BEFORE THE RECEIVEL) POSTAL RATE COWWISSION WASHINGTON, DC 20268-0001 8 SEP 'i 35 AH'96 POSTNRAT: !COHP:~SIOH OFFICE Oi'THE SECRETARY SPECIAL SERVICES REFORR, 1996 Docket No. HC96-3 DOUGLAS F. CARLSON MOTION TO COMPEL UNITED STATES POSTAL SERVICE WITNESS JOHN F. LANDWEHR TO ANSWER INTERROGATORIES DFC/USPS-T3-3(d)-(f) August 31, 1996 Pursuant to section 25(d) of the Rules of Practice, I, Douglas F. Carlson, hereby request that the commission order United States Postal Service witness John F. Landwehr to answer interrogatories DFC/USPS-T3-3(d)-(f). BACKGROUND Interrogatory DFCJUSPS-T3-3 reads as follows: On page 7, lines 16-20, you stated, "Many San Luis customers are the recipients of benefit checks from federal who typically verify the physical and state authorities, The process addresses of clients who use post office boxes. for responding to these requests under the Freedom of This office Information Act is resource intensive. typically receives from 80 to 100 such requests every four weeks." a. Please identify the percentage boxholders in San Luis whose addresses federal and state authorities. of resident are verified by b. Please identify the percentage boxholders in San Luis whose addresses federal and state authorities. of nonresident are verified by c. Is the federal verifying the physical office boxes unique to d. residents If the clients (as defined and state addresses San Luis, authorities' of clients Arizona? described in this rate for 1 (c) were case) of practice of who use postinstead 065088 and had a post-office box in that office expect to receive verification those that the government agencies post office? city, would that post requests similar to serve on the San Luis e. If your answer to (d) is yes, is the clie.nt's status as resident or nonresident, as defined for purposes of this rate case, at all relevant to assessing the burde.n these clients cause for the Postal Service? f. If you are unable to provide data for (a) and (b) above, please explain the basis for the implication in your testimony that responding to these verification requests is a challenge "rooted in the non-resident customer .base." USPS-T-3 at p. 7, line 10. Witness Landwehr responded as follows: I have no basis for answering the.se (4 & (b) questions. See also my responses to DP/USPS-T3-1 and 5. While the San Luis postmaster estimates that 85 percent of the FOI address verification requests she receives are local residents, it is not clear how she defines "local" or "resident." No. (0) for See 39 CFR 265. I am unable (d) speculation. to (e) Not (f) See my responses answer this question, which calls applicable. to DBP/USPS-T3-1 and 5. DISCUSSION Subsections (d) and (e) Witness Subsection answer Landwehr (d) to the Information Arizona, these in no way calls question Act post boxholders has failed turns (FOIA) office for for served boxholders happen to live the questions. :Rather, speculation. on whether requests its to answer the Freedom of upon the arise in San Luis, San Luis, (1) becaus'e or, the 005089 ,--,. alternatively, address (2) because information Witness (2) applies federal for and state addresses question case) why the of the as evidence cause, If these box service local post FOIA request that the received had this in San Luis. unchansed. If office San Luis post (e) would explanation boxholders' San Luis at his boxholder local post office would have (2) applies, subsection to the the explanation be "yes," r,ate boxholders receive on the Postal would this would The burden (d) then one must been a "nonresident" boxholder subsection Service same boxholder would the answer to and the answer to be be l'no.t' (1) applies, an explanation seem to isolate triggers still physical USPS-T3, for are personal "resident" his that nonresident a "nonresident" office, that is in any way relevant if obtained agencies boxes." (as defined FOIA requests For example, the (2) applies, in San Luis that explanation verify office status burdens instead provide "typically residence that when he states and in no way depend on these address. If generally explanation boxholders since suggests who use post of the individuals testimony authorities 17-18. seeks physical- individuals. he speaks of clients P. 7, lines these Landwehr's because the government verification witness and evidence San Luis, requests. 3 Landwehr of why federal Arizona, should and state as an address 005090 If witness information Landwehr with which to select explanation experience of the should explain office provides any insight that nonresident boxholders that resident In the subsection boxholders event to the the the San Luis alleged cause over the commission and above (2), he post unique for determines speculation, compel an answer Postal Service question. Subsection See Rules burdens the burdens did not the to the that commission interrogatory file a timely of Practice § 25(c). 'objection (f) Subsection witness (f) Landwehr (a) and (b). question, office that should into (1) or cause. (d) does call nevertheless because how the does not have sufficient interrogatory was unable to provide Witness which Landwehr an example customer base" residence status answering FOIA requests. applies data failed seeks to discover provides non-resident of the subsecti'ons the San Lui:s post of the challenges of the boxholders for to answer how the absent ,because "rooted evidence that affects the in the ,the burden of CONCLUSION Interrogatories relevant to this FOIA requests to the residence DFC/USPS-T3-3(d)-(f) proceeding served on the status because San Luis (as defined are highly they post for examine office this rate whether the ,are related case) ,of 00509f /- the San Luis question why these burdens that contacted nonresident for a revised commission's interrogatories Ruling No. MC96-313, to provide respectfully Service to answer Dated: August answer Service to these on August of Practice answers. the 28, order 1996, through 5 25 and Postal Therefore, the commission I In spite discovery B, p. 6), of the cause. subsections. to expedite Attachment one must are evidence allegedly (see Rules that are not, requests the Postal revised request they boxholders desire written refused If verification counsel to request of the box customers. Service I the Postal the questions. 31, -ea*Rd-- 1996 DOUGLAS F. CARLSON CERTIFICATE OF SERVICE I hereby foregoing document in accordance sections certify I have this upon the required with 3(B)(3) that section and 3(C) day served participants 12 of the Rules of the Snecial the of record of Practice Rules and of Practice. 1 DOUGLAS F. CARLSON August 31, Emeryville, 1996 California 5 ---
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