BEFORE THE POSTAL RATE COMMISSION *026*-0001'RECE'VEn WASHINGTON, D.C. b'jc 21 9 12 1111 '96 pos~*i RATifCUHHiSSlO~ SPECIAL SERVICES FEES AND CLASSIFICATIONS HOtiOn A. of Mailers the of OCA's Proposed Is Proper and proceeding as Association Office OCA asks the the is Postal o~THEsECRETART No. WC96-3 MAJOR WAILERS ASSOCIATION'S ANSWER SUPPORT OF OCA's MOTION FOR EXTENSICNS IN THE PROCEDURAL SCHEDULE AND OTHER PROCEDURAL RELIEF IN WajOr Docket 1 0~~,~~ supports Consumer the August Advocate (OCA). ""declar[e] that 12, 1996 Sanction Necessary Commission subject to Service complies to a day-for-day extension with [these] the instant un,til such time request for Commissiion Orders...." In its July reconsideration, 15 response to the Postal Service's WWA stated: In general will always confrontation rate cases like Docket No. be under pressure to avoid with the Postal Service l l R94-1, the Commission resolving the over this issue. l No such sense of urgency attaches to this DockLet No. MC96-3 The Postal Service's current revenues exceed proceeding. In any and they will do so for the near future. its costs, the Postal Service proposes in Docket No. HC96-3, event, higher rates for only a few minor services, with minimal In these circumstance, the Commission will revenue impact. be free to extend the 10 month time period--as; Section 3624(c)(2) contemplates--if the Postal Service! "unreasonably delay[s] consideration of [its] request...by failing to respond within a reasonable time to [a] lawful order of the Commission.. .'I (39 USC 53624(c) (2)). -..I This Docket thus presents the 1 Commission with a,*ra,re ;: i WCKFFf7 AUh2 1,1996 opportunity should seize These B. same its is refusal Service August In (Statement, would require single the costing Service preferred to methodology. provide the preferred new is The information in is system in the those in position wrong." The exhibits using did not arguments. only the asserting Orders that asked the Commission the did the Service for the the Service Service's not Service's order substitution to the 2 Commission's its Commission addition Although August mistaken Commission in its justify WWA.) "abandon its to Orders. in with information request. attempt fallacies to The exhibits. provide the Service withdraw OCA's Service's refusals compliance Service Commission the To Obey The lgUnreasonablell ABA and Postal that the subclass order to 4) its of of Commission's WWA exposed the p. the and grant Postal excuse 13 Comments addition, the with to ABA and support to comply principles, Refusal Order Is no merit attempted Statement, (See Service's Lawful to its considerations The Postal Commission's There to vindicate it. Service's to already-provided information. Obeying Service's of the to Orders champion Commission-approved of reviewing Service's When ,I-- Commission ability comparison any the the court two will its not preferred methodologies' make the the intelligent in place a side-by-side effects, an from methodology With methodology. --can detract Commission--and appraisal of the claims. the Postal Service asks established allocation method, information allowing a comparison the it Commission should between 2 to be willinq the financial abandon to an supply impact Of (1) - its This new technique concept is Regulations codified, for the which (1991)), and Public (2) the Commission-established for example, Service in the method. D.C. Commission (15 Municipal DCWR 5200.2 provide: Whenever, in a rate change application, a party proposes to change the ratemaking principles adopted in its most recent rate case, the party shall also file with its 5200.1 filing [an application for changed rates] a statement describing each proposed change in the ratemaking principles adopted by the Commission in showing the applicant's last general rate proceeding, the effect request if of each no such such change upon the applicant's changes were made. (Emphasis supplied.) In this proceeding, do no more than require reasonable within THEREFORE, requested by the Docket full 30396-3, this disclosure meaning of WMA requests and Section the Commission's are, 3624(c) Commission to Orders therefore, (2). grant the relief OCA. Respectfully submitted, (?iiik&60 Nineteenth St. N.W. Suite 400 Washington, DC 20036 (202) 466-8260 Phone: counsel August 21, I hereby document upon by First-Class 21, OF SERVICE certify that the U.S. Mail. I have this 1996 3 -.- WWA 1996 CERTIFICATE August for day served the foregoing nd upon the other parties
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