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Postal Regulatory Commission. Postal Pricing Regulation in the U.S. October 4, 2011 Charles J. Robinson Assistant Director Office of Accountability and Compliance. Introduction. Postal eras
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PostalRegulatoryCommission Postal Pricing Regulation in the U.S. October 4, 2011 Charles J. Robinson Assistant Director Office of Accountability and Compliance
Introduction • Postal eras • Commission organization • Pricing regulation
U.S. Postal Eras • Post Office Department (1775) • Postal Service (1970) • Postal Reorganization Act • Postal Service (2006) Postal Accountability and Enhancement Act
Postal Reorganization Act of 1970 • Created U.S. Postal Service – Independent agency of executive branch of government • Breakeven mandate – Postal Service funded by postage not taxes • Created Postal Rate Commission – Oversight of rate setting • Social compact – To bind the nation together through the personal, educational, literary, and business correspondence of the people
Postal Accountability and Enhancement Act (PAEA) of 2006 • Flexibility to compete, innovate, and respond to the market • Postal Service allowed to earn and retain profits • Postal products separated into market dominant and competitive products • Greater Postal Service accountability and transparency • Created Postal Regulatory Commission with strengthened regulation and oversight
Postal Regulatory Commission • Independent Federal Agency • Regulator of U.S. Postal Service only • Five commissioners appointed by the President and confirmed by the U.S. Senate • Mission: Ensure transparency and accountability of the U.S. Postal Service and foster a vital and efficient universal mail system
Postal Regulatory Commission Organization §505 Officer of the Commission representing the general public
Postal Regulatory Commission Pricing Regulation Generally • Congress divided postal products into two groups • Market Dominant (monopoly products) • Competitive • Market Dominant products are subject to a price cap that should protect mailers of market dominant products • Competition should protect mailers of competitive products
Market Dominant Products (1) Five Classes of Mail • First-Class (letters, bills, statements, personal) • Periodicals (magazines and newspapers) • Standard Mail (advertising and light weight parcels) • Package Services (Single-piece parcel post and bound printed matter) • Special Services (e.g., certified mail, return receipt, money orders, insurance)
Market Dominant Products (2) • Each class contains products • First-Class products • Single-piece letters and cards • Presort Letters and cards • Flats • Parcels • International First-Class Mail – Outbound • International First-Class Mail – Inbound
Market Dominant Products (3) The Postal Service Can Charge Any Price It Wants Subject to Three Caps • Cap on class prices • Cap on workshare discounts • Cap on rates for preferred mail category (Mostly nonprofit mailers)
Market Dominant Products Price Cap Regulation (1) • Annual price changes for each class cannot exceed inflation as measured by the Consumer Price Index (CPI) • Percentage change in rates by product and within product may exceed CPI • For example, the percentage increase for the single-piece letter first-ounce rate could be above the CPI, while the percentage increase for the extra-ounce rate could be less than the CPI • The Commission uses a 12-month simple moving average
Market Dominant Products Price Cap Regulation (2)
Market Dominant Products Price Cap Regulation (3) • Classification hierarchy • Class • Product • Price Category (Bulk Mail) • Price
Market Dominant Products Price Cap Regulation (4) • Congress could have chosen to apply the price cap to • all classes as whole (most flexibility) • The average increase for some classes could exceed the CPI • each class (actual law) • each product • each price category • each price(most restrictive)
Market Dominant Products Price Cap Regulation (5) Unused Rate Authority • The Postal Service does not have to use all of the available CPI • It may bank any unused portion and use it later • If it uses any banked amounts in a future case, the amount above the applicable 12-month CPI cannot exceed 2% (CPI + 2%) • If there are multiple years with banked amounts, the Postal Service must use them in the order they were banked • Unused rate authority can be banked for only 5 years
Market Dominant Products Price Cap Regulation (6) Unused Rate Authority-Example • Assume Price Cap = 5% • Assume requested price increase = 4.3% • Unused Rate Adjustment Authority (Banked Authority) = • 5% - 4.3% - 0.7%
Market Dominant Products Price Cap Regulation (7) Variations on Rate Increase Requests • If the Postal Service requests a price increase less than 12 months since the last CPI increase • It is only entitled to the CPI increase since the last request plus any banked amount it chooses to use • If the Postal Service requests a price increase more than 12 months since the last CPI increase • It is entitled to the most recent 12-month CPI plus any banked amounts • The interim period becomes unused banked amount, but it cannot be used until previous year banked amounts are used
Market Dominant Products First CPI Price Change Under the New Law • Filed February 11, 2008 • Scheduled to take effect May 2, 2008 • CPI = 2.9% • Approved all rates, except for one barcode discount that exceeded avoided cost by substantial amount
Market Dominant Products Second CPI Price Change Under the New Law • Filed February 10, 2009 • 12 months after last price change was filed • Scheduled to take effect May 11, 2009 • CPI = 3.8% • Approved, except for two rates for mail tracking service found to be discriminatory
Market Dominant Products Third CPI Price Change Under the New Law • Filed January 13, 2011 • 23 months after last price change was filed • 11-month interim period • Scheduled to take effect April 17, 2011 • 12-month CPI = 1.741 • Approved • Created negative banked amount (-.577%)
Competitive Products (1) • Express Mail (domestic and international) • Priority Mail (domestic and international) • Parcel Select and Parcel Return Service • Negotiated Service Agreements (domestic and International)
Competitive Products (2) Three Tests in the Law • Market dominant products, as a whole, must not cross-subsidize competitive products, as a whole • The Commission uses incremental cost • The revenues for each competitive product must cover the corresponding attributable cost • Competitive products must pay a fair share of the institutional cost of the Postal Service • Institutional costs are primarily fixed costs
Competitive Products (3) Types of Cost Supporting the Three Tests Attributable Cost • Attributable cost equals volume variable cost plus product specific cost • Volume variable cost = marginal cost x volume • Product specific cost • Does not vary with volume • “But for” the existence of the product, the expense would not be incurred • For example, the advertising expense for Express Mail
Competitive Products (3) Types of Cost Supporting the Three Tests Incremental Cost • Incremental cost equals the difference between the total cost of the Postal Service now and the total cost without, for example, First-Class mail • This is equivalent to the total variable cost of a product plus any product specific costs • Note the use of the term variable cost rather than “volume variable cost” • Variable cost includes the cost imposed on the system by each piece of mail not just the last piece • To comply with the law, incremental costs for competitive products as a whole are estimated • Attributable cost plus • Group-specific cost
Competitive Products (3) Appropriate Share of Institutional Costs • The Commission determined that the appropriate share is 5.5 percent • Based on history • By law, to be re-evaluated at the end of this calendar year • Retain • Change • Eliminate
Contact Information • www.prc.gov • Charles.Robinson@prc.gov