they regard as a narrowly defined range of cost characteristics to establish rate differentials between Single-Piece Letters and Presort Letters may ignore cost-causing characteristics that, while not expressly associated with the worksharing activity for which the cost avoidance and discount are being measured and developed, nevertheless are associated with their mail. (USPS-T32, Revised August 25, 2006, at 13.) The presence of varying cost causing characteristics does not automatically entitle each type of mailpiece to be recognized with a discount. The Commission has long held that the appropriate cost savings to be recognized in establishing presort automation discounts is based on the mail processing and delivery cost differential between the Bulk Metered Mail piece and the mail piece’s depth of sort. By ignoring the Commission’s practice of using the Bulk Metered Mail (BMM) benchmark, the USPS Docket No. R2006-1 - 99- Initial Brief of the OCA proposal provides Presort automation mailers with significantly lower rates than warranted. In his rebuttal testimony (Tr. 38/13348), USPS witness Taufique argues that USPS is unable to develop a single benchmark that will adequately reflect all the varieties of mail pieces that can convert to or from presort mail. He contends that the BMM benchmark is no longer an adequate solution. USPS witness Taufique believes that his average First-Class single-piece benchmark is a viable alternative. Id. OCA disagrees. Dr. Panzar in his paper, “Efficient Work-Sharing Discounts with Mail Heterogeneity,” at page 3, states: Nevertheless, a PRC policy based on ECPR may have substantial merit. This is because, in standard work-sharing models, discounts set on the basis of avoided cost assure that mailers will perform work if and only if they can do it more cost effectively than USPS and that USPS will perform the work if and only if it can do it more cost effectively than mailers. Thus, discounts comporting with ECPR lead to the lowest combined cost for the postal sector. (Tr. 26/9163.) It appears that a new and lower USPS presort benchmark was sought by the USPS because mailers threatened to switch their First-Class presort mailings to the internet if there is a double digit increase in presort rates. In his testimony, MMA witness Gorham says: CSG’s clients and mailers like them would be forced to re-think their opinion as to the value of using direct mail as their “touch point” for reaching out to their customers. A sharp reduction in discounts in this case and the prospect of further reductions in the next case would enhance the relative value of CSG’s EBPP service and accelerate conversion of our clients’ customers to less costly electronic bill presentment and payment [EBPP] options. (Tr. 38/13193.) The First-Class monopoly exists so that the USPS can fund the cost of universal service for those mailers who are not able to provide discounted mail. If the monopoly did not exist, independent providers would select the most profitable clients to serve, Docket No. R2006-1 - 100- Initial Brief of the OCA while the USPS would be left with the least profitable. The end result would be that those clients, for whom the mail provider was the USPS, wouldpay prohibitively high prices to send mail, and hence, universal service would beat risk . 1. USPS Witness Taufique erroneously argues that the average FirstClass single piece is the appropriate benchmark. The USPS argues that a Bulk Metered Mail piece is no longer the sole type of mail to be a candidate to move from the First-Class single - piece letter-shaped mail category to the First-Class presorted letter-shaped mail category and visa versa. (Tr. 16/5027.) Instead, the Postal Service now believes that an average First-Class single piece mail piece is the more appropriate benchmark to use when establishing presort rates. Id. The Commission recognizes that mail processing and delivery worksharing related unit cost savings are based upon the mail piece’s depth of sort and, to the extent possible, has set discounts equal to the costs avoided by worksharing. (Docket No. R2006-1, Notice of Inquiry No. 3, dated July 26, 2006, at 3.) While the Commission’s approach to calculating discounts has been previously challenged by large mailers, the Commission has continued to maintain that the BMM benchmark method is appropriate for setting First-Class automation rates. The assumption the USPS uses to justify their new presort benchmark is fatally flawed. The Commission has used the BMM benchmark because it represents the mail most likely to either convert to or from presort mail. Historically, the Commission has justified reduced rates for workshared mail because there is a “firm link between the rate differential and the costs avoided by the Postal Service when worksharing is performed by mailers.” (Id.) The Postal Service intends to destroy that link; and, OCA Docket No. R2006-1 - 101- Initial Brief of the OCA opposes the USPS efforts to do so, because the USPS proposed discounts are excessive. (OCA-T-4 at 13.) USPS witness Taufique postulates that presort bureaus are currently collecting office mail to presort. (Tr. 16/4938.) His argument is baseless, because there is no supporting data. (Tr. 16/4940.) In a class with diverse costs, like First-Class, the benchmark must be the cost of the mail more likely to convert to worksharing. The cost of this mail is lower than the average cost of the non-workshared mail. Using the cost of the average piece will result in price signals that will lead 82 to inefficient production. Thus, the OCA recommends that the Commission reject the proposed USPS benchmark methodology that has the potential for shifting the burden of universal service to those clients who are least able to provide discounted mail and who have few if any mailing alternatives. A presort automation compatible mail piece is not likely to convert to a nonautomation mail piece, because, “mailers find it advantageous to self-sort because the self-sorting cost [ ] is less than the discount offered [ ].” (Dr. J. Panzar, “Efficient WorkSharing Discounts with Mail Heterogeneity” at 8. See also, Tr. 26/9163.) The FirstClass presort automation piece has been barcoded, trayed, presorted and entered further into the mail stream than a non-presorted mail piece. The depth of sort and the entry points are such that the presort mailer maximizes the goal of getting mail to its destination more quickly. In addition, presort rates are lower than the First-Class single - 82 Progress toward liberalization of the Postal and Delivery sector, edited by Michael A. Crew, Paul R. Kleindorfer, New York, NY, Springer, 2006, “Worksharing: How Much Productive Efficiency, At What Cost and at What Price?”, Robert Cohen, Matthew Robinson, John Waller, and Spyros Xenakis, at 151. Docket No. R2006-1 - 102- Initial Brief of the OCA piece letter-shaped mail piece rate. Therefore, it is illogical to believe that a presorted mail piece would deliberately shift to, and pay, a higher First-Class single - piece rate. USPS witness Taufique argues that a link between First-Class single - piece and presort will continue to be strong simply because the USPS currently has the goals of equal unit contributions to institutional costs from single-piece and presort; and the continuation of separate categories (single-piece and presort) within one subclass. (Tr. 38/13350.) The current USPS goal is highly susceptible to change by either the Postal Service and/or the Commission, as USPS witness Taufique states in his testimony: The goal of similar unit contributions from these two mail categories [workshare and single-piece mail] is not an absolute one; other rate design and rate impact considerations may require the Postal Service and the Commission to deviate from this goal. However, to the extent practicable, the Postal Service’s intention going forward is to equalize the unit contribution from the Single-Piece Letter category and from the Presort Letter category. (USPS-T-32, Revised: August 25, 2006, at 16.) Since the goal of similar unit contributions from the two mail categories is fluid, the Commission should not accept the Postal Service’s argument that the link will be strong. The Postal Service’s new presort benchmark is $0.346 (USPS-T32, Revised August 25, 2006, at 29-30), i.e., $0.074 (18 percent) lower than the BMM rate of $0.42. Consequently, all USPS proposed presort rates are lower than they should be. The only rationale for using the USPS’s new benchmark is to foster lower presort rates for mailers and justify those rates on the basis of similar unit contributions to that of FirstClass single-piece mail. As proposed, the USPS notes that the rate increases are reasonable because the rate increase for a First-Class single - piece letter-shaped mail Docket No. R2006-1 - 103- Initial Brief of the OCA piece (7.7% rounded) is close to the increase proposed for First-Class presorted singlepiece letter-shaped automation MAADC mail piece (6.1% rounded). USPS witness O’Hara states, during oral cross-examination by counsel for VALPAK: A. … ECP is really aimed at getting the right person to do a particular activity, right entity. I don’t think we are getting anybody to change parcels into letters by keeping the contributions the same, having the difference in rates the same. That’s something that involves what the ECP is really aimed at. So I agree, you don’t want to apply equal percent per piece contributions across the whole range of pieces within the subclass. Q. So that would relate to shape-related costs in your comments, and also really weight-related costs. Correct? A. Yes. (Tr. 17/5261-62.) The USPS’s proposal may encourage worksharing, but it does so at the expense of First-Class single-piece mailers. Therefore, the OCA proposes that the Commission continue to use the BMM benchmark when developing First-Class presort rates and establish discounts based on the costs avoided by the activities of mailers that justified the creation of the discount. (Tr. 20/7378.) When testifying in rebuttal, USPS witness Abdirahman, USPS-RT-7, states: “[I]f the Commission decides not to accept the delinking proposal, the only alternative that I see is the BMM, and that’s as a costing witness.” (Tr. 35/11968-69.) 2. OCA opposes giving intervenors greater discounts Some mailer-sponsored witnesses have argued that presort discounts should be increased in the interest of economic efficiency. Others suggest that fairness requires that mailers be compensated for work they perform to comply with Postal Service entry requirements. Neither argument holds water. Indeed, the second argument refutes the Docket No. R2006-1 - 104- Initial Brief of the OCA first: if mailers are already creating efficient mail for the Postal Service at current discounts, there is no need to increase discounts in the name of efficiency. Before considering the presort mailers’ policy arguments, it will be enlightening to consider the rate-making requirements of the Postal Reorganization Act. First, there is no requirement that rates be economically efficient. In fact, economic efficiency is impossible given the break-even requirement. And numerous policies of the Act are inconsistent with economic efficiency. Second, the Act imposes a universal service obligation (USO) at reasonable rates. It makes no sense to increase the burden of financing the USO on single-piece mailers—those who should benefit from the USO. ABA witness Kent argues that there has been “an erosion of bulk First-Class volumes and, if bulk First-Class discount rates were to disappear, the current migration to use of the internet and email would become a stampede.” (Tr. 38/13226.) In fact, it is single-piece volume that is declining, and bulk that is growing. Witness Kent articulates that the de-linking of First-Class Presort rates with those of single-piece rates is needed as an incentive for mailers to continue using First-Class mail. (Id.) OCA is not proposing the elimination of First-Class presort discounts. In fact, OCA has proposed presort rates that pass through 100 percent of the costs avoided. The Commission should not be swayed by those who erroneously argue that the average First-Class single-piece mail best represents the benchmark. As discussed earlier, the argument is without merit; its sole purpose is to justify lower presort rates than would otherwise have occurred. ABA rebuttal witness Kent states in reference to First-Class Mail: Docket No. R2006-1 - 105- Initial Brief of the OCA [S]ound business judgment[] suggest[s] that the more mail services cost, the more a mailer should pay, and conversely the less mail services cost, the less a mailer should pay. (Tr. 38/13227.) Witness Kent ignores an important fact. First-Class Mail is covered by the Private Express statutes. First-Class Mail is a monopoly mail service that exists to provide a reasonably priced mail stream for everyone in support of universal service. To ignore the rationale for the monopoly is tantamount to shifting the cost of universal service to those First-Class single - piece mailers with few alternatives. An NAA witness testifies that imposing increasingly higher prices on single-piece First-Class mailers repudiates the underlying reasons for a monopoly on First-Mail and actually results in an unfair and inequitable rate schedule, in contravention of 39 U.S.C. §3622(b) (Tr. 32/10835): When consumers defect from First-class Mail to electronic forms of communication, the customers who remain are the inframarginal users of First-Class Mail, who have fewer competitive alternatives. It seems contrary to the intent of the postal monopoly for the Postal Service to keep raising the price charged to these inframarginal users of First-class Mail, for the purpose of having a postal monopoly in the first place is to keep the delivery of letters affordable so as to produce positive network externalities of communication. Moreover, one can reasonably argue that a downward spiral by which the remaining consumers of First-Class Mail would be forced to pay continually increasing cost coverage would be inconsistent with “the establishment and maintenance of a fair and equitable schedule” that section 3622(b) prescribes. Arguments suggesting that Standard Mail is a good substitute for First-Class Mail ring hollow. First-Class Mail offers a level of service that far exceeds that of other mail classes: (1) it affords the user a level of privacy unmatched by other mail categories; (2) other than expedited mail, First Class offers the most expeditious and consistent mail delivery service at a reasonable rate; and (3) recipients have a higher regard for First- Docket No. R2006-1 - 106- Initial Brief of the OCA Class Mail than Standard Mail. MMA witness Gorham (Tr. 38/13187-88) states in his testimony: CSG utilizes First-Class Mail on a large scale to send tens of millions of monthly statements to end users served by our clients. Often, the monthly billing statement, which includes a Courtesy Reply Mail envelope, is the only regular “touch-point” our clients have with their customer. Consistency, quality and timely delivery of CSG’s mailings are very important to our clients because these factors directly impact the relationship our clients have with their customers. Thus, First-Class Presorted Mail is unlikely to convert to Standard Mail. In addition, monthly billing statements, if mailed, must be sent via First-Class Mail. In his testimony, witness Gorham states that presort bureaus invest in expensive equipment that is maintained and updated in order to meet USPS presort requirements. Given the extensive amount of investment and ongoing employee training, presort mailers want their rates to be low enough to justify their investment. (Tr. 38/13188-90.) Otherwise, presort mailers will look to electronic services to meet their mailing needs, even though their clients know that “monthly paper statements are still the preferred method of customer communication.” (Tr. 38/13191.) Presort mailers would not make the investments in equipment and personnel that they have unless doing so generated profits. As NAPM witness Bell testified, her presort bureau encourages its customers to provide bulk metered mail. (Tr. 38/13000, ll. 3-6.) The current discounts provide sufficient incentives for even small mailers—e.g., 200 pieces per day (Tr. 38/12986, l. 3)—to prepare bulk metered mail. The benefit to the Postal Service of paying ever smaller mailers ever higher discounts would be overwhelmed by the loss of revenue that would occur if current presorters also received Docket No. R2006-1 - 107- Initial Brief of the OCA the larger discounts. Witness Panzar was presented with such an example (revenue losses from higher discounts exceeding cost savings) and was asked, Would you agree that application of ECPR will lead to no improvement in cost efficiency if, relative to the status quo, it leads to no change in mailer behavior? His response was, “Yes.” (Tr. 26/9157.) Granting the increased discounts requested by the Postal Service simply transfers a revenue burden from presort mailers to singlepiece mailers, without generating any meaningful change in mailer behavior. Workshare mailers say they do not want special treatment. They just want rates that are fair. (Tr. 38/13195.) However, what they claim is fair is nothing more than trying to avoid their share of responsibility to support universal service. They want to shift the entire burden of universal service to single-piece mailers. C. Declining First Class Mail Volumes May Force a Review to Determine Which Mail Class Bears an Increasing Portion of the Cost of Universal Service NAA rebuttal witness Sidak, (Tr. 32/10836) notes in his testimony that the trend is toward the electronic communication substitution for First-Class Mail. Further, he notes that there may be differences regarding the extent: … to which First-Class Mail has been diverted toward electronic communication, [however,] there is no debate over the fact that electronic diversion exists and has had, and will continue to have, an effect on FirstClass Mail that is significant in both an economic and statistical sense. In contrast to First-Class Mail, there is no evidence in this rate case that Standard Regular or ECR mail have experienced statistically significant diversion at the hands of electronic communication. (Tr. 32/10838.) NAA witness Sidak notes that Standard Regular volumes have increased even though the cost coverage of Standard Regular Mail has also increased. ECR volumes Docket No. R2006-1 - 108- Initial Brief of the OCA have remained constant even though the cost coverage of ECR has decreased. (Tr. 32/10841.) Thus, NAA witness Sidak suggests that there may come a time when ECR and Standard Regular Mail will have to bear an increasing share of the contribution to the institutional costs in support of universal service. This suggestion has merit. However, the expectation in this case is that First-Class Mail will provide a significant contribution to institutional costs. The Commission should not be swayed by arguments to shift more of the USPS institutional costs to the First-Class single - piece rate payer in favor of lower rates for First-Class Presort mailers. Docket No. R2006-1 V. - 109- Initial Brief of the OCA CONFIRM RATE PROPOSAL The Postal Service’s Proposal to Restructure the Existing SubscriptionBased Fee Schedule for Confirm Service Is Unnecessary to Recover Costs and Can Be Achieved by Adjusting Current Fees, as Proposed by the OCA A. Among the changes proposed by the omnibus rate filing is a proposal to change the fees for Confirm service, Fee Schedule 991. Confirm service is integral to the Postal Service’s effort to increase value to mailers, because, “Confirm service can help mailers better manage their businesses and enhance their relationships with their 83 customers.” The importance of Confirm service was echoed by witness Bentley testifying for the Major Mailers Association. 84 Confirm service also provides the Postal Service an opportunity to develop a better means of measuring and improving mail processing and delivery service performance. As discussed below, the Commission should reject the Postal Service’s proposal as it is unnecessary and detrimental to users of Confirm service and the Postal Service. Instead, the Commission should recommend the subscription fees for Confirm service proposed by the OCA in order to encourage expanded usage of Confirm service. In addition, the Commission should retain the requirement in the Domestic Mail Classification Schedule (DMCS) for a “start the clock” notification for the entry of Confirm mail to facilitate development of a service performance measurement system for business mail. 83 USPS-T-40 (Mitchum), at 14-15. 84 MMA-T-1 (Bentley), at 32. Docket No. R2006-1 1. - 110- Initial Brief of the OCA The Postal Service fails to meet its burden of proof that the classification changes it proposes for confirm service are superior to the existing subscription-based fee structure that was held fair and equitable in Docket No. MC2002-1 In this proceeding, the Postal Service is initiating a request to change the price structure for Confirm service. The Postal Service has submitted a request under §§3623 and 3624 of Title 39 for a recommended decision on the proposed classification change. Section 3624 provides that “an opportunity for a hearing on the record under sections 556 and 557 of title 5” (the Administrative Procedure Act) must be accorded to mailers and an officer of the Commission. As the moving party, the Postal Service has the burden of proving that the existing classification for Confirm, i.e., three-tiered pricing with an unlimited subscription option, is inferior to the new classification structure proposed by witness Mitchum. The Administrative Procedure Act makes clear that “the proponent of a rule or order shall have the burden of proof.” The burden of proof establishes specific requirements for the Postal Service’s evidence and the criteria against which that evidence is to be measured. As the Supreme Court explained in the context of the Natural Gas Act, a regulated entity “initiating an increase in rates . . . assumes the hazards involved in that procedure. It bears the burden of establishing its rate schedule as being ‘just and reasonable.’” FPC v. Tennessee Gas Pipeline Company, 371 U.S. 145, 152 (1962). Similarly, the Postal Service bears the burden of establishing that its proposed change to the Confirm pricing framework is “fair and equitable.” 39 U.S.C. §3623. As explained in 4 Stein, Mitchell, Mezines, Administrative Law §24.01 at 24-5 through 24-9 (1991): Docket No. R2006-1 - 111- Initial Brief of the OCA The term “burden of proof” often contemplates what the litigating proponent must establish in order to persuade the trier of the facts of the validity of his claim or affirmative defense and, at times, is referred to as the “burden of persuasion” . . . . [I]t is a burden derived from substantive law which becomes an active factor in the context of litigation when all of the evidence has been submitted. It is imperative to note that the burden of proof remains fixed throughout the litigation on the proponent, who must sustain his burden of persuasion in a qualitative manner, specifically with credible evidence. With respect to the proposed change to the price structure of Confirm, the Postal Service has failed to sustain its burden of providing qualitative and credible evidence that (1) its proposed price structure and rates will cover costs better than witness Callow’s proposed fees under the current classification, and (2) that its proposed price structure and fees are more fair and equitable than witness’s Callow’s. 2. The Postal Service’s proposal will increase costs for, and reduce usage by, Confirm subscribers The Postal Service’s proposal would eliminate the existing subscription-based fee structure which currently offers three different levels of Confirm service: Silver, Gold, or Platinum. Under this fee structure, subscribers receive either 3 months or 12 months of service and different quantities of scans, in the millions (blocks), depending on the service level. Subscribers may also purchase additional blocks of scans and Additional Identification (ID) Codes. In place of the existing three service levels, the Postal Service proposes to establish a single transaction-based annual user fee of $5,000, which includes one annual ID Code and one million “units” to be applied towards scans of mail. Additional scans, purchased in blocks of one million “units,” would be available according to a schedule of fees that decline as the number of blocks purchased increases. This Docket No. R2006-1 - 112- Initial Brief of the OCA “declining block” fee schedule allows users to purchase additional blocks one through nine for a fee of $70 each. Purchases of the next 90 blocks (i.e., 10 to 99 blocks) are available for a fee of $35 each. Users purchasing in excess of 99 blocks during the annual subscription period can do so for a fee of $17.50 each.85 Additional ID Codes would be available for use either for a quarter ($750) or for a year ($2,000), or until the end of the subscription term, if sooner. Most problematic is the proposal to charge five times as many “units” per scan for Standard Mail and Periodical Mail scans as for FirstClass Mail scans. The Postal Service assumes for its proposal that the number of Confirm subscriptions will remain at the current level through the test year. 86 By contrast, the Postal Service estimates that the demand for scans will decrease 10 percent from the current usage. Based upon these assumptions, the new fees would provide a cost coverage of 126.3 percent on revenue of $1,517,297 and Test Year (2008) costs of $1,200,890.87 Witness Drew Mitchum (USPS-T-40), testifying in support of the Postal Service’s proposal, states that restructuring of the existing fee schedule is “intended to generate revenue adequate to cover Confirm costs . . . [so that] the Postal Service can continue offering Confirm Service.”88 He observes that revenues and demand for Confirm service have not met the original forecast in Docket No. MC2002-1, the docket 85 USPS-T-40 (Mitchum), at 17. 86 Tr. 14/4156. 87 USPS-T-40 (Mitchum), at 19. 88 Tr. 14/3937 (OCA/USPS-T40-16). Docket No. R2006-1 - 113- Initial Brief of the OCA establishing Confirm service as a permanent mail classification.89 Moreover, witness Mitchum states his belief that raising the current subscription-based fees cannot cover the costs of the Confirm service or produce a reasonable cost coverage. 90 Consequently, the Postal Service’s transaction-based fee proposal was devised. Significantly, the Postal Service did not express any fundamental objections to the current three-tier fee structure, nor did witness Mitchum discuss with current subscribers how they would react to the change in the current pricing structure.91 The Postal Service’s proposal represents a fundamental restructuring of the schedule of fees for Confirm service. The OCA believes such a restructuring of the existing fee schedule is unnecessary to cover costs. The Postal Service’s goal of covering Confirm service costs can be achieved better by simply adjusting current fees, as proposed by the OCA. Moreover, restructuring fees as proposed represents a significant departure from the original subscription-based pricing approach presented by the Postal Service and recommended by the Commission in Docket No. MC2002-1. As a result, the Postal Service’s plans to restructure the existing fee schedule will discourage usage by imposing significantly higher fees on most Confirm subscribers, and further diminish Confirm service as a tool for measuring service performance by business mailers and the Postal Service. 89 USPS-T-40 (Mitchum), at 19. 90 Tr. 14/4153-5, 4174. 91 Tr. 14/4174-75. Docket No. R2006-1 3. - 114- Initial Brief of the OCA The OCA’s proposal minimizes fee increases for most Confirm subscribers in order to expand usage while recovering costs Witness James F. Callow (OCA-T-5) presents the OCA proposal for Confirm service. Under the OCA proposal, fees are $2,000 per quarter for a Silver subscription, $5,200 for a Gold subscription, and $19,500 for a Platinum subscription, representing increases of 0 percent, 16 percent, and 95 present for Silver, Gold, and Platinum subscriptions, respectively. Witness Callow proposes no change in the fees for additional scans for Silver and Gold subscribers, and a 50 percent increase in the fee, to $750, for a quarterly Additional ID code. These fees produce test year revenues of $1,529,500 and a cost coverage of 127.3 percent. Witness Callow further testifies that development of OCA’s proposal for Confirm service was directed toward addressing the following five concerns: 92 1) Retain the existing Silver, Gold, and Platinum service subscription-based levels; 2) Cover the costs of Confirm service with a cost coverage slightly above the cost coverage proposed by the Postal Service; 3) Encourage the expanded use of Confirm service by preserving the subscriptionbased “internet” pricing model, including the “service expansion” features. 4) Eliminate the declining block user fees based upon “units,” which permits the differential pricing of scan data as between First-Class Mail and the “other” (i.e., Standard Mail and Periodicals) mail classes. 5) Minimize the potential loss of subscribers by holding fees constant for Silver subscribers and increasing them modestly for Gold subscribers, while assigning 92 OCA-T-5 (Callow), at 14-15. Docket No. R2006-1 - 115- Initial Brief of the OCA the largest fee increases to large-volume Platinum subscribers in exchange for preserving the option of unlimited scans. The OCA’s proposed fees minimize the risk of revenue deficiency from reduced demand caused by the Postal Service’s transaction-based schedule and resulting higher combined total fees, and produce a cost coverage slightly larger than the cost coverage proposed by the Postal Service. Moreover, by retaining the existing subscription-based fee schedule, OCA’s fee proposal preserves the benefits of the existing schedule—encouraging expanded use of Confirm service. B. The OCA’s Subscription-Based Fees for Confirm Service Will Recover Institutional Costs Unlike the Transaction-Based Fees Proposed by the Postal Service 1. OCA’s Estimate of Confirm subscribers and estimated revenues is realistic (a) Witness Callow’s assumptions about the number of Confirm subscribers are credible According to the Postal Service, Base Year (FY 2005) subscriptions for the Silver, Gold, and Platinum service levels were 16, 119, and 45, respectively.93 In order to estimate test year revenues, witness Callow assumes the same number of Confirm subscriptions in the test year as in the Base Year. These assumptions are credible, given the change in fees proposed by the OCA and the Postal Service’s lack of knowledge as to the behavior of Confirm subscribers in response to changes in price. 93 USPS-LR-L-124 (REV 7-3-06), Excel file “REV-USPS-LR-124 7-3-06.xls,” worksheet tab “WP4 Confirm.” Docket No. R2006-1 - 116- Initial Brief of the OCA Witness Callow assumes no change in the number of Silver subscriptions, since no changes are proposed in the current Silver subscription fee. 94 In addition, witness Callow assumes no change in the number of Gold subscriptions, based upon a proposed fee increase of 15.6 percent.95 This modest fee increase, the first since Confirm service was established more than four years ago, approximates the 5.4 percent system-wide average fee increase resulting from Docket No. R2005-1 and the proposed 8.5 percent average increase proposed in this proceeding. For Platinum subscribers, witness Callow proposes a fee increase of $9,500, representing an increase of 95 percent. Witness Callow assumes such an increase will have little or no effect on the number of Platinum subscribers, based upon the demonstrated behavior of current subscribers. 96 The Postal Service questions the credibility of witness Callow’s assumptions with respect to the number of Platinum subscribers. Witness Mitchum maintains that witness Callow’s assumption is “unreasonable.”97 According to the Postal Service, current Platinum subscribers will reduce their usage by “seeding” their mailings with Confirm barcodes or move to the Gold subscription service “if the price differential between the two [subscription] tiers were to be widened from $5,500 to $14,300, as the 94 OCA-T-5 (Callow), at 16-17. 95 OCA-T-5 (Callow), at 17. 96 Id. 97 Tr. 33/11296 (USPS-RT-13 (Mitchum), at 12). Docket No. R2006-1 - 117- Initial Brief of the OCA OCA proposes.”98 Thus, witness Mitchum assumes “that Confirm subscribers choose 99 to pay as little as possible, and choose the Gold tier when it is less expensive.” The Postal Service has no knowledge of the demand behavior of current Platinum subscribers whose level of usage could be satisfied by a Gold subscription. Current Platinum subscribers using less than 92 million scans have an incentive to become Gold subscribers. At 92 million scans, a Platinum subscriber pays $109 ($10,000 / 92) per million scans, while a Gold subscriber pays $106 (($4,500 + (7 additional blocks of 6 million scans * $750)) / 92) per million scans. Thus, a Gold subscription is the least expensive option until a subscriber uses more than 92 million scans. According to the Postal Service, however, there are 29 current Platinum subscribers that use 62 million scans or less. 100 At 62 million scans or less, a current Platinum subscriber could save at least $4,000 ($10,000 – ($4,500 + (2 additional blocks of 6 million scans * $750))) by becoming a Gold subscriber. Nevertheless, such Platinum subscribers have not converted to Gold subscriptions. The Postal Service cannot explain this known “unreasonable” behavior of current Platinum subscribers. First, the Postal Service is unable to claim any knowledge of subscriber behavior with respect to price changes for Confirm service, because there have been no changes in Confirm service fees since its inception. In fact, the Postal 98 Tr. 33/11295 (USPS-RT-13 (Mitchum), at 11). 99 Tr. 33/11296 (USPS-RT-13 (Mitchum), at 12). 100 Tr. 14/3976 (OCA/USPS-T40-57). Docket No. R2006-1 - 118- Initial Brief of the OCA Service “does not really know what motivates customers to overpay.”101 The Postal Service never spoke to current Platinum subscribers that currently overpay as to why they do so. 102 This behavior by the 29 identified Platinum subscribers suggests such subscribers are not as price sensitive as thought by the Postal Service.103 As the current behavior shows, Platinum subscribers do not always choose the least expensive service level. They often respond to factors other than price. It also suggests witness Callow’s assumption, that OCA’s Platinum fee increase “will have little or no effect on the number of Platinum subscribers,”104 is not “unreasonable.” Nevertheless, the Postal Service questions whether Platinum subscribers “who could save as much as $5,500 by moving to the Gold tier under the existing fees will decide to pay as much as $14,300 more than is necessary” under the OCA proposal.105 However, the Postal Service made no effort to learn of the response of Confirm subscribers to such a change in prices. According to witness Mitchum, the Postal Service never asked Confirm subscribers how they would change their behavior if OCA’s proposed fees were recommended by the Commission.106 Moreover, the Postal Service never “discussed with any mailer” whether OCA’s proposed $19,500 Platinum 101 Tr. 33/11340. 102 Tr. 33/11339. 103 Tr. 21/7792 (USPS/OCA-T5-2(e)-(g)). 104 OCA-T-5 (Callow), at 17. 105 Tr. 33/11295 (USPS-RT-13 (Mitchum), at 11). 106 Tr. 33/11337. Docket No. R2006-1 - 119- Initial Brief of the OCA subscription fee would cause such subscribers to terminate their subscriptions.107 On the other hand, as discussed below, witness Callow has gauged the response of Confirm subscribers to the OCA’s proposed fees. Second, the Postal Service wrongly attributes the mailer activity of “seeding”— the application of PLANET Code barcodes to a sample of, rather than all, mailpieces— to higher subscription-based fees. Seeding is a mailer response to transaction-based fees of the type proposed by the Postal Service in this proceeding. The likelihood of seeding was one of the reasons Postal Service witness James M. Kiefer (USPS-T-1) in Docket No. MC2002-1, specifically rejected a transaction-based pricing approach.108 By contrast, witness Kiefer determined that a subscription-based fee approach would ® “encourage Confirm subscribers to place barcodes on all their mail rather than limiting usage to occasional mailings, or seeding barcodes within mailings.”109 2. Witness Callow’s revenue estimate is likely to be achieved OCA’s estimate of test year revenues is likely to be achieved for several reasons. The subscription-based fees proposed by witness Callow have the support of Confirm subscribers, or their representatives. According to the testimony of witness Cameron Bellamy, President of Grayhair Software (GHS), Confirm subscriber who submitted testimony in this proceeding, “Many of our customers and other large mailers have told us that the OCA proposal is preferred by them over the USPS proposal with 107 Tr. 33/11353. 108 Tr. 33/11432a, Exhibit No. NPPC-X-2 (Docket No. MC2002-1, USPS-T-5 (Kiefer), at 4). 109 Id. Docket No. R2006-1 - 120- Initial Brief of the OCA its per-scan charges that arbitrarily discriminate by mail class.”110 This view is echoed by a coalition of mailers, many of whose members are Confirm subscribers. 111 We believe that there is a consensus among the users of Confirm, both large and small, that covering the costs of Confirm by adjusting the annual permit fees (e.g., as proposed by OCA) would better serve the interests of mailers and the Postal Service than would the imposition of per-scan charges in all tiers of service, including Platinum. Moreover, in contrast to the Postal Service’s proposal, only adjusting the current subscription-based fees maintains a more stable source of revenue that is likely to produce the estimated test year revenues projected by witness Callow. Under the existing subscription-based fee schedule, mailers can choose a subscription service level—Silver, Gold or Platinum—based upon their projected need for Confirm scans. Once selected, mailers pay their Confirm subscription fee up-front, permitting subscribers to use scans up to the maximum allowed during the specified time period for each subscription service level. In so doing, the Postal Service receives a known amount of revenue whether or not mailers use scans up to the maximum allowed for each service level. In effect, during the subscription period, mailers cannot treat 112 Confirm service as a “discretionary good.” 110 GHS-ST-1 (Bellamy), at 6-7. 111 Answer of Grayhair Software, Inc., American Bankers Association, Association for Postal Commerce, Mail Order Association of America, Mailing & fulfillment Services Association, National Association of Presort Mailers, National Postal Policy Council, and Office of Consumer Advocate to Objection of Untied States Postal Service to Filing of Supplemental Testimony of Cameron Bellamy (GHSST-1), November 29, 2006, at 2; see also Del Polito, Condemning Confirm to Perdition, PostCom Bulletin 50-06 (December 8, 2006), at 6-7. 112 Tr. 33/11291 (USPS-RT-13 (Mitchum), at 7). Docket No. R2006-1 - 121- Initial Brief of the OCA Witness Callow assumes, like the Postal Service, that no revenue will be generated from the purchase of Additional ID codes in the test year. 113 This assumption is reflected in the OCA’s estimate of test year revenue.114 However, Confirm subscribers are expected to purchase Additional IDs in the test year, which will generate additional revenues and increase the cost coverage of Confirm service beyond the 127.3 percent proposed. The testimony of witness Bellamy states that “GHS is certain it will continue to purchase additional ID codes.”115 The purchase of Additional IDs provides a measure of insurance that witness Callow’s estimated test year revenue will be achieved. Moreover, the departure of some Platinum subscribers would not significantly affect the OCA’s revenue estimate. Witness Mitchum projects, with respect to scans, a 10 percent reduction in demand for scans in response to the transaction-based fees for Confirm service. 116 Assuming the Postal Service’s 10 percent reduction in demand is “reasonable,” if applied to Platinum subscribers, this suggests a migration of five (rounded) subscribers from the Platinum to Gold subscription service level. A shift of 5 subscribers would reduce the OCA's proposed cost coverage from 127.1 percent to 121.4 percent. In fact, it would take a shift of more than 22 Platinum subscribers to the 113 USPS-LR-L-124 (REV 7-3-06), Excel file “REV-USPS-LR-124 7-3-06.xls,” worksheet tab “WP-4 Confirm;” see also Tr. 14/3921 (“mailers would be unlikely to buy additional IDs when they were no longer necessary, resulting in a reduction in the number of additional IDs.” MMA/USPS-T40-2(e)). 114 OCA-T-5, Attachment 1 (Revised 10-20-06). 115 GHS-T-1 (Bellamy), at 7. 116 Tr. 14/4132 (Response of Postal Service Witness Mitchum to POIR No. 4, Question 3) Docket No. R2006-1 - 122- Initial Brief of the OCA Gold subscription service level to reduce the cost coverage below 100 percent.117 If, however, OCA’s proposed fees caused five Platinum subscribers to drop Confirm service entirely, the cost coverage would decrease to 119.2 percent. More than 16 Platinum subscribers would have to drop Confirm service to reduce the cost coverage below 100 percent. Such changes in the number of Platinum subscribers are highly unlikely to occur, and is another reason OCA’s revenue estimate is more likely to be achieved, and more likely than the Postal Service’s estimate. To the extent OCA’s proposed fee causes some Platinum subscribers to become Gold subscribers or drop Confirm service altogether, the resulting lower cost coverage would properly reflect the reduced value of service provided to Confirm mailers. As originally proposed, Confirm service was designed to benefit not only mailers, but also the Postal Service. 118 Benefits to the Postal Service would arise from widespread usage of Confirm mailings, permitting the collected scan data to be used to monitor mail processing operations and improve service performance measurement.119 The Postal Service no longer relies on mailer-generated Confirm scans for performance measurement.120 As a result, the Postal Service has eliminated one of the benefits of Confirm service—greater transparency of system-wide service performance—expected 117 Tr. 21/7794 (USPS/OCA-T5-3(a)). 118 PRC Op. MC2002-1, at 1. 119 Tr. 33/11432 and 11438, Exhibit No. NPPC-X-2 (Docket No. MC2002-1, USPS-T-5 (Kiefer), at 3 and 15). 120 Tr. 33/11334. Docket No. R2006-1 - 123- Initial Brief of the OCA by mailers.121 Even if revenues are slightly less than estimated, a cost coverage lower than targeted would not be unreasonable. 3. The Postal Service’s estimate of Confirm transactions lacks support, resulting in a revenue estimate that will not materialize (a) Witness Mitchum’s estimate of a 10 percent reduction in Confirm scans is unsupported and not developed on this record The Postal Service acknowledges that its transaction-based fees will adversely affect demand for Confirm service. The testimony of witness Mitchum assumes a 10 percent reduction in demand for Confirm scans from current usage. 122 This reduction in demand is based on the Postal Service’s further assumption that “some mailers will begin seeding to reduce their costs.”123 Witness Mitchum’s estimate of a 10 percent reduction in demand is without support. Witness Mitchum admits that his 10 percent estimate is arbitrary.124 The Postal Service’s estimated reduction in demand “is not based on any market research.”125 Demand for Confirm service is highly priced elastic, according to the findings of witness Kiefer in Docket No. MC2002-1.126 Witness Mitchum provides no evidence to suggest that there has been a change in the high price elasticity of demand 121 Docket No. MC2002-1, USPS-T-2 (Lubenow), at 1-2. 122 Tr. 14/4132 (Response of Postal Service Witness Mitchum to POIR No. 4, Question 3) 123 Tr. 33/11298 (USPS-RT-13 (Mitchum), at 14). 124 Tr. 33/11341; see also Tr. 14/3974 (OCA/USPS-T40-55(a)). 125 Tr. 33/11342. 126 Tr. 33/11435, Exhibit No. NPPC-X-2 (Docket No. MC2002-1, USPS-T-5 (Kiefer), at 9). Docket No. R2006-1 - 124- Initial Brief of the OCA for Confirm service since Docket No. MC2002-1. Moreover, witness Mitchum’s assumption that the transaction-based fees will reduce demand by 10 percent can not be replicated or evaluated because of concern about the use of proprietary data. (b) 127 Witness Mitchum’s transaction-based fees will discourage usage and reduce revenue to the Postal Service from Confirm The Postal Service’s proposed fees will discourage expanded usage of Confirm service by producing higher costs for most Confirm subscribers. Given the documented high price elasticity of demand for Confirm service, witness Mitchum’s assumed 10 percent estimate likely understates the expected reduction in demand, resulting in lower estimated revenues in the test year. This result of the Postal Service’s higher transaction-based fees should not be surprising. Witness Bellamy observes that “we should expect that some mailers will respond to the attempt of the Postal Service to 128 turn individual Confirm scans into a profit center by rationing their use of the service.” For another reason, the Postal Service’s proposed transaction-based fees will likely generate less revenue than estimated. The Postal Service observes:129 Many end user subscribers may well view Confirm service as a discretionary good, which could be cut from the budget during tough times or in the face of large fee increases that are applied recklessly. To the extent this observation is accurate, the Postal Service’s transaction-based user fees permit mailers to accord Confirm scans “discretionary” treatment. Transactionbased fees permit mailers to reduce usage immediately in response to tougher 127 Tr. 14/3973 (OCA/USPS-T40-54(a)). 128 GHS-T-1 (Bellamy), at 11. 129 Tr. 33/11291 (USPS-RT-13 (Mitchum), at 7). Docket No. R2006-1 - 125- Initial Brief of the OCA economic times, mid-year cost-cutting initiatives, or other factors. In contrast, a subscription-based fee schedule provides that subscribers pay up-front for a fixed number of scans for a fixed period of time. An indication of the likely effect on demand can be gleaned from the higher combined total fees (i.e., the annual user fee plus declining block fees) applicable to most current Confirm subscribers under the Postal Service’s proposal. Considering only the less expensive scans for First-Class Mail, current Silver subscribers will experience fee changes ranging from -14 to 190 percent, depending upon the number of quarterly subscriptions purchased during the year and scans used.130 Confirm mailers that purchased one, two, or three quarterly Silver subscriptions will pay between 6 and 190 percent more in combined total fees than currently.131 For the 12 month period February 1, 2005 to January 31, 2006, there were seven quarterly Silver subscriptions purchased by five Confirm mailers.132 Only Confirm mailers that purchased four sequential quarterly Silver subscriptions will experience a decrease in combined total fees of between -8 and -14 percent under the Postal Service’s proposal.133 For the same 12 month period, there were 12 sequential quarterly Silver subscriptions purchased by three Confirm mailers.134 In addition, assuming Gold 130 OCA-T-5, Attachment 1 (Revised 10-20-06). 131 Tr. 14/3976 (OCA/USPS-T40-57). 132 Tr. 19/6791 (Response of Postal Service Witness Mitchum to POIR No. 12, Question 6). The Postal Service is unable to determine the number of Silver subscriptions in the Base Year. Id. Moreover, information on the number of mailers that purchased one, two, three or four quarterly Silver subscriptions during Fiscal Years 2003, 2004, and 2005 is not available from the Postal Service. Tr. 14/3975 (OCA/USPS-T40-56(a)). 133 OCA-T-5 (Callow), at 17 (Revised 10-20-06). 134 Tr. 19/6791 (Response of Postal Service Witness Mitchum to POIR No. 12, Question 6). Docket No. R2006-1 - 126- Initial Brief of the OCA subscribers use only less expensive First-Class Mail scans, most Gold subscribers would pay higher combined total fees that rise 11 to 56 percent with usage under the Postal Service’s proposal. 135 Current Platinum subscribers using only First-Class Mail scans will experience combined total fee changes ranging from -50 percent for 1 million scans, rising to 102 percent for 750 million scans, up to 145 percent for 1 billion scans.136 For current Confirm subscribers purchasing the average number of First-Class Mail and Standard Mail scans per block of 1 million units, varying the number of scans acquired per “unit” will increase combined total fees even more, further depressing demand. The Postal Service estimates the number of scans in a typical block of one million “units” at 357,143, based upon each Standard Mail scan equal to 5 units and each First-Class Mail scan equal to one unit.137 Most of the 119 current Gold subscribers purchasing the average number of scans will experience higher combined total fees than under the OCA proposal. Combined total fees rise from 7 percent for 1 million scans, to 64 percent for 20 million scans, up to 158 percent for 50 million scans. For Platinum subscribers purchasing the average number of scans under the Postal Service’s proposal, combined total fee changes range from -52 percent for 1 million scans, to 0 percent for 60 million scans, exploding to an unacceptable 338 percent for 750 million scans, up to 460 percent for 1 billion scans.138 The only way for 135 OCA-T-5, Attachment 1 (Revised 10-20-06). 136 OCA-T-5, Attachment 1 (Revised 10-20-06). The Postal Service claims that the maximum number of scans used by any current subscriber is near 750 million. Tr. 14/4144. 137 Tr. 14/3957 (OCA/USPS-T40-29). 138 OCA-T-5, Attachment 1 (Revised 10-20-06). Docket No. R2006-1 - 127- Initial Brief of the OCA such Platinum subscribers to avoid such rising fees is to limit usage. According to the Postal Service, “[a]ny [Platinum] subscriber[s] who chose to use fewer than 169,000,000 units would pay less under the proposed fee schedule.”139 (Emphasis added). Based upon current usage, sixteen of the current 45 Platinum subscribers will pay combined total fees higher than the $10,000 subscription fee. 140 However, all Platinum subscribers lose the option of unlimited scans—a current feature of the existing Platinum subscription service. OCA submits that it is the reckless application of larger fee increases by the Postal Service that will reduce Confirm usage and also reduce revenues. C. The OCA’s Fee Structure for Confirm Service Is Presumptively Fair and Equitable and the Postal Service’s Fees Are Arbitrary and Not Fair and Equitable. 1. OCA proposes to retain the existing, presumptivelyf air and equitable subscription-based fee structure previously recommended by the Commission. When considering new rates and fees, a primary reference point for the Commission is the existing rate relationships. The Commission’s current fees for Confirm service are presumptively fair and equitable. Although the Postal Service wants to change the current fee structure, it does not claim the existing subscriptionbased fee structure for Confirm service is “unfair or inequitable.”141 Rather, with respect 139 Tr. 14/3976 (OCA/USPS-T40-57). The Postal Service estimates that a user could purchase 168 additional blocks and still spend less than the current $10,000 Platinum subscription fee, calculated as follows: the $5,000 annual user fee plus $4,987.50 ((9 * $70) + (90 * $35) + (69 * $17.50)) in declining block user fees. See also OCA-T-5, Attachment 1 (Revised 10-20-06). 140 Id. 141 Tr. 33/11356. Docket No. R2006-1 - 128- Initial Brief of the OCA to the OCA fee proposal, witness Mitchum maintains that it is not “superlative in either 142 fairness or equity and as such has room for improvement.” According to witness Mitchum, the fairness and equity of the OCA proposal is “worse than what the existing fee schedule is.”143 This view is not supported by the record. The OCA proposes to retain the existing subscription-based fee structure previously recommended by the Commission in Docket No. MC2002-1, and simply adjust current fees. The existing rate relationships will not change. Just as with the existing subscription-based fee structure, OCA’s proposal offers mailers the same options they currently have: mailers will choose either of the three service levels based upon their projected need for Confirm scans. Like now, two different mailers will be charged the same amount for the same number of scans. A Platinum subscriber purchasing 51 million scans would pay the same amount, and have the same cost per scan, as any other Platinum subscriber purchasing 51 million scans. Similarly, a Platinum subscriber purchasing 1 billion scans would pay the same amount, and have the same cost per scan, as any other Platinum subscriber purchasing 1 billion scans. On the other hand, the Postal Service’s differential unit pricing proposal would charge two different mailers different prices for the same number of scans depending upon the class of mail being scanned without any cost justification and so is unfair. Under both the current fee structure and the proposed OCA fee structure, the average price per scan decreases as the number of scans purchased increases. With the OCA proposal, a Platinum subscriber purchasing 51 million scans would pay an 142 Tr. 14/ 3972 (OCA/USPS-T40-51(a)). 143 Tr. 33/11356. Docket No. R2006-1 - 129- Initial Brief of the OCA average price of $382.35 per million scans whereas the same subscriber purchasing 1 billion scans would see a decrease in the average price to $19.50 per million scans. 144 The Postal Service does not object to deeper discounts for increased usage but is concerned about the extent of the “volume taper” and believes the relatively higher average costs for smaller mailers may be unfair and should be a consideration of the Commission.145 A measure of the degree of perceived unfairness may be gained by giving consideration to the judgment of Confirm subscribers. OCA is unaware in this proceeding, or elsewhere, of any intervenor or mailer that has objected to the volume taper feature in the existing subscription-based fee structure. When asked about complaints regarding the current fee structure, Witness Mitchum did not point to any customer complaints about the supposed unfairness of the unlimited scan option. 146 In fact, he did not even inquire as to customers’ views about the fairness of OCA’s subscription fee structure.147 On the other hand, this decrease in average price per million scans provides a strong incentive for mailers to use PLANET barcodes on all of their mailings. This volume taper price incentive will encourage mailers to make greater use of Confirm service, but it is not a feature of the Postal Service’s proposal. Witness Mitchum states his proposal improves fairness and equity, particularly for smaller users.148 Yet his proposal is not necessarily cheaper for the smallest users. 144 Tr. 33/11302 (USPS-RT-13 (Mitchum) , Table 2, at 18); see also Tr. 33/11406-407. 145 Tr. 33/11357. 146 Tr. 33/11378. 147 Tr. 33/11337-38. 148 Tr. 33/11394. Docket No. R2006-1 - 130- Initial Brief of the OCA The smallest Confirm subscribers under the OCA proposal, purchasers of Silver subscriptions, would pay only $2,000 for a quarterly subscription or $4,000 for two quarters, whereas each would be required to pay the $5,000 annual user fee under the Postal Service proposal.149 In other respects, the existing subscription-based fees proposed by the OCA much better serves the interests of the smallest mailers. Two Confirm re-sellers: Grayhair Software and TrackMyMail offer access to low volume users for only $50 per 10,000 scans. 150 It is not at all clear that the Postal Service’s proposed elimination of the current option of unlimited scans will continue to make possible such small-user access. The “small” users that witness Mitchum wishes to protect are not mailers with $50 accounts, but mailers whowouldfind it worthwhile to pay the $5,000 annual user fee (100 times the size of Grayhair’s and TrackMyMail’s smallest account holders). Thus, on balance, the unfairness perceived by the Postal Service in the OCA’s proposal is not supported by the record, while the Postal Service’s proposed rate structure might very well lead to much higher fees for the smallest mailers. 2. The Postal Service’s differential unit-based fees for blocks of onemillion scans is arbitrary, and unfair and inequitable The Postal Service’s proposal is arbitrary, unfair and inequitable and has not been justified. For the first time with respect to Confirm service, the Postal Service proposes to price additional blocks based on “units” rather than scans—the basis for 149 150 Tr. 22/11395-96. Tr. 14/4147 (OCA-XE-Mitchum-#1). OCA’s cross-examination exhibit reveals TrackMyMail's pricing for low volume mailers: $50 for the first 1,000 pieces and $2 for each additional 1,000 pieces. OCA has been informed by witness Bellamy (GHS-T-1), President of GrayHair Software, that it offers a similar product, at comparable prices, for low volume mailers. Docket No. R2006-1 - 131- Initial Brief of the OCA pricing additional blocks under the existing fee schedule. The Postal Service claims that its proposed “pricing structure is more fair and equitable than the three-tier 151 system.” To the contrary, the Postal Service proposal to vary the number of scans acquired per “unit” is unfair and inequitable on its face. Further inquiry has also determined that it is arbitrary. The Postal Service does not attempt to justify such differential treatment between blocks of First-Class Mail and Standard Mail scans as a form of “value pricing.”152 In fact, the Postal Service provides no basis for its plan to effectively charge different prices for scan data based upon the class of mail. The Postal Service makes no effort to justify why the ratio of 5-to-1 was selected in the first place, or why it is preferable to a ratio of, say, 2-to-1. Without any rational support, such differential pricing of scans is arbitrary. Moreover, the differential pricing of scans cannot be justified on the basis of cost. The cost per passive scan to the Postal Service of a barcoded mailpiece of First-Class Mail or Standard Mail is the same. 153 Rather, the true purpose of such differential treatment is to develop a pricing structure that generates revenues to cover costs. 154 The Commission should reject such arbitrary, unfair and inequitable pricing that cannot be justified on the basis of costs. 151 Tr. 14/3937 (OCA/USPS-T40-16). 152 Tr. 14/3936 (OCA/USPS-T40-15(e)). 153 Tr. 14/3958 (OCA/USPS-T40-30(b)). 154 Tr. 14/3936 (OCA/USPS-T40-15(e)). Docket No. R2006-1 D. - 132- Initial Brief of the OCA The OCA’s Fee Proposal for Confirm Service Preserves the Simplicity Inherent in the Existing Subscription-Based Fee Structure The existing subscription-based fee schedule for Confirm service is simple in structure. The OCA proposal retains the simplicity inherent in the existing subscriptionbased fee schedule by simply adjusting current fees. The Postal Service states that the “OCA retains the existing structure and the complexity of 3 different sets of subscription prices,” and that retention of that structure will continue depressing the number of subscribers. 155 The Postal Service acknowledges that the OCA proposal is no more “complex” than the existing subscription-based fee schedule.156 Moreover, no existing Confirm subscribers have expressed to the Postal Service concern about the complexity of the OCA proposal.157 Given that the Postal Service finds the OCA proposal no more complex than the existing fee schedule, and can point to no complaints with respect to complexity, the Postal Service view that the structure will depress the number of subscribers is pure speculation. By contrast, the Postal Service maintains that it’s proposal “is less complicated” than the existing subscription-based fee schedule and, by extension, less complicated than the OCA proposal. The Postal Service is mistaken. The transaction-based fees proposed by the Postal Service introduce a number of complicating elements to the Confirm fee schedule. 155 Tr. 33/11304 (USPS-RT-13 (Mitchum), at 20). 156 Tr. 33/11362. 157 Tr. 33/11363. Docket No. R2006-1 - 133- Initial Brief of the OCA The Postal Service’s bow toward simplicity consists of replacing the Silver, Gold, and Platinum subscription service levels with a single annual user fee of $5,000, which 158 includes 1 million “units.” From there on, however, the Postal Service’s proposal increases in complexity. First, the Postal Service proposes to replace the existing block purchase of additional scans with a transaction-based user fee based upon “units.” Users may purchase additional “units” in blocks of 1 million, and the number of additional units purchased varies by the type (i.e., First-Class Mail, or “other”) of scans desired. The Postal Service then introduces another complicating element. As discussed previously, the purchase of additional blocks of 1 million “units” follows a schedule of fees that decrease as the number of blocks purchased increase beyond certain a specified minimum, or threshold, quantity of scans. This “declining block fee” allows users to purchase additional blocks one through nine for a fee of $70 each. Purchases of the next 90 blocks (i.e., 10 to 99 blocks) are available for a fee of $35 each. Users intending to purchase in excess of 99 blocks during the annual subscription period can do so for a fee of $17.50 each. 159 Third, as discussed above, with the pricing of additional blocks based upon “units,” the Postal Service proposes to vary the number of scans acquired per “unit.” Thus, the purchase of each First-Class Mail scan will require one “unit,” while each Standard Mail and Periodicals scan will require 5 “units.” Each of these elements 158 USPS-T-40 (Mitchum), at 17. 159 Id. Docket No. R2006-1 - 134- Initial Brief of the OCA represents a departure from simplicity, and exposes the inaccuracy of the Postal Service’s claim that its proposal is less complicated. Moreover, Postal Service witness Kiefer, in Docket No. MC2002-1, cited increases in administrative costs, since each transaction would have to be tracked and billed, as a reason for rejecting a transaction-based fee structure. While technology permits the Postal Service to keep track of how many scans every customer uses, a transaction-based fee schedule would complicate billing for current Platinum subscribers. Such subscribers would likely want to begin tracking how many scans they use in order to make sure they were billed correctly.160 In turn, this may lead to a higher frequency of billing inquiries and complaints by Confirm subscribers that can cause an increase in the cost to the Postal Service of administering Confirm service. E. The Potential for Future Enhancements to Confirm Service Is Not a Valid Reason to Accept the Postal Service’s Unit Pricing Proposal In Lieu of the OCA’s Subscription-Based Fees Which Can Also Accommodate Future Enhancements The Postal Service asserts another reason supporting its proposed transactionbased fee schedule—that pricing based upon “units” provides flexibility for future enhancements to offer other types of scan information for Confirm service mailers. Witness Mitchum cites scanning containers as a potential future enhancement for Confirm.161 However, without programming for unit pricing, fees cannot be differentiated for scans on different types of materials.162 In the future, witness Mitchum 160 Tr. 33/11363. 161 Tr. 33/11307 (USPS-RT-13 (Mitchum), at 23). 162 Tr. 33/11367. Docket No. R2006-1 - 135- Initial Brief of the OCA says, changes in the number of units per scan, which may or may not have a fee attached, could be incurred without substantial programming costs. Such future enhancements would be a means of obtaining additional revenue for information about the mail.163 For several reasons, the “flexibility for future enhancements” argument is not a basis for distinguishing between witness Mitchum’s proposal and witness Callow’s proposal, and does not provide a justification for a recommendation in favor of the Postal Service’s Confirm fee proposal. Although witness Mitchum states that he discussed future enhancements of Confirm service with the Postal Service’s product development group, he is aware of only one planned Confirm enhancement— introduction of the four-state barcode for which unit pricing is not needed. 164 He admits that other than the four-state barcode, there are currently no plans for the implementation of scanning of containers; in fact, there are no plans for future enhancements to Confirm during the test year.165 Moreover, the scanning of containers may not require a different fee, in which case unit pricing may not be required to scan containers. Witness Mitchum does not assert that container scans would necessarily be priced differently from other scans, even if they are implemented. As witness Mitchum recognizes, the cost of scans would be an important consideration in determining whether differential pricing is required: “Units would allow [the] (sic) Postal Service to charge a different fee for container scans 163 USPS-T-40 (Mitchum), at 15. 164 Tr. 33/11324-25. 165 Tr. 33/11366. Docket No. R2006-1 - 136- Initial Brief of the OCA than for mailpiece scans to the extent the generation and provision of such data is more costly.” (Emphasis added). 166 Until the costing of container scans is measured, subject to Commission review, it will not be known whether container scans have different costs than scans of single pieces of mail and consequently whether they should be priced differently.167 The Postal Service adds further support for its proposal that does not provide for unlimited scans. Scans for future enhancements may not have the same very low marginal cost as scans for mailpieces, so it is useful to have a fee schedule in place which has a modest price in place for all scans. As noted above, the cost of scans for future enhancements is not currently known. It is premature to eliminate the current price structure providing for unlimited scans for a future eventuality that may not occur. Witness Mitchum’s rebuttal testimony indicates some uncertainty with respect to future enhancements: “Regardless of the fate of future enhancements, a modest charge for 168 incremental units helps cover the cost of the program.” In other words, he recognizes future enhancements may not necessarily occur. According to witness Mitchum, programming for future unit pricing can be relatively inexpensive if combined with programming for the new rate structure proposed by the Postal Service.169 Programming OCA’s proposal for unit pricing would incur additional costs in excess of those required to program for unit pricing under 166 Tr. 33/11307-08 (USPS-RT-13 (Mitchum), at 23-24). 167 Regardless of whether the Postal Service’s or the OCA’s proposal is implemented, the Postal Service would be required to return to the Commission to set a price for scans of containers. Tr. 33/11369. 168 USPS-T-40 (Mitchum), at 18. 169 Tr. 33/11366, 11369-370. Docket No. R2006-1 - 137- Initial Brief of the OCA witness Mitchum’s proposal. However, he is unable to quantify the number of hours or the cost of reprogramming. 170 It is obvious that a few hours of a programmer’s time is so trivial an expense that the Postal Service has probably wasted more of its, and other’s, resources just arguing this point before the Commission. In any event, incurring programming costs for enhancements now, solely because there may be a need for unit scans in the future, ignores the time value of money prematurely expended to prepare for what is only a potential pricing modification. The mere possibility of saving some programming costs for potential future enhancements does not justify elimination of the current pricing structure with an unlimited scan option and eliminating a fee structure favored by many customers. The Postal Service also neglects to point out that additional and substantially more programming would be required to implement witness Mitchum’s new fee structure than witness Callow’s proposed fees. The OCA proposal maintains the existing subscription-based fee schedule and simply adjusts current fees, virtually eliminating all the programming costs to be incurred under the Postal Service’s proposal. Although witness Callow did not address the question of the introduction of manual scans of containers into Confirm service, that does not demonstrate enhancements for Confirm service cannot be accommodated by the OCA proposal. If witness Callow’s proposal is accepted, the Postal Service could program for scans based upon units of various values when it is ready to implement future enhancements. A fee structure with differential unit pricing, as proposed by the Postal Service, is not 170 Tr. 33/11370-371. Docket No. R2006-1 - 138- Initial Brief of the OCA necessary to undertake programming to implement unit pricing of scans. In fact, the Postal Service’s concerns about the alleged incompatibility of the OCA proposal with unit pricing could apparently be eliminated simply by programming prices to be expressed in units rather than dollars and cents.171 F. The Existing Requirement to Provide Electronic Notifications for Entry of Confirm Mailings Should Be Retained to Permit Development of SystemWide Measurement of Service Performance Confirm service subscribers entering Destination Confirm mailpieces are required to provide an electronic preshipment notification for every outgoing Confirm mailing. This requirement, found in section 991.31 of the Domestic Mail Classification Schedule (herein “DMCS”), specifies that authorized subscribers provide, for Destination Confirm, “electronic notice of entering Confirm mail prior to or 172 contemporaneous with mail entry.” Initially, the Postal Service proposed to eliminate this requirement from DMCS §991.31. Subsequent to the filing of its request, however, the OCA reached an informal agreement with the Postal Service concerning Confirm that was forged during the period of discovery on the Postal Service’s case. Under this agreement, the Postal Service no longer asks that the start-the-clock language currently in the DMCS be removed. Specifically, the language that OCA and the Postal Service agree should be retained is the following: “and, for Destination Confirm, providing electronic notice of 171 Id. 172 DMCS §991.31. Docket No. R2006-1 - 139- Initial Brief of the OCA entering Confirm mail prior to or contemporaneous with mail entry, all. . . .” In its entirety, DMCS §991.31 will read as follows: 991.31 Mailers [must] become Confirm subscribers by applying to, and being authorized by the Postal Service. Authorization requires that a customer demonstrate the capabilities of producing mailpieces with Confirm-compatible barcodes, and, for Destination Confirm, providing electronic notice of entering Confirm mail prior to or contemporaneous with mail entry, all as specified by the Postal Service. This is essentially the same language that is currently found in the DMCS. The Postal Service’s Chief Counsel, Rates and Classifications, Daniel Foucheaux, has informed the Director, OCA, that the Postal Service authorizes OCA to provide the above statement to the Commission. The OCA wishes to thank the Postal Service for its willingness to discuss this issue, and its work in concluding this agreement. In reaching this agreement, DMCS §991.31 seeks to preserve the original intent of the preshipment notification requirement. As originally proposed, Confirm service was designed to benefit not only mailers, but also the Postal Service. 173 Benefits to the Postal Service would arise from widespread usage of Confirm mailings, permitting the Postal Service to use the collected scan data to monitor mail processing operations and improve service performance measurement.174 Of critical importance to achieving these benefits is the requirement of a “preshipment” notification:175 Preshipment notification enables the Postal Service to use Confirm information to measure, diagnose, monitor, and improve mail processing and delivery service performance. 173 PRC Op. MC2002-1, at 1. 174 Docket Tr. 33/11432 and 11438, Exhibit No. NPPC-X-2 (Docket No. MC2002-1, USPS-T-5 (Kiefer), at 3 and 15). 175 Postal Service Publication 197, Confirm Users Guide (September 2004), at 29. Docket No. R2006-1 - 140- Initial Brief of the OCA To achieve this result, the preshipment notification, an electronic manifest that provides a profile of the Confirm mailing, 176 serves to link entry scan data with PLANET Code mailpiece processing in order to “start the clock” on the mailing and help measure processing and delivery performance. Since establishment of Confirm service, the Postal Service has had a change-ofheart as to the benefits of using collected scan data for service performance measurement and improvement, as expressed in the testimony and discovery responses of witness Mitchum. At some point, the Postal Service “concluded [ ] that 177 Confirm service is ill-suited to evaluation of system performance.” This conclusion is apparently based on operational issues, including178 i) inconsistent mail preparation and barcoding methods by Confirm mailers; ii) inconsistent induction procedures by mailers and the Postal Service; iii) system infrastructure limitations that limit the ability to uniquely identify mailpieces with a pre-shipment notification; iv) lack of integration with postal mail acceptance and verification procedures, and; v) incorrect entry of information on mail processing equipment that becomes associated with a Confirm scan. As a result of these operational issues, the Postal Service simply seeds PLANET Code barcodes on mailpieces that are reentered into the mailstream for its own limited purposes. 176 Id., at 2. 177 Tr. 14/3943 (OCA/USPS-T40-20(a)-(b)). 178 Tr. 14/3948 (OCA/USPS-T40-23(c)). Docket No. R2006-1 - 141- Initial Brief of the OCA The electronic preshipment notification requirement contained in DMCS §991.31 agreed to by the Postal Service and the OCA provides an opportunity to facilitate development of a better means for entering Confirm mail and to measure and improve mail processing and delivery service performance. In this regard, the OCA urges the Postal Service to work with Confirm subscribers, interested mailers, and trade associations to develop an accurate, reliable, and low-cost electronic notification system for the entry of Confirm mailings that is simple-to-use by subscribers and the Postal Service. Moreover, the purpose of such a system should be to ensure that the electronic notification is recognized by the Postal Service and Confirm subscribers as the official “start-the-clock” entry time for purposes of developing transparent, systemwide service performance measurement for business mail. Docket No. R2006-1 VI. - 142- Initial Brief of the OCA FOREVER STAMP A. The Postal Service’s Proposed “Forever Stamp” Mail Classification Should Be Recommended by the Commission to Enhance Convenience for Individuals and Smaller Mailers. In this proceeding, the Postal Service proposes a new mail product styled as a “Forever Stamp” that offers a new beneficial postage option to individuals and smaller mailers who predominantly use First-Class Mail. The Forever Stamp will be a nondenominated postage stamp available for purchase at the current First-Class firstounce rate. Once purchased, according to the Postal Service, the “Forever Stamp would constitute valid postage for the first-ounce of single-piece First-Class Mail letters, 179 even if the rate were to change.” If recommended by the Commission, the Forever Stamp would be sold at the approved single-piece First Class rate (presumably $0.42) upon its introduction some weeks prior to the implementation date for the new rates approved in this docket. The Board will set the specific effective date, if the Forever Stamp is approved.180 After the subsequent rate increase, the stamp would be sold at the rate applicable to such letters at the time of purchase. Postal Service witness Altaf H. Taufique presents the Forever Stamp proposal in two separate pieces of testimony: USPS-T-32 introduces the concept and expected benefits for mailers,181 and USPS-T-48 offers proposed changes to the Domestic Mail 179 Notice of the United States Postal Service for Establishment of Settlement Procedures for Forever Stamp Proposal, July 14, 2006, at 2. 180 USPS-T-48 at 19 (Taufique). 181 USPS-T-32 (Taufique) at 4, 26 and 27. Docket No. R2006-1 - 143- Initial Brief of the OCA Classification Schedule (DMCS) and explains the Postal Service’s rationale for the forever stamp, its availability, use, value, the market research that supports the proposed Forever Stamp and the financial impact on the Postal Service. 182 The Postal Service has expended considerable time and effort to develop the Forever Stamp mail classification and present it to the Commission in this proceeding. The Postal Service is to be commended for its extensive cooperation with the OCA and the Greeting Card Association (GCA) in developing the Forever Stamp proposal. The Forever Stamp can provide important consumer benefits, and should be recommended by the Commission in a form that achieves the goal of an “unprecedented level of convenience” for individuals and smaller mailers. 1. The Postal Service’s Forever Stamp proposal is a desirable postage option for individuals, smaller mailers and the Postal Service, and has minimal financial risk. (a) The Forever Stamp proposal offers greater convenience to individuals and smaller mailers, and simplicity for the Postal Service. The Forever Stamp proposal offers greater convenience to individuals and smaller mailers, and would simplify the rate change process for the Postal Service. The Postal Service proposes the Forever Stamp to provide “an unprecedented level of convenience for domestic postal rate payers as they adjust to the transition during rate 182 See generally USPS-T-48 (Taufique). Docket No. R2006-1 - 144- Initial Brief of the OCA changes from one basic First-Class Mail rate to the next.”183 The Forever Stamp is 184 “intended to be . . . a convenience for single-piece mailers.” Rate changes can be a source of inconvenience for some individuals and smaller business mailers. Increases in postal rates are considered an inconvenience by individuals and smaller mailers.185 In addition to an undesirable rise in postage costs for mailers, special trips are sometimes needed to comply with the new postage rates. At the time of a rate change, individuals and smaller mailers may be holding an inventory of single-piece First-Class Mail postage stamps. Mailers are then required to purchase make-up stamps in order to use-up their existing inventory. Even when postage increases are announced sufficiently in advance for the purchase of stamps denominated at the higher rate, often-times, stamps with the new denominations are not available far enough in advance to permit customers to conveniently purchase the new stamps. Customers are then faced with two choices. They may purchase fewer stamps at the old rate than they would normally purchase and make a return trip to the post office sooner than usual to purchase stamps at the new rate when they become available. Alternatively, they may purchase the usual amount of stamps at the old rate knowing they will last beyond the implementation date of the rate increase and, at the same time, purchase enough make-up stamps to use up the old-rate stamps that will be remaining on the date of implementation. Sometimes, however, even make up stamps are not available due to an increase in 183 USPS-T-32 (Taufique) at 4. 184 USPS-T-48 (Taufique) at 5. 185 See generally USPS-LR-L-152 at 5, Insights #7, 8, and 9 (Forever Stamp Market Research). Docket No. R2006-1 - 145- Initial Brief of the OCA demand for low value stamps around the time of a planned rate increase and a special trip to purchase stamps may be necessary. Thus, rate changes often have the effect of causing unscheduled trips to retail post offices to purchase new or make up postage. Moreover, the inconvenience of unscheduled trips to retail post offices is sometimes compounded when the Postal Service has difficulty distributing new rate stamps or make-up rate postage to Post Offices or retail outlets when they are needed by customers, despite the Postal Service’s best efforts. 186 By eliminating the Postal Service’s rush to distribute stamps prior to a rate increase, the proposed Forever Stamp holds the potential to simplify Postal Service management and administration of rate changes applicable to individuals and smaller mailers. The Forever Stamp would offer mailers greater convenience in dealing with rate changes. In the future, mailers that obtain Forever Stamps can use such stamps before and after a rate change, avoiding the need for unscheduled trips to retail post offices for new-rate or make-up rate postage stamps. 187 For mailers that are concerned about higher rates, the Forever Stamp would permit such mailers to defer or possibly avoid higher rates through the use of Forever Stamps purchased at the lower rate in advance of rate changes. To the extent the Postal Service is moving toward annual postal rate increases,188 the availability of the Forever Stamp will minimize the further inconvenience associated with annual rate changes on individuals and smaller mailers. 186 USPS-T-31 (O’Hara) at 6. 187 This benefit will not occur during this rate cycle unless mailers are willing to use the Forever Stamp, to be initially offered at a price of $0.42, as postage for a $0.39 letter prior to the rate increase in this docket. 188 “USPS Strategic Transformation Plan 2006-2010,” September 2005 at 6. Docket No. R2006-1 - 146- Initial Brief of the OCA Another potential advantage of the Forever Stamp is that individuals and smaller mailers may be more disposed toward the purchase and use of First-Class Mail postage. Responses to the market survey undertaken by the Postal Service indicated that by increasing convenience, “the Forever Stamp could encourage more use of the mails than might otherwise occur.”189 However, achieving these beneficial results will depend in some measure upon the rules in the DMCS and the DMM applicable to the Forever Stamp. Its introduction should include clear statements as to the availability, applicability, value, and terms of use. Unless the introduction of the Forever Stamp is explained fully to the public, many of the benefits and goodwill that such a product would garner may be reduced or even lost. These issues are discussed below in another section. (b) The Forever Stamp proposal could improve Postal Service administration by simplifying the rate change process and thereby reducing postal costs. The Forever Stamp also has the potential to ease the Postal Service’s transition to new postal rates. Once introduced, the continuous availability of the Forever Stamp would eliminate the need to rush-order printing of new First-Class Mail postage stamps and their distribution to retail post offices in response to rate changes. Moreover, the Forever Stamp could reduce or eliminate the need to print and maintain an inventory of make-up rate postage stamps. As a result, distribution difficulties, in which new-rate 189 USPS-T-32 (Taufique) at 27. Docket No. R2006-1 - 147- Initial Brief of the OCA and make-up rate postage stamps are distributed in limited quantities to some retail post offices, but not to all others, would be a thing of the past. 190 In addition, introduction of the Forever Stamp would, over time, make more postage sales possible through a larger network of private retailers. Private retailers offering postage stamps would no longer have to worry about having outdated denominated postage because the Forever Stamp would never have to be recalled as a result of a rate change. This in turn would simplify Postal Service management of the Forever Stamp inventory thereby reducing administrative costs of the Postal Service. Continuous sale of Forever Stamps through a larger number of private retailers could also reduce unscheduled trips by mailers to retail post offices at the time of rate changes and so contribute to a reduction in window service transactions and costs after such a change and even throughout the year. (c) The financial impact of the Forever Stamp will be minimal. Witness Taufique estimated the financial exposure to the Postal Service to result from introduction of the Forever Stamp. 191 There is no exposure to financial risk during this rate cycle because the Postal Service is proposing to introduce the sale of the Forever Stamp at the 42 cent rate rather than the currently effective rate, even though it will be introduced before the new rates become effective.192 Although there will be no financial cost to the Postal Service 190 See, for example, “Postal Customers Are Angry As Cheap Stamps Sell Out,” Sacramento Bee, January 13, 2006, at D1. 191 USPS-T-48 at 22, note 14 (Taufique). 192 Id. at 20. Docket No. R2006-1 - 148- Initial Brief of the OCA during this rate change, consumers would, nevertheless, derive some benefit if the nondenominated Forever Stamp is more widely available well before this rate increase than the amount of time stamps were available prior to previous rate increases. Another advantage of approval of the Forever Stamp DMCS language in this proceeding is that it will permit the Postal Service to advertise the Forever Stamp to potential purchasers and to assure them that the Forever Stamp they purchase during this rate cycle will be valid forever as first-ounce letter mail postage. Witness Taufique also notes that “experiences of foreign postal administrations…suggest that [Forever Stamps] have had no effect, or a positive effect, 193 on revenues and costs.” He provides a very rough estimate of the potential financial exposure in future rate cases, stating that it “is not difficult” to estimate a $100 million exposure in the first month after a rate increase. While witness Taufique recognizes this is a conservative amount, in OCA’s view the $100 million estimate in the first month after a rate increase is so conservative as to be very improbable. That figure represents the absolute maximum exposure possible. If rate cases occur every year and are limited to the increase in the cost of living, the rate increase is not likely to be three cents but would be, instead, either one cent or two cents. That fact alone would reduce the financial exposure using witness Taufique’s method to $33 million or $66 million, respectively. Witness Taufique’s estimate also assumes that every single piece of First-Class Mail for one month after implementation of a three cent rate increase (about 330 million pieces) will carry a Forever Stamp purchased prior to the rate change at the previous 193 USPS-T-48 at 20 (Taufique). Docket No. R2006-1 - 149- Initial Brief of the OCA lower rate. That is unrealistic. A significant portion of mailers would not have the opportunity or have the inclination to make a special trip to purchase Forever Stamps in order to save a few pennies on their postage after a rate change. Nor is it reasonable to assume that every mailer having Forever Stamps available will use them on every one-once letter in the first month after a rate change. Additionally, witness Taufique’s conservative analysis does not take into account the dampening effect on demand of only selling the stamps in booklet form. Small businesses and even individuals normally handling rolls of stamps may not bother with Forever Stamps booklets, and some purchasers of only a few stamps would not want to purchase a full booklet of Forever Stamps. Thus, in neither case would they take advantage of the Forever Stamp discount and the financial impact would be reduced ever further. Moreover, there are offsets to the costs that are of value to the Postal Service and others. There will be some savings in window service costs because there will be fewer stamp purchases around the time of a rate increase, particularly costly stamp purchase transactions. There is also the time value of the money received by the Postal Service in advance of the actual use of Forever Stamps. Of course, witness Taufiques’s estimate does not measure the savings in other costs, such as the savings to mailers in time and money of eliminating additional trips to purchase stamps at the new rate. Thus, although witness Taufique’s estimate is not so large in OCA’s view as to outweigh the very positive advantages of the Forever Stamp’s convenience and Docket No. R2006-1 - 150- Initial Brief of the OCA goodwill, the actual financial risk to the Postal Service from the Forever Stamp is considerably lower than the costs estimated by witness Taufique. 2. The Postal Service’s cooperative development of the Forever Stamp proposal is commendable. The Postal Service has expended considerable time and effort to develop the Forever Stamp mail classification and present it to the Commission in this proceeding. Since conclusion of the omnibus rate proceeding in Docket No. R2005-1, the Postal Service has cooperated fully with the OCA and the Greeting Card Association (GCA) and proceeded with expedition to develop this proposal. Its efforts and cooperation are much appreciated. The idea of a non-denominated postage stamp to ease the transition to new rates for individual mailers was originally introduced by the OCA and others at the May 2002 Ratemaking Summit. R2005-1, 195 194 Pursuant to an agreement with the OCA in Docket No. the Postal Service established a working group that met regularly with the OCA and the GCA between November 2005 and May 2006. Those meetings identified the need for specific research, and discussed issues surrounding introduction of a Forever Stamp. As part of the identified research, the OCA conducted a multi-country survey concerning the availability of non-denominated postage, and the terms and features of its use, which is presented in OCA-LR-1.196 With input from the participants 194 See “Ratemaking Summit, Day One,” March 28, 2002, Tr. 1/20, 21, 32, and 53-54. 195 “Office of the Consumer Advocate Notice of Receipt of Letter from Postmaster General Potter Detailing the Agreement Reached Between the Postal Service and OCA,” July 25, 2005. 196 OCA-LR-1: “Materials Collected by the Office of the Consumer Advocate Concerning the Use of a Non-Value-Indicated Stamp in the United Kingdom and France.” Docket No. R2006-1 - 151- Initial Brief of the OCA of the working group, the Postal Service committed the personnel and financial resources necessary to conduct the Forever Stamp market research contained in USPS-LR-L-152, 197 and prepared the paper entitled “Forever Stamp Issues for Consideration.”198 Throughout the development of the Forever Stamp proposal, the Postal Service was receptive to ideas and suggestions presented by the OCA and GCA. Many of those ideas and suggestions were incorporated by the Postal Service into its marketing research, including reorganizing and expanding the market research survey to more deeply explore respondents’ views of the Forever Stamp concept as well as potential purchasing patterns. B. The Commission Should Recommend Witness Carlson’s Proposed DMCS Language to Resolve Ambiguities Created by the Postal Service’s Proposed DMCS Language About the Use of the Forever Stamp 199 1. The Postal Service’s proposed DMCS language is ambiguous about the weight and classes of mail on which the Forever Stamp may be used. The testimony of witness Taufique (USPS-T-48) proposes changes to the Domestic Mail Classification Schedule (DMCS) to establish the Forever Stamp as a 197 USPS-LR-L-152: “Forever Stamp, Report of Quantitative Market Research Conducted by Opinion Research Corporation, April, 2006.” 198 Tr. 19/6843-48 (DFC/USPS-T48-22). 199 See generally USPS-T-48 (Taufique). Docket No. R2006-1 - 152- Initial Brief of the OCA “means for applying postage to First-Class Mail letters that would not expire with future 200 rate changes.” The proposal would not establish a subclassification of mail. Witness Taufique proposes changes to the DMCS in two parts. First, DMCS section 241, “Forever Stamp:” Postage for the first ounce of a First-Class Mail Single-Piece letter may be paid through the application of a Forever Stamp. The Forever Stamp is sold at the prevailing rate for Single Piece Letters, First Ounce, in Rate Schedule 221. Once purchased, the Stamp may be used for first-ounce letter postage at any time in the future, regardless of the prevailing rate at the time of use.201 A second part of the proposed change is to add a sentence to DMCS section 3030: The use of the Forever Stamp, as described in section 241, is considered full prepayment of postage for the first ounce of First-Class Mail, Single Piece Letters. 202 Intervenor Douglas F. Carlson (DFC-T-1) maintains, and the OCA agrees, that the Postal Service’s DMCS language “is not a model of clarity.”203 In response to discovery requests, the Postal Service states that the “correct” interpretation of its DMCS language is that “the Forever Stamp is intended for use on single-piece First-Class Mail one-ounce letters [and . . . ] excludes [use on] the first-ounce rate component of letters weighing more than one ounce.”204 (Emphasis added). However, with some degree of understatement, the Postal 200 DFC/USPS-80(c), Revised December 6, 2006. 201 USPS-T-48 (Taufique) at 17. 202 Id. 203 DFC-T-1 (Carlson) at 21. 204 Tr. 18C/6123 (DBP/USPS-510(b)). Docket No. R2006-1 - 153- Initial Brief of the OCA Service also allows that the term “first ounce” as used in its DMCS language “is possibly ambiguous.” A plain reading of proposed DMCS section 3030 and Postal Service statements interpreting such section appear straightforward: the Forever Stamp is only intended to be valid postage for the first ounce of postage for single-piece First-Class Mail letters and not for heavier mail or other classes of mail. Absent from the definition, but easily presumed, is that the Forever Stamp will not be allowed for postage for ounces greater than the first ounce or for classes of mail other than First-Class. Nevertheless, the Postal Service states that “the proposed DMCS changes do not explicitly prohibit the use of Forever Stamps for postage applications other than single-piece First-Class Mail 205 one-ounce letters.” The reality facing the Postal Service is that even if the Postal Service attempts to restrict usage to single piece one-ounce letters, “some mailers will at times use the Forever Stamp for an unintended purpose, whether a First-Class Mail letter weighing more than one ounce, a First-Class Mail flat or parcel, or another mail class altogether.”206 Where mailers use the Forever Stamp for “an unintended purpose,” the Postal Service has clearly stated in cross-examination that it “intends to give credit for such uses at the currently applicable First-Class Mail single-piece 1-ounce letter rate.”207 205 Id. (DBP/USPS-510(c)). 206 Id. (DBP/USPS-510(b)). 207 DPB/USPS-700. The Postal Service reached this decision belatedly, modifying its earlier response to interrogatories. Previously, the Postal Service said it was “considering” giving credit for postage purposes at the original purchase price. (Emphasis supplied). Tr. 18C/6123 (DBP/USPS-510(b)) Docket No. R2006-1 - 154- Initial Brief of the OCA In further explanation of its proposed DMCS language, the Postal Service states that “the actual use of the Forever Stamp would seem to consist of its intended use to pay postage for one-ounce First-Class Mali letters."208 (Emphasis in original). Yet the Postal Service has explicitly stated, “alternative uses” on mail matter other than oneounce First-Class Mail letters will be “tolerated” through proposed changes to the Domestic Mail Manual (DMM) §604.1.10.209 The lack of clarity within the Postal Service’s proposed DMCS and DMM language would leave open to interpretation the postage value to be assigned to the Forever Stamp when used by mailers on First-Class Mail heavier than one ounce or on cards, or parcels and other subclasses or classes of mail in the future. Consequently, the proposed DMCS language, “as currently written, runs a serious risk of making rate changes more complicated and less convenient for customers than they are now.”210 Proposed DMM §604.1.10. would read, in part: “The postage value for each 211 forever stamp is the current First-Class Mail single-piece 1-ounce letter rate.” With this proposed DMM section, the Postal Service has stated it will allow the Forever Stamp to be valued at the then current single-piece first-ounce rate when used on mailpieces other than First-Class Mail pieces weighing one ounce, even though the 208 DFC/USPS-81(a). 209 Ibid.; see DFC/USPS-80(c); see also DFC/USPS-78(c)-(d), Revised December 6, 2006. In the latter response, the Postal Service affirmed that customers may use Forever Stamps to pay the postage on all mail for which customers can use stamps to pay the postage (such as, but not limited to, First-Class flats and Priority Mail parcels) and provide postage value equal to the current rate for single-piece, oneounce First-Class letters for all mail for which customers can use stamps to pay the postage (such as, but not limited to, First-Class flats and Priority Mail parcels). 210 DFC-T-1 (Carlson) at 20. 211 71 Fed. Reg. 56,587, September 27, 2006. Docket No. R2006-1 - 155- Initial Brief of the OCA Postal Service’s proposed DMCS language does not explicitly permit what the Postal Service apparently intends to allow through the DMM. The Postal Service maintains that it is reserving the possibility that it may propose more restrictive amendments to the DMCS language if it determines that alternative uses of the Forever Stamp can no longer be “tolerated.”212 Inasmuch as the Postal Service can change the DMM without public or Commission involvement, it is at least arguable that there will be no need for the Postal Service to propose additional changes to the DMCS, or to request any Commission review if the Postal Service determines such alternative uses can be permitted, or restricted as necessary through the DMM. In the absence of Commission (or Postal Service) clarification of the proposed DMCS language, the DMCS would be ambiguous and could lead, in all probability, to inconsistent enforcement in conflict with the stated intent of the proposed DMCS language. The consequence of such a conflict will be unfair to individuals and smaller mailers. Unfortunately, in all probability, many mailers will attempt to use the Forever Stamp on single-piece First-Class Mail additional ounce letters, flats and parcels, as well as Parcel Post parcels, and for some special services in the same manner as they do now with denominated postage stamps. If clerks and mail carriers are not sufficiently aware of the “tolerated” alternative use anticipated but ambiguously permitted by the DMCS and DMM language, mailpieces presented to retail clerks or left for postal carriers may be rejected or not picked up because its is believed they bear improper Forever Stamp postage. 212 DFC/USPS-80(c) Revised December 6, 2006. Docket No. R2006-1 - 156- Initial Brief of the OCA At best, the apparent, but unspoken, restrictions in the DMCS and DMM language and the potential for the uneven application of the Forever Stamp, are likely to create the perception of discriminatory treatment and may lead to confusion for clerks, mailhandlers, and mailers. This confusion may also discourage potential customers with Forever Stamps from using the mails because they do not believe Forever Stamps are acceptable for the item they want to send. Mailers who interpret the postal regulations as imposing restrictions on the use of the Forever Stamp may believe there is a “need to purchase two different types of stamps for their mail—‘Forever Stamps’ plus regular [denominated] stamps that they could use on their flats and parcels.”213 Alternatively, mailers may simply forgo the purchase of Forever Stamps and rely solely on denominated postage for all of their mailing needs to avoid perceived problems. In either event, the benefit of convenience of the Forever Stamp would be negated. 2. The Postal Service’s proposed DMCS language should be modified as proposed by intervenor witness Carlson. Rather than relying upon ambiguous DMCS language and interpretations as proposed by the Postal Service, the Commission should adopt the proposed DMCS language proposed by witness Carlson. Witness Carlson’s proposed alternative language for DMCS, section 241, prescribes more clearly the permissible use of the Forever Stamp and eliminates ambiguity: The Forever Stamp is sold at the prevailing rate for Single Piece Letters, First Ounce, in Rate Schedule 221. The Forever Stamp is an adhesive stamp within the meaning of section 3040. Once purchased, the Forever Stamp may be used for postage equal to the prevailing rate, at 213 DFC-T-1 (Carlson) at 22. Docket No. R2006-1 - 157- Initial Brief of the OCA the time of use, for Single Piece Letters, First Ounce, in Rate Schedule 221. In OCA’s view, this proposal would eliminate the confusing ambiguity of the Postal Services language. Unlike the Postal Service’s proposal which expressly states in section 241 that the Forever Stamp is for “first ounce letter” postage, witness Carlson’s proposal removes the ambiguity by eliminating those three words (first ounce letter) and thereby being silent about the types or classes of mail on which the Forever Stamp may be applied as postage. It is, therefore, critical that the Commission now recommend a clarification of the various weight and classes of mail on which the Forever Stamp may be used. Clarification is needed to assure the Forever Stamp fulfils the goal of providing convenience to mailers. If the Commission recommends the Forever Stamp proposal, it should resolve any ambiguities in the proposed DMCS language in favor of convenience to individuals and smaller mailers. VII. THE POSTAL SERVICE’S INSURANCE AND COD PRODUCTS HAVE A LOW VALUE OF SERVICE THAT HAS NOT BEEN TAKEN INTO ACCOUNT IN THE COST COVERAGES PROPOSED FOR THESE SERVICES A. The Cost Coverage For Insurance Should Be Set Close to Zero The Postal Service proposes a cost coverage of 131 percent for Insurance, which is several percent points lower than the average Special Services cost coverage of 145 percent. 214 At first glance, this relatively low coverage would appear to be appropriate. Closer scrutiny, however, reveals that the cost coverage of Insurance 214 Witness O’Hara’s Exhibit 31B. Docket No. R2006-1 - 158- Initial Brief of the OCA should be set at the lowest possible level owing to the very poor service accorded to Insurance purchasers. Witness Mitchum is responsible for defending the proposed cost coverage. He claims that “[t]he value of service to insurance customers is very high.”215 This rosecolored view of the service gives a false picture of what it is like for many insurance purchasers when it comes time to file a claim for indemnification. With indemnification constituting a mere 15.5 percent of Insurance revenues,216 this service stands out as offering little value for the money expended by purchasers. Witness Mitchum explains that the insurance product is very labor intensive, involving window clerk and carrier costs that cause nearly all of the attributable costs of the service. When an Insurance purchaser chooses to pay for postal insurance (s)he is largely paying for the sale at the window and the extra time expended by the carrier to obtain a signature. Very little of the revenue taken in for this service ever applies to customer indemnification which, after all, is the essence of what the customer hopes to obtain. As witness Mitchum states during oral cross-examination, he is actually proposing a reduction in most Insurance rates because the indemnification costs are going down. 217 He speculates that the Postal Service is doing a better job of handling insured items, thereby causing less damage and loss than in the past;218 but he offers 215 USPS-T-40 at 28. 216 Tr. 14/4113. 217 Tr. 14/4185. 218 Id. at 4186. Docket No. R2006-1 - 159- Initial Brief of the OCA no proof to support his supposition. Another possibility is that customer indemnity claims are so mishandled by postal clerks (who prepare the paperwork and mail the claims forms) and by the Accounting Service Center in St. Louis that claimants become too discouraged to see the process to its conclusion.219 OCA has been contacted by a number of such individuals and postulates that being worn down by an excruciating claims process causes many claimants to give up their efforts to be indemnified. Evidence provided by the Postal Service in response to discovery requests and questions on oral cross-examination suggest that the experience of Insurance purchasers and claimants is far less informative than it ought to be. To begin with, owing to the expense of providing information to all Insurance purchasers and to the perception that the incidence of loss and damage is low, purchasers are not automatically given information on important matters ranging from how to package an item to withstand damage, to the documents they must retain in order to establish the value of a lost or damaged item when submitting a claim, to the rigors of submitting a claim. Postal Service witness Hintenach, Manager, Customer Service Operations, explained the policies of the Postal Service this way: 220 You know, on that I guess we have not had tremendous loss or damage. Is there a need to go to that extreme, you know, to hand everyone who comes up something on their parcel? Now, if someone would say hey, listen, I'm not sure whether I know this is packaged properly or not, I think we have -- what is it -- Notice 2122. We can provide them with packaging tips, and we can provide them on our insurance process and our claims 219 Although witness Mitchum does not hold this view, he knows that others believe that poor handling of claims may be responsible for a reduction in indemnification costs. Id. 220 Tr. 3/378. Docket No. R2006-1 - 160- Initial Brief of the OCA process and times you need to take the claim and how much you have depending on the type of service you use. Personally, I think it would be a tremendous cost to do something like that for a relatively minor occurrence. It's not like we're not answering the customer's questions if they ask it. We're trying to get them by our customers to lead them to find out if there is something in there that could be damaged so that we do ask and try to make sure it's packaged properly. Postal clerks, with only the best intentions, give customers a false sense of security that if an insured item is lost or damaged, indemnification will be quick and easy to obtain. The clerks have next to no training on processing Insurance claim paperwork. Module 22, the only training given to postal clerks on Insurance, lasts a mere 60 minutes. There is no training at all on what a claimant is likely to encounter once embarking on the claims process. 221 The complaints system maintained by the Postal Service keeps postal management in the dark about the number and reasons for complaints about Insurance. When OCA asked witness Mitchum to provide copies of the 500 most recent Insurance complaints, he responded: “This information is not available, because records of complaints are not identified by special service.”222 The processing of claims, once they are received by the St. Louis Accounting Center, is agonizingly slow – an average of 48 days, when the processing is supposed to be completed in 10 days.223 In effect, the Postal Service has established a 221 A review of all training materials provided to the clerk shows that there is no description of the process, the percentage of claims paid/denied, the length of time for processing claims, etc. Id. at 3996 – 4002. 222 Id. at 4112. 223 Id. at 3992-93. Docket No. R2006-1 - 161- Initial Brief of the OCA reasonable service standard of 10 days, but its actual performance is nearly 5 times slower than the standard. Although the Postal Service performs poorly in many areas, such as retail parcel post and non-dropshipped, low volume Standard Mail, 224 this surely must be one of the worst performances for any type of mail product. It must also be noted that the clock starts running on the 10-day standard only after the claim has been received in St. Louis and entered into its electronic claims system. OCA has learned from Insurance claimants who registered complaints with us that clerks sometimes allow the Insurance Claim Form 1000 to sit in a desk drawer for weeks or months; do not know how to fill it out correctly so that it is rejected in St. Louis and sent back for correct processing; address the envelope incorrectly so that the Form #1000 ends up in a Mail Recovery Center; or a correctly addressed envelope is not processed and delivered properly so that the envelope ends up in a Mail Recovery Center. The record indicates that Postal Service retail offices keep no logs of claims that have been submitted, 225 so mishandling can go undetected long enough that the claim submission deadlines are not able to be met. OCA has learned that many claimants simply give up. This, of course, may result in a downward trend in the amount of money paid out for indemnification. In the view of OCA, this litany of mistakes and mishaps warrant a strong pricing signal by the Commission – a cost coverage of set close to zero percent so that postal management will take seriously the need to develop a fully trackable system in which 224 Only 54 percent of retail Parcel Post packages are delivered on time. http://www.usps.com/serviceperformance/welcome.htm See also, Testimony of Janyce Pritchard (Flute-T-1). 225 Tr. 3/385. Docket No. R2006-1 - 162- Initial Brief of the OCA clerks are required to log in every complaint; log out each complaint at the time it is mailed to St. Louis; have all processing steps logged in electronically in St. Louis and made available to claimants on the Internet or by telephone. In addition, all individuals who inquire about Insurance should be given printed information that explains the documentation they will need if it is necessary to file a claim; the steps that will be followed in processing a claim; the low incidence of damage/loss which may make it a “poor bet” to buy Insurance at all; the length of time it takes to process a claim – 48 days for the decision to be issued plus 30 days for the first appeal. Potential purchasers should also be informed about the percentage of claims that are denied – approximately one-fifth so that they will understand that indemnification is far from being automatic. 226 Finally, until the Postal Service meets its 10-day standard in 95+ percent of claims, cost coverage should be set much lower than the 131 percent proposed in this case. Given the Postal Service’s long list of failings in the current rate case, OCA respectfully asks that cost coverage be set at one percent above costs. B. The Cost Coverage of Collect on Delivery (COD) Should Be Set Near Zero The Postal Service’s recent revisions to its payment policies for COD are arbitrary and unfair, as demonstrated in the testimony of Growing Family witness Robert Paul (GF-T-1). Beginning in May 2005, the Postal Service began to reduce the payments to Growing Family for COD packages that were delivered, but not paid for, on a “random” basis, with no discernible pattern for the types of packages selected for reduced reimbursement nor for the amounts paid. (GF-T-1 at 3). 226 28,500/129,249 = 22%. Tr. 14/4109. Docket No. R2006-1 - 163- Initial Brief of the OCA It is especially disturbing that the Postal Service applied its policy of unexplained, reduced payments months before it ever issued a decision that set forth the rationale for the policy (“Sentence first, judgment later”). Id. at 4. Owing to the dramatic reduction in the value of service made unilaterally by the Postal Service in 2005, the Commission should reduce the cost coverage of COD to a level close to zero. When Congress granted the Postal Service a monopoly over access to the mailbox, a concomitant duty arose for the Postal Service to be reasonable, open, and fair in setting policies for the services that are made available under the Domestic Mail Classification Schedule. The Postal Service has failed utterly to discharge this duty.
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