I >A REW'EO BEFORE THE POSTAL RATE COMMISSION WASHINGTON, D.C. 20268-0001 4.4 i!Z J ;,IE ,PM ,, ‘01 Jp postal RATEc~“l,,,.rsIu OFFICEOFT”c $ECA;,ARH Y I , SPECIAL SERVICES REFORM, 1996 Docket No. IMC96-3 MOTION OF THE UNITED STATES POSTAL SERVICE FOR EXTENSION OF TIME TO RESPOND TO INTERROGATORIES FROM NASHUA/MYSTIC (NM/USPS-l-7) (August 22, 1996) On August directed 8, 1996, interrogatories On August Obligation Photo and Mystic NM/UPS-l 19, 1996, To Respond Commission’s Nashua through disposition 27 to the United the Postal Service To Interrogatories Color Lab (Nashua/Mystic) filed a Motion NM/USPS-S of its August States 16, 1996, For Relief From Its through Motion IPostal Service. 27, pending the For Reconsideration of PRC Order No. 1129. In accordance with Service will file tomorrow request for clarification than initially Service extent exceed will address /‘- interrogatories consider Responses addressing in tomorrow’s NM/USPS-l among inquiries Motion proposal the C:ommission’s PRC other things, is significa,ntly To Enlarge. supplemental through th,e Postal For Reconsidleration. to address, in their July 15, 1996, this point 20, 1996), for the Motion the Postal Service the scope of the classification Commission pleading the scope of Nashua/Mystic’s outlined to which a supplemental of the grounds Order No. 1 131 invites issue of whether PRC Order No. 1 131 (August the broader The Postal pleading, including the 7 appear to significantly that Nashua/Mystic: would have the in this proceeding. to NM/USPS-l through 7 are due today. Notwithstanding tlhe -- /-‘ importance Docket these the Postal Service NO. MC96-3 particular responses witnesses who would interrogatories, MC96-3 preparing responsibilities been able to prepare Putting the August pleading can prepare responses 6, 1996. relevant other non-Docket to interrogatories Accordingly, 7 in time for filing toclay, may grant in response For Reconsideration through through to and the the Postal Service NM/USPS-l No. has not through the Postal Service NM/USPS-l to the Postal Service of any relief the Commission to be filed tomorrow, responsefs to the scope of the case filed by the Accordingly, Motion requests, their time to preparing and obligations.’ to NM/USPS-l to discovery in preparing as well as juggling Postal Service to interrogatories be involved for hearings, aside the impact supplemental September requests responses 19, 1996, responses of late, have devoted to other discovery Postal Service, respond places on timely antic:ipates 7 for filing respectfully requests that it by Friday, leave to 7 by that date Respectfully UNITED submitted, STATES POSTAL SERVICE By its attorneys: Daniel J. Foucheaux, Jr. Chief Counsel, Ratemakinsg d4 Michael ? 2-&4--@3 T. Tidwell 475 L’Enfant Plaza West, S.W. Washington, D.C. 20260-I 137 (202) 268-2998; Fax -5402 August 22, 1996 ,r’. ’ Some of the interrogatories require analysis of information filed in Olocket No. R94-1 and other data on special services not at issue in this proceeding. -3CERTIFICATE OF SERVICE I hereby certify participants that of record I have this day served the foregoing in this proceeding in accordance document with of Practice. Michael 475 L’Enfant Plaza West, S.W. Washington, D.C. 20260-I 137 (202) 268-2998; Fax -5402 August 22, 1996 T. Tidwell upon all section1 12 of the Rules
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