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DOCKET SECTION
BEFORE THE
POSTAL RATE COMMISSION
WASHINGTON, D. C. 20268-0001
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POSTAL RATE & FEE CHANGES, 1997
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SUPPLEMENTAL RESPONSE OF TIME WARNER INC. TO INTERROGATORY
OF THE UNITED STATES POSTAL SERVICE (USPS-lW.34)
(February 12, 1998)
Time Warner Inc. (Time Warner) hereby provides its supplemental
the following interrogatory
of the United States Postal Service: USPSfTW-34
response to
(filed
January 22, 1998).
Time Warner had previously filed an objection to portions of interrogatories
USPSTW-3-33
negotiations
on February 2, 1998. This supplemental
response is the result of
between Postal Service counsel and the undersigned
Warner and constitutes full compliance
counsel for Time
by Time Warner with its obligations
section 2.5 of the Rules of Practice with regard to those interrogatories,
The interrogatory
is stated verbatim and followed by the response
Resoectfullv
submitted,
Timothy L. Keegan
Counsel for
TIME WARNER INC.
Burzio & McLaughlin
Canal Square, Suite 540
1054 31st Street, N. W.
Washington, D. C. 20007-4403
te1/(202) 9654555
fax/(202) 965-4432
under
SUPPLEMENTAL RESPONSE OF TIME WARNER INC.
TO UNITED STATES POSTAL SERVICE
USPSITW-34.
Please provide all data furnished in response to interrogatories
through 33 in electronic format.
SUPPLEMENTAL
1
RFSPONSF
Pursuant to agreement
technical discussions
between Postal Service and Time Warner counsel and
between Postal Service consultants
and Time Warner
personnel, Time Warner has supplied to the Postal Service and is today filing as a
library reference TW LR H-5 the database “MaiLdat” in electronic format for the
February 23, 1998 issue of TIME magazine.
“MaiLdaY consists of twelve files linked by Key Fields. Each file has its own record
Header File
Segment File
Mail PC. Unit File
Mail PC. Unit/Component Relationship
Component File
Container Summary File
Container Label File
Container Quality File
Package Quality File
Walk Sequence Record
Seed Name Record
Package Label File
File
Time Inc.
Time Inc.
Time 8 Life Building, 3&h Float
1271 Avenue of the Americor
New York. NY 100201393
DECLARATION
I, JamesR. O’Brien, declareunder penalty of perjury that the foregoing answeris true and
correct, to the best of my knowledge, information and belief.
Date: crr7h’,. ‘/ ?f
/’ ’
$ector, Distribution & Postal Affairs
CERTIFICATE OF SERVICE
I hereby certify that I have this day served the foregoing document on all
participants of record in this proceeding in accordance with section 12 of the Rules of
Practice.
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c. I.(,--
Timothy L.‘Keegan
February 12, 1998
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