-. -- - _. -. __ UNITED STATES OF AMERICA Before The POSTAL RATE COMMISSION WASHINGTON, D.C. 20268-0001 Postal Rate and Fee Changes, 2000 Docket No. R2000-1 ) OFFICE OF THE CONSUMER ADVOCATE INTERROGATORIES TO UNITED STATES POSTAL SERVICE WITNESS: LINDA A. KINGSLEY (OCA/USPS-TIO-1-2) March 17,200O Pursuant Commission, requests to sections 26 and 27 of the Rules of Practice the Office of the Consumer for production OCAAJSPS-1-14 of documents. Advocate Instructions hereby submits interrogatories submitted, TED P. GERARDEN Director Office of the Consumer Advocate EMMETT Attorney 1333 H Street, N.W. Washington, D.C. 20268-0001 (202) 789-6830; Fax (202) 789-6819 and included with OCA interrogatories dated January 24, 2000, are hereby incorporated Respectfully of the Postal Rate RAND COSTICH by reference. -2- Docket No. R2000-1 OCA/USPS-TIO-I (4 Please refer to your testimony at page 8, lines 9-10 What portion of the 88.3 percent of all letters that were barcoded are First-Class (0 Automation Presort Letters and Parcels, and (ii) Automation Carrier Route Letters. (iii) Please provide the volumes for the mail identified in subparts (i) and (ii) of this interrogatory. (b) What portion of the 88.3 percent of all letters that were barcoded are Standard (A) Regular 0) Automation Category Letters, and (ii) ECR Subclass (iii) Please provide the volumes for the mail identified in subparts (i) and (ii) of Letters. this interrogatory. (c) Show all calculations used to derive the “88.3 percent,” and provide citations for all figures used in the calculations. (4 Please confirm that data exists to calculate in AP 1 through AP 12 of FY 99. If you do not confirm, please explain. barcoded 63 the percent of all letters that were Please confirm that data exists to calculate barcoded the percent of all letters that were in AP 1 through AP 13 of Fiscal Years 1996, 1997 and 1998. If you do not confirm, please explain. (9 Please calculate the percent of all letters that were barcoded Periods (AP) identified calculations for the Accounting in parts (d) and (e) of this interrogatory. and provide citations for all figures Show used in the calculations. all Also Docket No. R2000-1 please -3- provide the data identified hardcopy and electronic OCAAJSPS-TIO-2. in parts (d) and (e) of this interrogatory in formats. Please refer to Chapter Ill, entitled “Staffing and Complement,” of your testimony. (4 Please confirm that the single-piece (0 day of the week, (ii) week of the month, and (iii) month of the year. First-Class mail volume fluctuates by the If you do not confirm, please explain. (b) Please describe in percentage the average for subparts representative Cc) Processing terms the range of fluctuation above and below (i), (ii) and (iii) in part (a) of this interrogatory and Distribution Please confirm that workshared 0) day of the week, (ii) week of the month, and (iii) month of the year. for several Centers. First-Class mail volume fluctuates by the If you do not confirm, please explain. (4 Please describe in percentage the average for subparts representative (4 Processing identified in parts above and below (i), (ii) and (iii) in part (c) of this interrogatory and Distribution To the extent that fluctuations Class single-piece terms the range of fluctuation for several Centers. in volume result in shifts in the proportion and workshared of First- volume, please explain, for each time period (a) and (c) of this interrogatory, how plant managers of Docket No. R2000-1 Processing proportion (9 -4- and Distribution of single-piece Centers plan for and accommodate and workshared Please confirm that there are operating other written guidance to plant managers shifts in the proportion of First-Class other written confirm, managers guidance please volume. manuals, and provide instructions and workshared manuals, handbooks, to plant managers explain handbooks, and on how to plan for and accommodate single-piece do confirm, please identify such operating such shifts in the and provide copies If you instructions copies. of any documents on how to plan for and accommodate volume. and If you do not advising any periodic fluctuations plant in mail volumes. CERTIFICATE I hereby participants OF SERVICE certify that I have this date served the foregoing of record in this proceeding practice. Washington, D.C. 20268-0001 March 17,200O in accordance with section document upon all 12 of the rules of
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