Mnr22 5 39 PM‘00 BEFORE THE POSTAL RATE COMMISSION POSTAL RATE AND FEE CHANGES, 2000 : DOCKET DIRECT TESTIMONY OF STEPHEN E. SELLICK ON BEHALF OF UNITED PARCEL SERVICE ON COST SEGMENT 3 POSTAL RAiE CISr!5313H OFFICE C7 fiiE SiCkiii',Al NO. R2000-1 TABLE INTRODUCTION OF CONTENTS . .. . .. . . .. . .. . .. . . . .. . . .. . .. . .. . .. . .. . .. . .. . .. . .. . .. . . .. . .. . . .. . .. . . .. . .. . . .. . .. . .. . .. . .. . . .. . .. . .. . 1 . .. . .. . .. . . .. . .. . .. . . 2 COSTS . . .. .. . . .. . .. . .. . . .. . .. . . 3 The DegenNan-Ty-Smith MODS-Based Approach Addresses the Concerns Raised by the Commission in Docket No. R97-1 . . .. . . .. . .. . 3 B. The Postal Service’s Proposed Distribution Method Should Be Used, with Minor Modifications . .. . .. . .. . .. . . .. . . .. . .. . . .. . . .. . .. . .. . .. . .. . .. . .. . .. . . .. 4 PURPOSE OF TESTIMONY MODS-BASED A. AND SUMMARY ALLOCATION OF CONCLUSIONS OF MAIL PROCESSING CALCULATION OF IOCS OBSERVATIONS AND TALLY DOLLARS BY COST POOL . . .. . .. . . .. .._...................................................................................... 7 CALCULATION OF NON-BMC OUTGOING MAIL PROCESSING COSTS INCURRED BY DBMC-ENTRY PARCELS .. . .. . . .. . . .. . . .. . . .. . .. . .. . .. . .. . .. . .. . .. . .. . 7 SUMMARY 7 OF CONCLUSIONS . .. . . .. . .. . .. . .. . .. . .. . .. . .. . . .. . .. . . .. . . .. . . .. . . .. . . .. .. . .. . .. . .. . .. . .. . . .. INTRODUCTION 1 2 My name is Stephen E. Sellick. I am a Vice President at PHB Hagler Bailly, Inc. 3 (“PHB”), an economic 4 Washington, 5 and New York, New York. 6 Bartlett, Inc. and Hagler Bailly. Inc. in 1998. I am located in PHB’s Washington, 7 office. 8 9 10 11 and management DC.; Cambridge, consulting Massachusetts; Los Angeles and Palo Alto, California: PHB was formed through the merger of Putnam, Hayes & I have more than ten years of consulting assignments in regulatory regulated industries. firm with principal U.S. offices in economics, experience, cost accounting, including a wide range of and financial analysis of In addition, I have extensive experience I have worked on PHB’s analytical investigations DC. in environmental litigation. of United States Postal Service 12 (“Postal Service”) costing issues since 1990. In Docket No. R90-1 and again in Docket 13 No. R94-1, I assisted Dr. George R. Hall in the preparation 14 regarding the attributable 15 Docket No. R94-I, 16 testimony concerning 17 (“IOCS”). In Docket No. MC95-1, I assisted Ralph L. Luciani in the preparation 18 analyses and testimony 19 Postal Service in First Class and Standard 20 testimony regarding 21 presented direct testimony 22 in Cost Segment 3 to incorporate of analyses and testimony costs of Parcel Post, Priority Mail, and Express Mail. In I assisted Dr. Colin C. Blaydon in the preparation the treatment of analyses and of mixed mail costs in the In-Office Cost System regarding the costs associated of with parcels handled by the (A) Mail and in preparing supplemental rate design for Standard (A) Mail parcels. In Docket No. R97-I, I regarding the Postal Service’s proposal to modify the costing a Management Operating Data System (“MODS”) 1 based approach. 2 R97-1 regarding the MODS-based 3 I also presented supplemental Since 1995, I have visited and observed the operations Service facilities, including the Washington, 5 Sectional Center Facilities; two Associate 6 Spoke Project”) facility; and an Air Mail Center. 8 I hold a B.S. in Economics at a number of Postal D.C., BMC on two different occasions; Offices/Delivery two Units; a HASP (“Hub and from the University of Pennsylvania’s Wharton School of Business and an M.A. in Public Policy Studies from the University of Chicago. PURPOSE OF TESTIMONY AND SUMMARY OF CONCLUSIONS 9 10 11 in Docket No. approach for Cost Segment 3. 4 7 and rebuttal testimony I have been asked to examine the Postal Service’s new methods of costing in 12 Cost Segment 3. In so doing, I have reviewed the testimony 13 Service witnesses Degen (USPS-T-26) 14 My testimony 15 1. and Van-Ty-Smith and workpapers (USPS-T-17) of Postal among others. provides the following: A recalculation of base year Cost Segment 3 costs using (a) the improved 16 methods proposed 17 and (b) the Commission’s approach using 100 percent mail processing 18 labor cost variability as proposed 19 2. An identification by Postal Service witnesses Degen and Van-Ty-Smith by UPS witness Neels (UPS-T-l); of the number of IOCS observations and tally dollar costs 20 by cost pool for use by UPS witness Neels in his testimony 21 processing costs (UPS-T-l); and -2- on mail 3. An identification of the costs of certain Parcel Post operations then used by UPS witness Ralph (UPS-T-5) appropriate to calculate a more DBMC discount. 4 5 6 which are MODS-BASED ALLOCATION OF MAIL PROCESSING COSTS The Postal Service presents several modifications 7 MODS-based distribution 8 These modifications 9 Postal Service witnesses of mail processing and improvements costs among the subclasses are discussed Degen and Van-Ty-Smith. 10 degree to which mail processing 11 testimony 12 distribution 13 with minor programming 14 distributing 15 Commission. and improvements and presented in the testimony of the labor costs are variable and therefore attributable; labor costs to the subclasses modifications, mail processing of mail. Mr. Degen also discusses does not address this section of Mr. Degen’s testimony. of mail processing to its I address only the of mail. I recommend the Degen/Van-Ty-Smith my approach that, to labor costs to each mail subclass be adopted by the The DegenNan-Ty-Smith MODS-Based Approach Addresses Concerns Raised by the Commission in Docket No. R97-1. 16 17 A. 18 The Postal Service’s approach to distributing attributable the mail processing 19 costs to subclasses 20 in Docket No. R97-1. 21 minor modifications 22 Service costs to the Mail Processing 23 of costs in certain “allied” pools) and was ultimately adopted by the Commission. labor follows, for the most part, the method the Postal Service proposed This method was endorsed to address the “migration” component -3- by UPS in that proceeding of certain Administrative (subject to and Window of Cost Segment 3 and the distribution 1 In this proceeding, 2 it recommended 3 l the Postal Service proposes several changes to the approach in Docket No. R97-1: Costs at Non-MODS facilities have been broken into eight processing-based 4 functional 5 incoming, outgoing, transit, and other) cost pools used in Docket No. R97-1; 6 l 9 Costs associated with “not handling” basis than proposed 7 8 cost pools rather than being based on the “Basic Function” (e.g., l in allied pools are distributed on a broader in Docket No. R97-1; and Costs in MODS “support” pools are distributed in a “piggyback” fashion based on the cost pools which those pools support. 10 Each of these changes represents 11 in Docket No. R97-1, and they should be adopted. 12 13 B. 14 The improvements an improvement over the Postal Service’s approach The Postal Service’s Proposed Distribution Be Used, with Minor Modifications. the Postal Service has proposed 15 processing labor costs in Cost Segment 16 development of the most appropriate 17 Commission determined 18 necessary 19 methodology 20 adapted to incorporate relationship proposed Method Should 3 represent methodology in the distribution a further evolution for distributing in Docket No. R97-1, improvements full attribution of mail processing -4- in the these costs. As the of this type have no to the degree of variability of mail processing by Mr. Degen and Ms. Van-Ty-Smith of mail labor costs. The in this case can be easily labor costs. A further adaptation is also required to conform to Commission respect to Cost Segment 3. The “migration” of some costs previously practice with defined as Window Service (and assigned to Cost Segment 3.2) and Administrative (and assigned to Cost Segment 3.3) should be reversed to ensure treatment with the Commission’s established practice. These are essentially consistent the same “migration” reversals that were required in Docket No. R97-1 to adapt the Postal Service’s 9 approach to established testimony (UPS-ST-2) Commission practice, as detailed in my supplemental in Docket No. R97-1. Table 1 compares the Postal Service’s proposal in this case with Dr. Neels’ 10 recommended (and the Commission’s 11 returns attribution I2 combines 13 recommendations 14 these changes on Parcel Post, Priority Mail, and Express Mail in the Test Year. of mail processing Dr. Neels’ recommended established) treatment of Cost Segment 3, which labor costs to 100 percent. treatment of other UPS witnesses UPS witness Luciani as reflected in my Table 1 with the to calculate the combined -5 impact of all of TABLE BY1998 Volume Variable 1 Cost Segment 3 Costs by Class/Subclass -~- Total First Class Mail Priority Mail 733,035 127,161 Express Mail Mailgrams 192 Total Periodicals Total Standard (Al Mail Standard (B) Mail Parcel Post Bound Printed Matter Special Standard Library Mail Total Standard 813.249 3,151,448 3,479,195 260,580 134,482 275,359 143,723 86,972 93,043 12,397 13,035 525,160 Mail 197,640 ‘ree Mail nternational 16,808 339,278 Mail rotal Mail rotai Special Services Total Volume Xher Variable 185,985 253 738.428 (B) Mail LIS Postal Service 901,232 13,286,293 14,980,919 365,777 361,356 15.342.275 2,304,197 17,646,472 rotal Accrued Sources: Postal Service Proposal - USPS-T-l 1, Exhibit USPS-l IA, pages l-2. 100% Attribution - UPS-Sellick-WP-I-A, page 2. Calculation of Total Accrued does not match exactly due to rounding. -6- CALCULATION OF IOCS OBSERVATIONS AND TALLY DOLLARS BY COST POOL 1 2 At the request of UPS witness Neels, I have calculated observations and the IOCS tally dollar costs in each cost pool by mail class and non- mail activity code. These results are provided in Sellick-WP-2. CALCULATION OF NON-BMC OUTGOING MAIL PROCESSING COSTS INCURRED BY DBMC-ENTRY PARCELS 6 7 At the request of UPS witness Luciani, I have calculated, 8 9 Service’s basic approach outlined in USPS-LR-I-103. costs incurred by DBMC entry parcels. processing 11 determine 12 that can be ascribed to DBMC Parcel Post and non-DBMC 13 calculation 14 costs are for outgoing 15 provided in Sellick-WP-3. the proportion DBMC parcels at non-BMCs.’ In conclusion, I find that: The approach to distributing subclasses 19 1. uses IOCS data to of IOCS tally dollars by MODS pool and IOCS Basic Function SUMMARY . This approach Parcel Post. This shows that $9.34 million in Base Year 1998 attributable 16 17 using the Postal the non-BMC outgoing mail 10 18 the number of IOCS as proposed mail processing The details of the calculation are OF CONCLUSIONS attributable mail processing by Postal Service witnesses labor costs to Degen and Van-Ty-Smith This approach is based on Postal Service volume variabilities for mail processing labor costs; the calculation using 100% volume variability can also be found in my workpapers. -7- is an improvement over past practice and, with minor modifications, adopted by the Commission. The Postal Service’s proposal continues refinement of mail processing costing methods to more closely align the distribution of mixed mail and overhead characteristics l costs to mail processing The Postal Service’s approach can be implemented Commission’s 9 costs. The Base Year results of this approach l historic practice of attributing The Postal Service’s calculation 11 incorrectly 12 entry parcels. operational of the costs in Cost Segment 3. 8 10 the and continues to use the available data on counted mixed mail. The result is an improved distribution 7 should be while maintaining the 100 percent of mail processing labor are provided in this testimony. of the costs avoided by DBMC-entry parcels includes $9.34 million of costs which are actually incurred by DBMC- -8- :..
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