{"database": "press", "table": "releases", "rows": [["https://www.casey.senate.gov/newsroom/releases/casey-bipartisan-group-of-senators-call-on-postal-service-to-postpone-closings", "Casey, Bipartisan Group of Senators Call on Postal Service to Postpone Closings", "2014-12-02", "2014", "2014-12", "Democrat", "House", "PA", "Bob Casey", "C001070", "www.casey.senate.gov", null, null, "legacy", "Washington, DC- Today, U.S. Senator Bob Casey (D-PA) along with a bipartisan group of over 30 Senate colleagues, called for a delay in the planned consolidation of up to 82 U.S. Postal Service (USPS) mail processing facilities after the USPS Inspector General found the Postal Service failed to fulfil its obligations to adequately study the impact of the consolidations, and failed to inform the public of those impacts.\r\n\u201cWe strongly urge the USPS to delay implementation of any mail processing consolidations until feasibility studies are completed and there has been adequate time for public comment and consideration of those comments,\u201d the Senators wrote. \u201cCompleted feasibility studies should include service standard impacts worksheets based on the revised service standards expected to be published on January 5, 2015. There is no reason that the USPS cannot delay its consolidations to provide time for the public to see and comment on the service standard worksheets. It is only fair to allow the process to unfold in this way, and the USPS gains little by deciding to continue the consolidation process on its current, arbitrary timeline.\u201d\r\nThe text of the letter is below:\r\nThe Honorable Patrick R. Donahoe\r\nPostmaster General\r\nUnited States Postal Service\r\nDear Mr. Postmaster General:\r\nOn June 30, 2014, the U.S. Postal Service (USPS) announced plans to implement Phase 2 of its Network Rationalization Initiatives (NRI) starting in January 2015.\u00a0 Phase 2 includes the consolidation of up to 82 mail processing facilities. According to the USPS Office of Inspector General (IG), the USPS failed to fulfil its regulatory obligations to adequately study the impact of these consolidations on service standards and inform the public of these impacts.\u00a0 We strongly urge the USPS to delay the start of any closures until such studies have been fully completed and those affected by the consolidations are adequately informed and their concerns heard.\r\nAs described in the USPS\u2019s own Area Mail Processing Guidelines, the first two objectives of an area mail processing (AMP) feasibility study are to \u201cevaluate service standard impacts for all classes of mail\u201d and to \u201cconsider issues important to local customers.\u201d[1]\u00a0 In addition, the USPS must:\r\n \r\nProvide adequate public notice to communities affected by a proposed network rationalization decision;\r\nMake available information about any service changes in the affected communities, any effects on customers or Postal Service employees, and any cost savings;\r\nAfford affected persons ample opportunity to provide input on the proposed decision; and\r\nTake public comments into account in making a final decision.[2]\r\n \r\nNevertheless, the USPS IG found that the Postal Service failed to complete the service standard impacts evaluation and worksheet in 91 of the 95 AMP feasibility studies related to the NRI.\u00a0 Without these completed worksheets, it impossible to fully understand the effects of consolidation decisions or adequately inform local customers and consider issues important to them.\u00a0\r\nAccording to the IG report, the USPS claims that it did not conduct the required evaluation because it is in the process of revising service standards.\u00a0 This revision, which began in 2012, is expected to be complete with the issuance of new service standards on January 5, 2015, just days before the consolidations are scheduled to begin.\u00a0\u00a0\u00a0\r\nThe USPS refutes the IG report by stating that it met its transparency requirements.\u00a0 The language included in each AMP package states only that \u201c[s]pecific service standard changes associated with this Area Mail Processing consolidation are contingent upon the resolution\u201d of the rulemaking process to broadly revise service standards.[3]\u00a0 This language in no way meets the USPS\u2019 own definition of public requirements to \u201cmake available information about any service changes in the affected communities.\u201d\u00a0 Rather, the language in the AMP is so vague and uninformative as to be meaningless to the public.\u00a0 The purpose of public disclosure is to inform.\u00a0 This statement contains no useful information whatsoever.\r\nIt stands to reason that, if the USPS is aware that its own AMP process was incomplete, it could simply adjust its own timeline to ensure that the process is fair, complete, open and transparent.\u00a0 The process exists for a reason, and it should be implemented correctly before any consolidations occur.\u00a0\r\nWe strongly urge the USPS to delay implementation of any mail processing consolidations until feasibility studies are complete and there has been adequate time for public comment and consideration of those comments.\u00a0 Completed feasibility studies should include service standard impacts worksheets based on the revised service standards expected to be published on January 5, 2015.\u00a0 There is no reason that the USPS cannot delay its consolidations to provide time for the public to see and comment on the service standard worksheets.\u00a0 It is only fair to allow the process to unfold in this way, and the USPS gains little by deciding to continue the consolidation process on its current, arbitrary timeline.\r\n\u00a0\u00a0\u00a0\u00a0\u00a0\u00a0\u00a0\u00a0\u00a0\u00a0\u00a0 Sincerely,\r\n###\r\n    \r\n\r\n[1] United States Postal Service Handbook PO-408, Area Mail Processing Guidelines (March 2008).\r\n\r\n\r\n\r\n[3] Memorandum from Robert J. Batta, Deputy Assistant Inspector General for Mission Operations, Office of Inspector General, United States Postal Service to David E. Williams, Jr., Vice President, Network Operations, United States Postal Service, Management Alert \u2013 Lack of Service Standard Change Information in Area Mail Processing Feasibility Studies (Oct. 6, 2014) (NO-MA-15-001).\r\n\r\n\r\n\t\t\t\r\n\t\t\t\t\r\n\t\t\t\t\tPress Contact\r\n\t\t\t\t\tJohn Rizzo 202-228-6367", 1, "2026-03-30T12:14:52Z", "2026-03-30T12:14:52Z"]], "columns": ["url", "title", "date", "year", "month", "party", "chamber", "state", "member_name", "bioguide_id", "domain", "scraper", "source", "date_source", "text", "has_text", "collected_at", "updated_at"], "primary_keys": ["url"], "primary_key_values": ["https://www.casey.senate.gov/newsroom/releases/casey-bipartisan-group-of-senators-call-on-postal-service-to-postpone-closings"], "units": {}, "query_ms": 1.5214821323752403, "source": "dwillis/congress-press", "source_url": "https://github.com/dwillis/congress-press", "license": "MIT", "license_url": "https://github.com/dwillis/congress-press/blob/main/LICENSE"}