J 31 pyj ‘00 “2 s !~,: [ 2 .,I ,, ~,, cFi:Ic,yc+‘:~’ ,I;,i ir :,:: !,,, >t;-i_ ;,,:i.,, mi j(,,,, BEFORE THE POSTAL RATE COMMISSION WASHINGTON. DC 20268-0001 Docket No. R2000-1 Postal Rate and Fee Changes, 2000 FIRST INTERROGATORIES OF ALLIANCE OF NONPROFIT TO USPS WITNESS TAUFIQUE (ANMlUSPS-T38-1-6) The Alliance interrogatories of Nonprofit and document ANM incorporates by reference Mailers (“ANM”) respectfully MAILERS submits requests to USPS witness Altaf H. Taufique the instructions in OCA interrogatories the attached (USPS-T-38). OCAIUSPS-1-14 (filed Jan. 24, 2000) Respectfully submitted, (y David M. Levy ~ Christopher T. Shenk Sidley & Austin 1722 Eye Street, N.W. Washington, DC 20006-3704 (202) 736-8214 Counsel for Alliance of Nonprofit Mailers February 16, 2000 QUESTIONS ANMIUSPS-T38-1. This question refers to pages 2-5 of your testimony, where you state that the Postal Service’s passage of legislation designed as future proceedings.” Postal Service’s proposed to “avoid rate anomalies Periodicals and recommend mail unless Congress mail assume the in the current rate case as well Please confirm that the Commission cost estimates nonprofit Periodicals rates for nonprofit cannot the Postal Service’s both accept the proposed rates for changes the law. If you fail to confirm, please explain fully. ANMIUSPS-T38-2. Periodicals Please produce a table showing the rate changes for nonprofit mail that would follow from the Postal Service’s proposed existing statutory constraints comparable to the schedule on pages 25-26 of Attachment ANMIUSPS-T38-3. supporting on preferred rates remain unchanged. documentation rates for nonprofit Periodicals Please use a format B to the USPS Request. Does the Postal Service contend provide an adequate cost estimates if the that its Rate Request basis for the Commission mail if the existing statutory constraints and to recommend on preferred rates remain unchanged? (a) Attachment If so, please produce B to the USPS Request, could be lawfully recommended (b) a table, in a format comparable to pages 25-26 of showing the rates that the Postal Service believes by the Commission. If not, please specify in detail what must be added to the Postal Service’s filing before the Commission can lawfully recommend rates under the existing statutory constraints, ANMIUSPS-T38-4. This question refers to page 4, lines 21-22 of USPS-T-38, where you state that “The statistical systems that are used to estimate cost data for the various subclasses Classroom will become subclasses cost for the Outside even are combined County more reliable if the Regular, into a single larger subclass. subclass should attain greater Nonprofit and Both the volume and stability as a result of this combination.” (a) In the phrase “even more reliable,” what measures of reliability and stability did you have in mind? Please produce (b) analyses that support (or cite, if already filed in this docket) all data, studies and your belief that the cost data for nonprofit Periodicals mail are already “reliable” by those measures. Cc) If the cost data are reliable, please explain why there is a problem with their stability. ANMIUSPS-T38-5. Please identify each characteristic that the Postal Service has studied, investigated communications Please produce rapid cost increases to the subclass. all memoranda, correspondence to nonprofit Service’s costing systems. -2- or other cost analysts or consultants since July 1, 1998, concerning attributed Produce or analysis. created by in-house or outside economists, for Postal Service headquarters relatively attributed relating to each such study, investigation ANMIUSPS-T38-6. mail or analyzed since Docket No. R97-1 as a possible cause of the relatively rapid cost increases all documents of nonprofit Periodicals possible Periodicals causes of the mail by the Postal CERTIFICATE I hereby participants certify that I have this day served of record in this proceeding February 16, 2000 OF SERVICE in accordance the foregoing with section document on all 12 of the Rules of
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