ORIGINAL BEFORE THE POSTAL RATE COMMISSION WASHINGTON, D.C. 20268-0001 Mailing Online Service, 1998 i:~;;,’I::‘::.:; pES 1-1 ,; I’:~,i ~/ i Yj Docket No. MC98-1 ) OFFICE OF THE CONSUMER ADVOCATE INTERROGATORY TO MAIL ADVERTISING SERVICE ASSOCIATION/ PITNEY BOWES WITNESS: ROGER C. PRESCOTT (OCAIMASAIPB-Tl-1) (February 12, 1999) Pursuant to sections 25 and 26 of the Rules of Practice of the Postal Rate Commission, the Office of the Consumer Advocate interrogatory and request for production If data requested requested, of documents are not available in the exact format or level of detail any data available in (1) a substantially or (2) susceptible hereby submits an similar format or level of detail to being converted to the requested format and detail should be provided The production photocopies attached of documents to responses requested herein should be made by to these interrogatories. If production copies is infeasible due to the volume of material or otherwise, be made for inspection N.W., Washington, at the Office of the Consumer D.C. 20268-0001, The term “documents” memoranda, Advocate, of production should 1333 H Street, during the hours of 8:00 a.m. to 4:30 p.m. includes, but is not limited to: letters, telegrams, reports, studies, newspaper clippings, speeches, testi Docket No. MCg8-1 pamphlets, 2 charts, tabulations, and workpapers. includes other means by which information printouts, is recorded or transmitted, microfilms, cards, discs, tapes and recordings together with any written material necessary microfilms, The term “documents” also including used in data processing to understand or use such printouts, cards, discs, tapes or other recordings. “All documents” located, discovered means each document, or obtained limitation all documents as defined above, that can be by reasonable possessed diligent efforts, including without by: (a) you or your counsel; or (b) any other person or entity from whom you can obtain such documents you have a legal right to bring within your possession “Communications” conversations, by request or which by demand. includes, but is not limited to, any and all meetings, discussions and any other occasion for verbal exchange, whether in person or by telephone, including but not limited to letters, memoranda, as well as all documents, telegrams, cables, or electronic mail. “Relating to” means discussing, analyzing, studying, reporting, commenting forth, considering, part. Responses recommending, concerning, by workpapers. backup material whether prepared without consideration reflecting, containing, on, evidencing, constituting, or the derivation of numbers The term ‘workpapers” manually, setting or pertaining to, in whole or in to requests for explanations should be accompanied necessary, describing, mechanically or electronically, to the type of paper used. Such workpapers be prepared as part of the witness’s shall include all and should, if responses and should “show Docket No. MC98-1 3 what the numbers were, what numbers were added to other numbers to achieve a final result.” The witness should “prepare sufficient workpapers possible for a third party to understand and developed IO/279596. how he took data from a primary source that data to achieve his final results.” Where the arithmetic manipulations Docket No. R83-1, Tr. were performed by an electronic digital computer with internally stored instructions language intermediate so that it is printouts were prepared, and no English the arithmetic steps should be replicated by manual or other means. Please especially requested documents provide an explanation note that if you are unable to provide any of the or information, as to any of the interrogatories, for each instance in which documents cannot be or have not been provided. Respectfully SHELLEY Attorney submitted, S. DREIFUSS please or information Docket No. MC98-1 OCA/MASA/PB-Tl-1. 4 Please refer to your testimony at page 10, lines 5-13. a. Please define “mail preparation b. Please define the “competitive C. Please confirm that some of the 62 percent of business diverted from “private competitive services.” market for mail preparation firms to the USPS’ subcontractors” services.” could be diverted from firms that prepare mail in-house as an adjunct to major business activities, such as insurance company policy statements. If you do not confirm, please explain. d. Please provide any studies, reports or other evidence showing the proportion of the $121 million of business during the experiment diverted from firms that prepare mail in-house. CERTIFICATE OF SERVICE I hereby certify that I have this date served the foregoing all participants of record in this proceeding in accordance upon with section 12 of the rules of practice. Shelley S. Dreifuss Attorney Washington, D.C. 20268-0001 February 12, 1999 document
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