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BEFORE THE POSTAL RATE COMMISSION WASHINGTON, D.C. 20268-0001 RECEIVED 3 17 SEP 6 f’ii ‘96 POSTAL R:‘i: CCHhlSSiC,; OFFICE Oi Tt!E SWItETARY Special Services Fees and Classifications ) Docket No. MC96-3 OFFICE OF THE CONSUMER ADVOCATE MOTION TO COMPEL RESPONSES TO INTERROGATORIES 53 (b) AND (c), 54(b) AND (e), AND OCA/USPS-48, (September 6, 1996) The Office Presiding of Officer interrogatories and e), and 56. of corroboration of ,.,-- g,rounds Postal 53 Service 1 Objection 53(b) and cc), (el , September 3, OCA/USPS-48 manuals 54 to (parts information systems to b on the Ior statements objected requests FYs 1994 objects to and providing Commission's respond 'concerning thes,e 1996.l for the seek Service Service to b and c), estimating Postal on September COCA) request&tbat,the Service (parts cost The Postal that Advocate interrogatories earlier 'Interrogatory the the statistical interrogatories The Postal direct These systems. development Consumer OCA/USPS-48, reliability those the production 1995 the discovery in of cost electronic requested rules of the USPS to OCA Interrogatories and Partial Objection to 56(c), 3, 1996. format. material do not on permit OCA/USPS-40, OCA/USPS-54(b) and Docket such No. MC96-3 requests. of the of practice.2 2 The Postal rules of calculated evidence, as requiyed the relevance versions of computer, to its request two reliably assist cost overlooked on sections to using any changes The Postal Service special 48 is admissible of the rules of The OCA would have 1995 Postal when preparing practice. thought using identified, that Service testimony a much faster Such human eye. the rules The electronic can be compared to 26 not of the that the 25 and discovery 25(a) 1994 of interrogatory the manuals verifying 2.E was obvious. from than in lead objection. of the that by section and changes and more would asserts a relevance is relies and on section first reasonably This Service practice The Service 005206 a comparison has not or interrogatory interrogatory 48 is responses. permitted section by section provides designated relevant versions ,I- ' Id. of of hard the at argues of cost 2-3. the that rules participants or things The Postal material. production 26(a) that documents also copy is manuals. of which and copy constitute Service equivalent However, seems to That practice. may "inspect or to any contain" be arguing production as explained not of that electronic above, the Docket /-. No. MC96-3 electronic costing 3 version is methodology far than 0 0 5 2 f?: more is useful hard for copy. identifying The two changes are in in no way equivalent. Finally, permitted rule the by reads Service section 2.E argues of the that interrogatory special rules 48 is of not practice. That as follows.3 E. Discovery to Obtain Information Available Only from the Postal Service. Rules 25 through 27 ;allow discovery reasonably calculated to lead to adnvissible evidence during a noticed proceeding with no time limitations. Generally, through actions by the presiding officer, discovery against a participant is scheduled to end prior to the receipt into evidence of that participant's direct case. An exception to this procedure shall operate when a participant needs to obtain information (such as operating procedures or data) available only from the Postal Service. Discovery requests of this nature are permissi:ble up to 20 days prior to the filing date for final rebuttal testimony. The Postal Service interrogatories information ,..T directed necessary special rule develop testimony. setting the July mischaracterizes does to to not the limit for 3 Presiding 25, 1996. Officer's ' September 3 Objection Postal develop 2.E Ruling at to "to obtain testimony.' information to requests No. as pertaining Service to reference rule rule intervener requests The only deadline this MC96-3/3, 2 (emphasis needed testimony with The relates respect Attachment added). to to to the B, Docket No. MC96-3 4 005208 ,s.-. deadline for Presiding rule submitting Officer's 2.E of reason the for that the nothing OCA would estimates and actual Service (apparently) again IOCS. The OCA has Postal comparison as a means evaluating Service of ' Presiding at to requested material Service's delay in 40 is in finance with Ruling request office of the the request individual actual No. should IOCS estimates reliability numbers IOCS sensitivity of facility-specific of both by quarter. commercial compare evaluating performance IOCS estimates Officer's of The relevance can mask only interrogatory by sample on grounds of the OCA/USPS-53 by craft no interest the Postal than prophecy. The OCA wishes costs the costs the to that other event, use the interrogatory relevance.' actual of to is establishes any objection objects be obvious. means testimony And a purposes In a self-fulfilling b and c of The Postal for be.unable The Service's th;an clearly testimony.' it.6 F'arts ,-. rebuttal testimony. MC95-1 may be submitted of more rebuttal in preparation producing and Ruling requests preparation final in costs MC95-I/79, with the data as a offices. If a way that (e.g., allows by using October 5, 1995, 2. ' The OCA is perfectly willing to accept an electronic if there is no single irvtegrated That is, version "as is." that constitutes an electronic version of the cost Imanual, OCA is willing to accept multiple files. ;' September 3 Objection at 3-4. file the Docket ,,-. No. MC96-3 dummy finance Postal But of protect to acceptable seem to th#e request or commercial to ratios by quarter, would its is provide by office there relevance that wishes by craft OCA. to numbers), Service cost 5 of that be little of the interests the OCA. estimated to is acceptable doubt either ability of while If actual to of the the the the Postal Service in a useful responding way. E'arts c and sampling frame relevant for purpose by the assertion n the This number the IOCS is should ,,-. facilities that either being is in the deals sampled flawed, the requested frame defects the and 5. with If, the Contrary facilities the sampling IOCS estimates highly that the Ideally, is to not facilities instead, IOCS was postal IOCS. information be provided. ' PRC Op. MC96-2 at 28-29. ' September 3 Objection at solely OCA has are of opinion." of into inquiries reliability then "thousands," Such MC96-2 by the be zero. hopelessly event, its inquire the "thousands about should IOCS. Service,g interrogatory of the sampling in Postal OCA/USPS-54 evaluating of inquired had no chance In of Commission of (intentionally) such of The relevance recognized of interrogatory inadequacies the estimates. the e of number magnitude frame are of for worthless. relevant and Docket No. Part ,,.-. MC96,-3 c of interrogatory Service were interrogatory steps clearly requested to frame them in in determine 53(b) and cost the action ,the FY 1995 to 54(b) the to (e), the Service itself presiding interrogatories submitted, EMMETT RAND COSTICH Assistant Director " ;--. ----- See id. at 4. -.-- ~- would that not OCA is recognized and attempted frame Postal inadequacies Rather, and 56(c). Respectfully the The OCA has Service IOCS sampling with whether frame IOCS. treatment by the respond and correct Postal OCA requests Service cc), to (together determine estimates.lO needed Such to FY 1995 whether WHEREFORE the Postal the inadequacies that seeks FY 1996 FY 1996 FY 1996. admissiion for present any that the OCA/USPS-56 OCA/USPS-70) took seeking 6 to fix amount to was defective. officer to direct OCA/USPS-48, an Docket No. MC96-3 CERTIFICATE I: hereby document accordance upon with certify all that I have participants section 3.B(3) OF SERVICE this date of record of the in special served this D.C. 6, 1996 20268-0001 ,-. .-...__ - - ~.- foregoing proceeding rules EMMETT RAND COSTICH Attorney Washington, September the of in practice.
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