Periodic Reporting Rules, 71643-71645 [2010-29558]
Download as PDF
Federal Register / Vol. 75, No. 226 / Wednesday, November 24, 2010 / Proposed Rules
USPS further deletes the reference to
‘‘out-of-bounds delivery receptacles’’ in
favor of language recognizing that Group
E PO Box service is not available when
a physical address receives any form of
USPS carrier delivery. Confusion over
the intent of the meaning of ‘‘out-ofbounds’’ obscured the larger context
wherein Group E service should never
supplement a physical location’s carrier
delivery service. Clarifying the intent
and eliminating this confusion may
cause existing Group E customers to
lose Group E eligibility for their
physical addresses, while others whose
physical locations the USPS chooses not
to provide carrier service to may become
eligible for Group E service.
The Postal Service also revises DMM
508.4.6.3 to acknowledge carrier
delivery service, once established to a
particular physical address, eliminates
Group E eligibility. Improved language
in this section illustrates situations
where no eligibility for Group E arises
either because carrier delivery is
available or because action (or inaction)
by third parties precludes USPS from
extending carrier delivery.
Although we are exempt from the
notice and comment requirements of the
Administrative Procedure Act [5 U.S.C.
of 553 (b), (c)] regarding proposed
rulemaking by 39 U.S.C. 410(a), we
invite public comments on the
following proposed revisions to Mailing
Standards of the United States Postal
Service, Domestic Mail Manual (DMM),
incorporated by reference in the Code of
Federal Regulations. See 39 CFR 111.1.
List of Subjects in 39 CFR Part 111
Administrative practice and
procedure, Postal Service.
Accordingly, 39 CFR part 111 is
proposed to be amended as follows:
PART 111—[AMENDED]
1. The authority citation for 39 CFR
part 111 continues to read as follows:
jdjones on DSK8KYBLC1PROD with PROPOSALS-1
Authority: 5 U.S.C. 552(a); 13 U.S.C. 301–
307; 18 U.S.C. 1692–1737; 39 U.S.C. 101,
401, 403, 404, 414, 416, 3001–3011, 3201–
3219, 3403–3406, 3621, 3622, 3626, 3632,
3633, and 5001.
2. Revise the following sections of
Mailing Standards of the United States
Postal Service, Domestic Mail Manual
(DMM) as follows:
Mailing Standards of the United States
Postal Service, Domestic Mail Manual
(DMM)
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*
*
500
Additional Mailing Services
*
*
*
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*
*
15:12 Nov 23, 2010
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508
Recipient Services
*
*
4.0
Post Office Box Service
*
*
4.6
Fee Group Assignments
*
*
*
*
*
*
*
*
*
*
*
[Revise title, introductory text and items
4.6.2a, b and c, and eliminate item d in
its entirety as follows:]
4.6.2 Free PO Box Service (Group E)
Customers may qualify for Group E
(free) PO Box service at a Post Office
location if their physical address
location meets all of the following
criteria:
a. The physical address is within the
geographic delivery ZIP Code
boundaries administered by a Post
Office.
b. The physical address constitutes a
potential carrier delivery point of
service.
c. USPS does not provide carrier
delivery to a mail receptacle at or near
that physical address for reasons other
than the conditions in 4.6.3b.
71643
c. A customer must pay the applicable
fee for each PO Box requested in
addition to the initial free Group E PO
Box.
d. The online application tools
described in 4.3.1b cannot be used for
free PO Box service.
*
*
*
*
*
We will publish an appropriate
amendment to 39 CFR part 111 to reflect
these changes if our proposal is
adopted.
Stanley F. Mires,
Chief Counsel, Legislative.
[FR Doc. 2010–29537 Filed 11–23–10; 8:45 am]
BILLING CODE 7710–12–P
POSTAL REGULATORY COMMISSION
39 CFR Part 3050
[Docket No. RM2011–3; Order No. 589]
Periodic Reporting Rules
Postal Regulatory Commission.
Notice of proposed rulemaking.
AGENCY:
ACTION:
The Commission is initiating
the first strategic rulemaking since
[Revise title and introductory text of
enactment of a postal reform law in
4.6.3 and add new items a through d as
2006. The broad focus is on product cost
follows:]
estimation. This document provides
4.6.3 Additional Standards for Free PO background information on the scope of
Box Service
a strategic rulemaking, identifies several
potential areas for study, and seeks
Only one Group E (free) PO Box may
suggestions for additional topics. It also
be obtained for each potential carrier
notes that a public forum, conducted as
delivery point of service, under the
a technical conference, may be held in
following conditions:
the future.
a. Group E PO Box customers are
assigned the smallest available box that
DATES: Comments are due: February 18,
reasonably accommodates their daily
2011.
mail volume.
ADDRESSES: Submit comments
b. Eligibility for Group E PO Boxes
electronically via the Commission’s
does not extend to:
Filing Online system. Commenters who
1. Individual tenants, contractors,
cannot submit filings electronically
employees, or other individuals
should contact the person identified in
receiving or eligible to receive singlethe FOR FURTHER INFORMATION CONTACT
point delivery to a location such as a
section for advice on alternatives.
hotel, college, military installation,
FOR FURTHER INFORMATION CONTACT:
campground, or transient trailer park.
Stephen L. Sharfman, General Counsel,
2. Locations served, or eligible to be
at stephen.sharfman@prc.gov or 202–
served, by centralized delivery or
789–6820.
grouped receptacles such as cluster box
SUPPLEMENTARY INFORMATION: 39 U.S.C.
units, apartment style receptacles,
3652(a) through (c) describe the reports
mailrooms, or clusters of roadside
that the Postal Service is to provide to
receptacles.
the Commission to enable it to evaluate
3. Locations where town ordinances,
the Postal Service’s compliance with the
private roads, gated communities,
various requirements and standards of
unimproved or poorly maintained
the Postal Accountability and
roadways, unsafe conditions, or other
conditions preclude extension of carrier Enhancement Act (PAEA). Section
3652(e) provides that the Commission
delivery.
shall prescribe the form and content of
4. Locations served by a delivery
those reports. Section 3652(e)(2)
receptacle that a customer chooses to
locate along a carrier’s line of travel, and authorizes the Commission to initiate
proceedings to improve the quality,
to which the Postal Service makes
accuracy, or completeness of the data
delivery.
PO 00000
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Fmt 4702
Sfmt 4702
SUMMARY:
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71644
Federal Register / Vol. 75, No. 226 / Wednesday, November 24, 2010 / Proposed Rules
provided in the Postal Service’s annual
compliance reports.
In Docket No. RM2008–4, the
Commission described the framework
that it contemplated for assuring that
appropriate changes or additions are
made both to the methods for collecting
and reporting data, and to the methods
for analyzing or modeling those data to
develop the estimates that are reported
to the Commission under section 3652.
Order No. 104, issued August 22, 2008,1
observed that
jdjones on DSK8KYBLC1PROD with PROPOSALS-1
A strategic rulemaking would be designed
to make the ongoing development of analysis
in cost causation or other areas of analysis as
orderly and efficient as possible. It would
take an inventory of longer-term data
collection and analysis needs. It is likely to
involve plans to meet those needs over a
horizon longer than a year. It might focus on
existing data collection systems that need to
be improved or new data collection programs
that need to be established. It might list
existing analytical studies that need to be
updated, or new analytical studies that need
to be undertaken. The scope of a strategic
rulemaking would be broad, since one of its
purposes would be to compare the likely cost
and benefits of improved data or analysis in
different areas of research, and the lead time
required to conduct the research. The
purpose would be to prioritize research
projects and draw up a tentative schedule for
conducting them.
A strategic rulemaking is likely to be
general in focus and exploratory in nature in
its early stages. Accordingly, the procedures
followed would be quite flexible. They might
begin with the equivalent of a prehearing
conference in which interested parties
identify areas in which research is most
needed and most likely to bear fruit. Once a
strategic rulemaking has identified and
prioritized areas of needed research, it would
then narrow its focus to specific data to be
gathered or studies to be performed. The
Notice of Proposed Rulemaking would be
expected to culminate in Commission
approval of a list of research projects to be
undertaken and a preliminary projected time
table for their completion.
Id. at 32–33.
Order No. 104 contemplated that a
strategic rulemaking would develop an
inventory of longer-term data collection
and analysis needs, comprehensively
evaluate these needs, and devise a plan
for meeting these needs, with input
from mailers, the interested public, the
Postal Service and Commission staff. Id.
This proceeding is the Commission’s
first strategic rulemaking. The
Commission is aware that it comes at a
time when the Postal Service is under
considerable financial pressure. At the
same time, the Commission is aware
that it is necessary to have accurate
1 Docket No. RM2008–4, Notice of Proposed
Rulemaking Prescribing Form and Content of
Periodic Reports, August 22, 2008 (Order No. 104).
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estimates of product costs in order to
understand the net revenue
consequences of the rates and discounts
that the Postal Service selects. For this
reason, the benefits of obtaining
accurate estimates of product costs can
far outweigh the expense of properly
designed data collection systems and
properly executed analysis.
Existing cost systems can become
inaccurate or lose their relevance due to
changes in operations or product
offerings. Also, opportunities to develop
more accurate estimates can arise if new
sources of information, such as the
Intelligent Mail barcode (IMb), become
available. The Commission is mindful
that modifications or improvements to
cost estimation methods should only be
undertaken when there is substantial
reason to believe that existing systems
are obsolete or otherwise inaccurate. For
a publicly-owned entity like the Postal
Service, changes to the level and quality
of the business information that guides
its operations should be based on
understanding among the Postal
Service, its stakeholders, and the
regulator, about the need for, and the
value of the changes. The Commission
hopes that the postal community will
weigh both the costs and benefits of any
proposed changes and provide input on
what improvements in data collection
and analysis warrant attention in the
near term and what improvements
would be warranted over a longer time
horizon. Of those that are considered to
be warranted over the near term,
comments are requested concerning
which research topics should be given
priority, and what time frame should be
considered feasible for completing the
research.
Interested persons may propose areas
of research that they think are needed,
and may use the list of possible
candidates in the attachment to this
order as a starting point. In doing so,
they should consider the magnitude of
the candidate’s potential impact on
estimated volumes, costs or revenues;
the time and expense likely to be
required to resolve it; and its potential
relevance to determining compliance
with the standards of the PAEA or
supporting the various studies and
reports that the PAEA requires the
Commission to prepare.
To begin the discussion, the
Commission identifies several candidate
areas for study in the attachment. There
are a number of narrower cost and
revenue estimation issues that have
been identified in the Commission’s
recent Annual Compliance
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Fmt 4702
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Determinations and not yet resolved.2
Commenters may wish to express an
opinion on which of these data
reporting topics and estimation issues
should be included in this strategic
rulemaking planning process, and
which are better left to the traditional
rulemaking procedure in which
petitions are filed to request that the
Commission make specific changes or
additions to established analytical
principles. Finally, the Commission’s
periodic data reporting rules currently
have placeholders for data required to
calculate the cost of the Postal Service’s
Universal Service Obligation (see 39
CFR 3050.30) and data required to
estimate the quality of service (see 39
CFR 3050.53). These topics will be
addressed in separate dockets.
Following the submission of initial
comments, the Commission will select
an appropriate time to host a public
forum. The public forum will function
as a technical conference. Subject matter
experts from the Postal Service,
interested participants, and Commission
staff will have an opportunity to
interactively discuss matters, such as
feasibility and cost, which would bear
on the priority that should be assigned
to the various research topics that are in
need of further study. Proposed
modifications to the list of topics and
tentative prioritization of them will be
2 With respect to recognizing shape differences in
the first-ounce rate for First-Class Mail, see 2008
Annual Compliance Determination, March 30,
2009, at 54 (2008 ACD) and 2009 Annual
Compliance Determination, March 29, 2010, at 73
(2009 ACD). With respect to Periodicals, estimating
what portion receives an automated incoming sort
is discussed in Docket No. RM2010–6, Order No.
400, January 28, 2010; how the cost models should
treat allied costs is discussed in the 2008 ACD at
57–58; and calculating the proper percentage of 5digit bundles, analyzing weight-related cost pools,
and gathering Periodicals-specific field data is
discussed in Docket No. RM2009–1, Order No. 170,
January 12, 2009. With respect to Standard Mail,
properly allocating the costs of letters ineligible for
the letter rate is discussed in the 2008 ACD at 64–
65; negative cost avoidances between Basic and
High Density parcels is discussed in the 2007 ACD
at 96–97, the 2008 ACD at 66–67, and the 2009 ACD
at 88–90; and reconciling the costs estimated for
nonprofit Standard Mail with total Standard Mail
costs is discussed in USPS–27 FY 2008 Nonprofit
Mail Cost Approximations, December 29, 2008, and
the 2008 Annual Compliance Report (ACR). With
respect to Bound Printed Matter, the need for new
methods for estimating the costs avoided by
presorting is discussed in the 2008 ACD at 75–76,
and the 2009 ACD at 100. The need to develop
methods for estimating the costs of new stand-alone
Special Services is discussed in the 2009 ACD at
106; the need for distinguishing the costs of Stamp
Fulfillment Services from Philatelic Services is
discussed in Docket No. MC2009–19, Order No.
487, July 13, 2010, at 5–6; and the need for
distinguishing the costs of IMTS-outbound from
IMTS-inbound is discussed in the 2009 ACD at 120.
Estimating mailer-specific costs by indirect means
is discussed in the 2009 ACR in USPS–FY–09 at
109, and the need for improvements is discussed in
the 2009 ACD.
E:\FR\FM\24NOP1.SGM
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jdjones on DSK8KYBLC1PROD with PROPOSALS-1
Federal Register / Vol. 75, No. 226 / Wednesday, November 24, 2010 / Proposed Rules
addressed at the forum. Participants at
the public forum may also discuss a
protocol whereby the Postal Service or
outside contractor conducting a study
growing out of this proceeding would
afford an opportunity for outside review
and input at interim stages. Additional
technical conferences may be scheduled
to discuss a particular research item or
set of items in greater depth.
The Commission will balance the
urgency and importance of resolving
each issue with the practical
considerations of time, cost, and other
resource limitations. A schedule with
target dates for beginning data collection
efforts or completing an initial group of
analytical studies will be developed.
Formal proposals to change or
supplement current analytical
principles are expected to grow out of
the research completed in response to
this proceeding. Such proposals will be
vetted as they are now in informal
rulemakings devoted to specific detailed
changes.
Topics in attachment. [This material
appears as an attachment to Order No.
589 as published on the Commission
Web site]. Some candidate areas for
improvements in data collection and
analysis [include:]
1. The data underlying the current
estimates of the variability of City
Carrier street time were collected in
2002, and the subsequent update of the
input data in 2004 produced
substantially different results which
have not been fully examined in public.
Current (and future) operations may
differ from those measured in 2002 due
to volume declines, route adjustments,
and the introduction of FSS. The
expense of an appropriate study and its
potential to broadly impact attributable
cost estimates are likely to be
substantial. Therefore, it would be
preferable to develop a consensus as to
the general design and scope of a study
before beginning any data collection. It
may also be appropriate to investigate
the suitability of data from existing
collection systems (e.g., Delivery
Operations Information System) to
reduce the need for reliance on one-time
studies.
2. Mail processing is the largest
source of volume-variable costs in the
postal system. Despite its prominence,
its volume variability has never been
successfully modeled. The Commission
currently uses a general assumption that
mail processing costs vary in proportion
to volume with the exception of a few
minor operations. Mail processing might
not vary in proportion to volume in
certain processing environments.
Considerable progress has been made in
developing a valid theoretical approach
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15:12 Nov 23, 2010
Jkt 223001
to modeling volume-variable mail
processing costs. However, lack of data
on volumes finalized at processing
plants that are reasonably free of
measurement error has remained an
obstacle to implementing a theoretically
sound approach.3 An important area of
investigation is whether this obstacle
could be overcome through ubiquitous
use of an IMb that tracks each piece of
bulk-entered mail through the mail
processing network, coupled with the
use of mail history data that tracks each
individually-entered piece of mail
through that network. Id. at ¶ 92, n.15,
and ¶ 102, n.20. If comprehensive
tracking of plant-level volumes is not
realistic anytime soon, the potential
value of modeling mail processing costs
with the aid of plant-specific piece
handling and other data should be
evaluated. Plant-specific data might
furnish instrumental variables capable
of overcoming the problem of
measurement error in what is supposed
to serve as the volume variable (id.,
¶¶ 148–156) and might provide valuable
control variables that would make
successful modeling of mail processing
cost variability more feasible.
3. In Docket No. ACR2008, the Postal
Service identified group-specific costs
for competitive products in Cost
Segment 18 (Administration and
Regional Operations) that are incurred
for only one product group. The Postal
Service identified these costs through a
management questionnaire sent to all
Headquarter’s finance number groups
asking whether the work conducted
within that finance number was for the
support of one specific product or a
group of products. Additional work in
this area would include the expansion
of this exercise to other cost segments,
as well as the possible development of
decision rules to designate mixed group
activity costs as group specific.4
4. The study underlying the
variability of Cost Segment 8, Vehicle
Service Drivers (VSDs), was adopted in
Docket No. R97–1 and has not been
revised. Changes in operations are likely
to have altered the behavior of VSD
costs since this study, and therefore the
need for an updated study should be
assessed. Also, when the Commission
recently approved the short-term use of
the Intra-SCF cubic-foot-miles proxy as
the VSD distribution key, it instructed
the Postal Service to move away from
the use of proxies. Id. at 39. In the 2009
ACR, the Postal Service indicated that it
3 See
PRC Op. R2006–1, ¶¶ 85–122.
Docket No. RM2008–2, Order No. 115,
Order Accepting Certain Analytical Principles for
Use in the Postal Service’s Periodic Reports,
October 10, 2008, at 11–13.
4 See
PO 00000
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71645
planned to sample VSD in FY 2010, but
that it had no current plans to review
the variability.5 The Postal Service’s
schedule for these efforts could be
reviewed in this docket.
5. The Postmaster Variability Study
was completed in 1984. It has not been
updated and may no longer be
representative of current variability of
postmaster costs.6 Specifically,
according to the OIG, the analysis used
FY 1979 postmaster salaries and FY
1978 Workload Service Credit (WSC)
Index data to determine that the
estimated postmaster variability was
18.23 percent. For example, the
minimum postmaster salary for
Executive and Administrative Schedule
(EAS)–23 increased from $22,500 in
1979 to $52,433 in 2008.7 The difficulty
of developing an up-to-date analysis of
postmaster variability could be
explored.8
It is ordered:
1. Initial comments are due on or
before February 18, 2011.
2. Pursuant to 39 U.S.C. 505, Robert
N. Sidman is designated as the Public
Representative in this proceeding to
represent the interests of the general
public.
3. The Secretary shall arrange for
publication of this order in the Federal
Register.
By the Commission.
Ruth Ann Abrams,
Acting Secretary.
[FR Doc. 2010–29558 Filed 11–23–10; 8:45 am]
BILLING CODE 7710–FW–P
5 See Docket No. ACR2009, USPS–FY09–9—FY
2009 ACR Roadmap Document, December 29, 2009,
at 112.
6 United States Postal Service, Office of Inspector
General (OIG), Audit Report—Management of
Special Studies (Report Number CRR–AR–10–
0002), March 19, 2010, at 2 (OIG Report).
7 The 1984 study was based on postmaster
salaries EAS–22 and below, which has since
changed to include EAS–23.
8 The Commission accepted the Postmaster
Variability Study in 1984. At that time, the
Commission recommended the Postal Service
update the study with current salary and WSC data
in subsequent rate cases. According to the OIG, in
1997 and again in 2007, the Postal Service
considered conducting a new study; however,
management set aside the study due to higher
priority work. The OIG says that Postal Service
personnel stated they are awaiting Commission
guidance to prioritize updating the Postmaster
Variability Study. See OIG Report, Appendix B, for
detailed analysis of this topic.
E:\FR\FM\24NOP1.SGM
24NOP1
Agencies
[Federal Register Volume 75, Number 226 (Wednesday, November 24, 2010)]
[Proposed Rules]
[Pages 71643-71645]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2010-29558]
-----------------------------------------------------------------------
POSTAL REGULATORY COMMISSION
39 CFR Part 3050
[Docket No. RM2011-3; Order No. 589]
Periodic Reporting Rules
AGENCY: Postal Regulatory Commission.
ACTION: Notice of proposed rulemaking.
-----------------------------------------------------------------------
SUMMARY: The Commission is initiating the first strategic rulemaking
since enactment of a postal reform law in 2006. The broad focus is on
product cost estimation. This document provides background information
on the scope of a strategic rulemaking, identifies several potential
areas for study, and seeks suggestions for additional topics. It also
notes that a public forum, conducted as a technical conference, may be
held in the future.
DATES: Comments are due: February 18, 2011.
ADDRESSES: Submit comments electronically via the Commission's Filing
Online system. Commenters who cannot submit filings electronically
should contact the person identified in the FOR FURTHER INFORMATION
CONTACT section for advice on alternatives.
FOR FURTHER INFORMATION CONTACT: Stephen L. Sharfman, General Counsel,
at stephen.sharfman@prc.gov or 202-789-6820.
SUPPLEMENTARY INFORMATION: 39 U.S.C. 3652(a) through (c) describe the
reports that the Postal Service is to provide to the Commission to
enable it to evaluate the Postal Service's compliance with the various
requirements and standards of the Postal Accountability and Enhancement
Act (PAEA). Section 3652(e) provides that the Commission shall
prescribe the form and content of those reports. Section 3652(e)(2)
authorizes the Commission to initiate proceedings to improve the
quality, accuracy, or completeness of the data
[[Page 71644]]
provided in the Postal Service's annual compliance reports.
In Docket No. RM2008-4, the Commission described the framework that
it contemplated for assuring that appropriate changes or additions are
made both to the methods for collecting and reporting data, and to the
methods for analyzing or modeling those data to develop the estimates
that are reported to the Commission under section 3652. Order No. 104,
issued August 22, 2008,\1\ observed that
---------------------------------------------------------------------------
\1\ Docket No. RM2008-4, Notice of Proposed Rulemaking
Prescribing Form and Content of Periodic Reports, August 22, 2008
(Order No. 104).
A strategic rulemaking would be designed to make the ongoing
development of analysis in cost causation or other areas of analysis
as orderly and efficient as possible. It would take an inventory of
longer-term data collection and analysis needs. It is likely to
involve plans to meet those needs over a horizon longer than a year.
It might focus on existing data collection systems that need to be
improved or new data collection programs that need to be
established. It might list existing analytical studies that need to
be updated, or new analytical studies that need to be undertaken.
The scope of a strategic rulemaking would be broad, since one of its
purposes would be to compare the likely cost and benefits of
improved data or analysis in different areas of research, and the
lead time required to conduct the research. The purpose would be to
prioritize research projects and draw up a tentative schedule for
conducting them.
A strategic rulemaking is likely to be general in focus and
exploratory in nature in its early stages. Accordingly, the
procedures followed would be quite flexible. They might begin with
the equivalent of a prehearing conference in which interested
parties identify areas in which research is most needed and most
likely to bear fruit. Once a strategic rulemaking has identified and
prioritized areas of needed research, it would then narrow its focus
to specific data to be gathered or studies to be performed. The
Notice of Proposed Rulemaking would be expected to culminate in
Commission approval of a list of research projects to be undertaken
and a preliminary projected time table for their completion.
Id. at 32-33.
Order No. 104 contemplated that a strategic rulemaking would
develop an inventory of longer-term data collection and analysis needs,
comprehensively evaluate these needs, and devise a plan for meeting
these needs, with input from mailers, the interested public, the Postal
Service and Commission staff. Id. This proceeding is the Commission's
first strategic rulemaking. The Commission is aware that it comes at a
time when the Postal Service is under considerable financial pressure.
At the same time, the Commission is aware that it is necessary to have
accurate estimates of product costs in order to understand the net
revenue consequences of the rates and discounts that the Postal Service
selects. For this reason, the benefits of obtaining accurate estimates
of product costs can far outweigh the expense of properly designed data
collection systems and properly executed analysis.
Existing cost systems can become inaccurate or lose their relevance
due to changes in operations or product offerings. Also, opportunities
to develop more accurate estimates can arise if new sources of
information, such as the Intelligent Mail barcode (IMb), become
available. The Commission is mindful that modifications or improvements
to cost estimation methods should only be undertaken when there is
substantial reason to believe that existing systems are obsolete or
otherwise inaccurate. For a publicly-owned entity like the Postal
Service, changes to the level and quality of the business information
that guides its operations should be based on understanding among the
Postal Service, its stakeholders, and the regulator, about the need
for, and the value of the changes. The Commission hopes that the postal
community will weigh both the costs and benefits of any proposed
changes and provide input on what improvements in data collection and
analysis warrant attention in the near term and what improvements would
be warranted over a longer time horizon. Of those that are considered
to be warranted over the near term, comments are requested concerning
which research topics should be given priority, and what time frame
should be considered feasible for completing the research.
Interested persons may propose areas of research that they think
are needed, and may use the list of possible candidates in the
attachment to this order as a starting point. In doing so, they should
consider the magnitude of the candidate's potential impact on estimated
volumes, costs or revenues; the time and expense likely to be required
to resolve it; and its potential relevance to determining compliance
with the standards of the PAEA or supporting the various studies and
reports that the PAEA requires the Commission to prepare.
To begin the discussion, the Commission identifies several
candidate areas for study in the attachment. There are a number of
narrower cost and revenue estimation issues that have been identified
in the Commission's recent Annual Compliance Determinations and not yet
resolved.\2\ Commenters may wish to express an opinion on which of
these data reporting topics and estimation issues should be included in
this strategic rulemaking planning process, and which are better left
to the traditional rulemaking procedure in which petitions are filed to
request that the Commission make specific changes or additions to
established analytical principles. Finally, the Commission's periodic
data reporting rules currently have placeholders for data required to
calculate the cost of the Postal Service's Universal Service Obligation
(see 39 CFR 3050.30) and data required to estimate the quality of
service (see 39 CFR 3050.53). These topics will be addressed in
separate dockets.
---------------------------------------------------------------------------
\2\ With respect to recognizing shape differences in the first-
ounce rate for First-Class Mail, see 2008 Annual Compliance
Determination, March 30, 2009, at 54 (2008 ACD) and 2009 Annual
Compliance Determination, March 29, 2010, at 73 (2009 ACD). With
respect to Periodicals, estimating what portion receives an
automated incoming sort is discussed in Docket No. RM2010-6, Order
No. 400, January 28, 2010; how the cost models should treat allied
costs is discussed in the 2008 ACD at 57-58; and calculating the
proper percentage of 5-digit bundles, analyzing weight-related cost
pools, and gathering Periodicals-specific field data is discussed in
Docket No. RM2009-1, Order No. 170, January 12, 2009. With respect
to Standard Mail, properly allocating the costs of letters
ineligible for the letter rate is discussed in the 2008 ACD at 64-
65; negative cost avoidances between Basic and High Density parcels
is discussed in the 2007 ACD at 96-97, the 2008 ACD at 66-67, and
the 2009 ACD at 88-90; and reconciling the costs estimated for
nonprofit Standard Mail with total Standard Mail costs is discussed
in USPS-27 FY 2008 Nonprofit Mail Cost Approximations, December 29,
2008, and the 2008 Annual Compliance Report (ACR). With respect to
Bound Printed Matter, the need for new methods for estimating the
costs avoided by presorting is discussed in the 2008 ACD at 75-76,
and the 2009 ACD at 100. The need to develop methods for estimating
the costs of new stand-alone Special Services is discussed in the
2009 ACD at 106; the need for distinguishing the costs of Stamp
Fulfillment Services from Philatelic Services is discussed in Docket
No. MC2009-19, Order No. 487, July 13, 2010, at 5-6; and the need
for distinguishing the costs of IMTS-outbound from IMTS-inbound is
discussed in the 2009 ACD at 120. Estimating mailer-specific costs
by indirect means is discussed in the 2009 ACR in USPS-FY-09 at 109,
and the need for improvements is discussed in the 2009 ACD.
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Following the submission of initial comments, the Commission will
select an appropriate time to host a public forum. The public forum
will function as a technical conference. Subject matter experts from
the Postal Service, interested participants, and Commission staff will
have an opportunity to interactively discuss matters, such as
feasibility and cost, which would bear on the priority that should be
assigned to the various research topics that are in need of further
study. Proposed modifications to the list of topics and tentative
prioritization of them will be
[[Page 71645]]
addressed at the forum. Participants at the public forum may also
discuss a protocol whereby the Postal Service or outside contractor
conducting a study growing out of this proceeding would afford an
opportunity for outside review and input at interim stages. Additional
technical conferences may be scheduled to discuss a particular research
item or set of items in greater depth.
The Commission will balance the urgency and importance of resolving
each issue with the practical considerations of time, cost, and other
resource limitations. A schedule with target dates for beginning data
collection efforts or completing an initial group of analytical studies
will be developed. Formal proposals to change or supplement current
analytical principles are expected to grow out of the research
completed in response to this proceeding. Such proposals will be vetted
as they are now in informal rulemakings devoted to specific detailed
changes.
Topics in attachment. [This material appears as an attachment to
Order No. 589 as published on the Commission Web site]. Some candidate
areas for improvements in data collection and analysis [include:]
1. The data underlying the current estimates of the variability of
City Carrier street time were collected in 2002, and the subsequent
update of the input data in 2004 produced substantially different
results which have not been fully examined in public. Current (and
future) operations may differ from those measured in 2002 due to volume
declines, route adjustments, and the introduction of FSS. The expense
of an appropriate study and its potential to broadly impact
attributable cost estimates are likely to be substantial. Therefore, it
would be preferable to develop a consensus as to the general design and
scope of a study before beginning any data collection. It may also be
appropriate to investigate the suitability of data from existing
collection systems (e.g., Delivery Operations Information System) to
reduce the need for reliance on one-time studies.
2. Mail processing is the largest source of volume-variable costs
in the postal system. Despite its prominence, its volume variability
has never been successfully modeled. The Commission currently uses a
general assumption that mail processing costs vary in proportion to
volume with the exception of a few minor operations. Mail processing
might not vary in proportion to volume in certain processing
environments. Considerable progress has been made in developing a valid
theoretical approach to modeling volume-variable mail processing costs.
However, lack of data on volumes finalized at processing plants that
are reasonably free of measurement error has remained an obstacle to
implementing a theoretically sound approach.\3\ An important area of
investigation is whether this obstacle could be overcome through
ubiquitous use of an IMb that tracks each piece of bulk-entered mail
through the mail processing network, coupled with the use of mail
history data that tracks each individually-entered piece of mail
through that network. Id. at ] 92, n.15, and ] 102, n.20. If
comprehensive tracking of plant-level volumes is not realistic anytime
soon, the potential value of modeling mail processing costs with the
aid of plant-specific piece handling and other data should be
evaluated. Plant-specific data might furnish instrumental variables
capable of overcoming the problem of measurement error in what is
supposed to serve as the volume variable (id., ]] 148-156) and might
provide valuable control variables that would make successful modeling
of mail processing cost variability more feasible.
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\3\ See PRC Op. R2006-1, ]] 85-122.
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3. In Docket No. ACR2008, the Postal Service identified group-
specific costs for competitive products in Cost Segment 18
(Administration and Regional Operations) that are incurred for only one
product group. The Postal Service identified these costs through a
management questionnaire sent to all Headquarter's finance number
groups asking whether the work conducted within that finance number was
for the support of one specific product or a group of products.
Additional work in this area would include the expansion of this
exercise to other cost segments, as well as the possible development of
decision rules to designate mixed group activity costs as group
specific.\4\
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\4\ See Docket No. RM2008-2, Order No. 115, Order Accepting
Certain Analytical Principles for Use in the Postal Service's
Periodic Reports, October 10, 2008, at 11-13.
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4. The study underlying the variability of Cost Segment 8, Vehicle
Service Drivers (VSDs), was adopted in Docket No. R97-1 and has not
been revised. Changes in operations are likely to have altered the
behavior of VSD costs since this study, and therefore the need for an
updated study should be assessed. Also, when the Commission recently
approved the short-term use of the Intra-SCF cubic-foot-miles proxy as
the VSD distribution key, it instructed the Postal Service to move away
from the use of proxies. Id. at 39. In the 2009 ACR, the Postal Service
indicated that it planned to sample VSD in FY 2010, but that it had no
current plans to review the variability.\5\ The Postal Service's
schedule for these efforts could be reviewed in this docket.
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\5\ See Docket No. ACR2009, USPS-FY09-9--FY 2009 ACR Roadmap
Document, December 29, 2009, at 112.
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5. The Postmaster Variability Study was completed in 1984. It has
not been updated and may no longer be representative of current
variability of postmaster costs.\6\ Specifically, according to the OIG,
the analysis used FY 1979 postmaster salaries and FY 1978 Workload
Service Credit (WSC) Index data to determine that the estimated
postmaster variability was 18.23 percent. For example, the minimum
postmaster salary for Executive and Administrative Schedule (EAS)-23
increased from $22,500 in 1979 to $52,433 in 2008.\7\ The difficulty of
developing an up-to-date analysis of postmaster variability could be
explored.\8\
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\6\ United States Postal Service, Office of Inspector General
(OIG), Audit Report--Management of Special Studies (Report Number
CRR-AR-10-0002), March 19, 2010, at 2 (OIG Report).
\7\ The 1984 study was based on postmaster salaries EAS-22 and
below, which has since changed to include EAS-23.
\8\ The Commission accepted the Postmaster Variability Study in
1984. At that time, the Commission recommended the Postal Service
update the study with current salary and WSC data in subsequent rate
cases. According to the OIG, in 1997 and again in 2007, the Postal
Service considered conducting a new study; however, management set
aside the study due to higher priority work. The OIG says that
Postal Service personnel stated they are awaiting Commission
guidance to prioritize updating the Postmaster Variability Study.
See OIG Report, Appendix B, for detailed analysis of this topic.
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It is ordered:
1. Initial comments are due on or before February 18, 2011.
2. Pursuant to 39 U.S.C. 505, Robert N. Sidman is designated as the
Public Representative in this proceeding to represent the interests of
the general public.
3. The Secretary shall arrange for publication of this order in the
Federal Register.
By the Commission.
Ruth Ann Abrams,
Acting Secretary.
[FR Doc. 2010-29558 Filed 11-23-10; 8:45 am]
BILLING CODE 7710-FW-P