81_FR_52938 81 FR 52784 - Review of the General Purpose Costing System; Supplement

81 FR 52784 - Review of the General Purpose Costing System; Supplement

SURFACE TRANSPORTATION BOARD

Federal Register Volume 81, Issue 154 (August 10, 2016)

Page Range52784-52796
FR Document2016-18806

Through this supplemental notice of proposed rulemaking (Supplemental NPR), the Surface Transportation Board (Board) is revising its proposal to eliminate the ``make-whole adjustment'' that is currently applied as part of our general purpose costing system, the Uniform Railroad Costing System (URCS). The notice of proposed rulemaking (NPR) in this proceeding, issued on February 4, 2013, explained that when disaggregating data and calculating system-average unit costs in Phase II, URCS does not fully take into account the economies of scale realized from larger shipment sizes, necessitating an adjustment in Phase III. This subsequent adjustment in Phase III, referred to as the make-whole adjustment, produces a step function and does not appropriately reflect operating costs and economies of scale. To better address this problem and related issues, the Board is now proposing to modify certain inputs into Phase II of URCS and to modify certain cost calculations in Phase III of URCS in order to eliminate the make-whole adjustment. The Board is also proposing certain other related changes to URCS, including proposals for locomotive unit-miles (LUM) and train miles allocations, which would result in more appropriate rail movement costs.

Federal Register, Volume 81 Issue 154 (Wednesday, August 10, 2016)
[Federal Register Volume 81, Number 154 (Wednesday, August 10, 2016)]
[Proposed Rules]
[Pages 52784-52796]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-18806]


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SURFACE TRANSPORTATION BOARD

49 CFR Parts 1247 and 1248

[Docket No. EP 431 (Sub-No. 4)]


Review of the General Purpose Costing System; Supplement

AGENCY: Surface Transportation Board.

ACTION: Supplemental notice of proposed rulemaking.

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SUMMARY: Through this supplemental notice of proposed rulemaking 
(Supplemental NPR), the Surface Transportation Board (Board) is 
revising its proposal to eliminate the ``make-whole adjustment'' that 
is currently applied as part of our general purpose costing system, the 
Uniform Railroad Costing System (URCS). The notice of proposed 
rulemaking (NPR) in this proceeding, issued on February 4, 2013, 
explained that when disaggregating data and calculating system-average 
unit costs in Phase II, URCS does not fully take into account the 
economies of scale realized from larger shipment sizes, necessitating 
an adjustment in Phase III. This subsequent adjustment in Phase III, 
referred to as the make-whole adjustment, produces a step function and 
does not appropriately reflect operating costs and economies of scale. 
To better address this problem and related issues, the Board is now 
proposing to modify certain inputs into Phase II of URCS and to modify 
certain cost calculations in Phase III of URCS in order to eliminate 
the make-whole adjustment. The Board is also proposing certain other 
related changes to URCS, including proposals for locomotive unit-miles 
(LUM) and train miles allocations, which would result in more 
appropriate rail movement costs.

DATES: Comments are due by October 11, 2016; replies are due by 
November 7, 2016.

ADDRESSES: Comments may be submitted either via the Board's e-filing 
format or in the traditional paper format. Any person using e-filing 
should attach a document and otherwise comply with the instructions at 
the ``E-Filing'' link on the Board's Web site, at http://www.stb.dot.gov. Any person submitting a filing in the traditional 
paper format should send an original and 10 copies to: Surface 
Transportation Board, Attn: Docket No. EP 431 (Sub-No. 4), 395 E Street 
SW., Washington, DC 20423-0001.

FOR FURTHER INFORMATION CONTACT: Allison Davis at (202) 245-0378. 
Assistance for the hearing impaired is available through the Federal 
Information Relay Service (FIRS) at (800) 877-8339.

SUPPLEMENTARY INFORMATION: In 1989, the Board's predecessor, the 
Interstate Commerce Commission (ICC), adopted URCS as its general 
purpose costing system. Adoption of the Unif. R.R. Costing Sys. as a 
Gen. Purpose Costing Sys. for All Regulatory Costing Purposes, 5 
I.C.C.2d 894 (1989). The Board uses URCS for a variety of regulatory 
functions. URCS is used in rate reasonableness proceedings as part of 
the initial market dominance determination. At later stages of rate 
reasonableness proceedings, URCS is used in parts of the Board's 
determination as to whether the challenged rate is reasonable, and, 
when warranted, the maximum rate prescription. URCS is also used to 
develop variable costs for making cost determinations in abandonment 
proceedings; to provide the railroad industry and shippers with a 
standardized costing model; to cost the Board's Carload Waybill Sample 
to develop industry cost information; and to provide interested parties 
with basic

[[Page 52785]]

cost information regarding railroad industry operations.
    URCS develops a regulatory cost estimate that can be applied to a 
service that occurs anywhere on a rail carrier's system. These cost 
estimates are developed through three distinct phases of URCS.
     Phase I occurred only when URCS was originally developed 
using the annual reports submitted by Class I rail carriers (R-1 
reports). Regression analyses were performed to develop equations 
linking expense account groupings with particular measures of railroad 
activities.
     Annually, in Phase II, URCS takes the aggregated cost data 
and traffic statistics provided by Class I carriers in their most 
recent R-1 reports and other reports and disaggregates them by 
calculating system-average unit costs associated with specific rail 
activities.
     In Phase III, URCS takes the unit costs from Phase II and 
applies them to the characteristics of a particular movement in order 
to calculate the variable cost of that movement.\1\
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    \1\ Although Phase III is referred to generically here, Phase 
III actually consists of two programs: The waybill costing program, 
used to calculate the variable costs of movements from the Waybill 
Sample, and the interactive Phase III movement costing program, 
which calculates variable costs of movements based on user-supplied 
information. The waybill costing program calculates the make-whole 
factors, whereas the interactive Phase III movement costing program 
applies the make-whole factors and estimates a movement-specific 
cost. The interactive Phase III movement costing program is 
available for download on the Board's Web site. See also infra note 
79 and accompanying text.
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    The agency has periodically reviewed URCS since its inception.\2\ 
In August 2009, the Senate Committee on Appropriations directed the 
Board to submit a report providing options for additional updates to 
URCS. In the report submitted in May 2010, the Board identified the 
make-whole adjustment as one area that warranted further review.\3\
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    \2\ See, e.g., Review of the Surface Transp. Bd.'s Gen. Costing 
Sys., EP 431 (Sub-No. 3) (STB served Apr. 6, 2009); Review of Gen. 
Purpose Costing Sys., 2 S.T.B. 754 (1997); Review of Gen. Purpose 
Costing Sys., EP 431 (Sub-No. 2) (ICC served July 21, 1993).
    \3\ Surface Transp. Bd., Surface Transportation Board Report to 
Congress Regarding the Uniform Rail Costing System, 14, 18-19 (May 
27, 2010).
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    By decision served on February 4, 2013, the Board issued the NPR, 
mentioned above, to address concerns with the make-whole adjustment in 
URCS. As explained in the NPR, the make-whole adjustment is applied by 
URCS to correct the fact that, when disaggregating data and calculating 
system-average unit costs in Phase II, URCS does not fully take into 
account the economies of scale realized from larger shipment sizes. The 
purpose of the make-whole adjustment, which is calculated and applied 
in Phase III, is to recognize the efficiency savings that a carrier 
obtains in its higher-volume shipments and thus render more appropriate 
unit costs.
    URCS applies the make-whole adjustment through a three-step 
process. First, URCS assumes that a movement's costs are equal to that 
of a system-average movement. Next, URCS applies efficiency adjustments 
depending on shipment size--single-car (1 to 5 cars), multi-car (6 to 
49 cars), and trainload/unit train (50 or more cars).\4\ URCS applies 
the efficiency adjustments to higher-volume movements, thereby reducing 
the system-average unit costs of such movements.\5\ Last, URCS 
redistributes the total savings obtained in all of the higher-volume 
shipments (the shortfall) across all of the lower-volume shipments, 
such that the sum of variable costs across all of the carrier's 
movements remains the same.
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    \4\ Single-car, multi-car, and trainload/unit train are the 
three basic shipment size categories for purposes of the make-whole 
adjustment. URCS currently treats all trainload movements as unit 
train movements; because of its handling of the Empty/Loaded Ratio, 
URCS assumes that every trainload movement travels from origination 
to destination and back to origination. Trainload movements are also 
assumed to be unit train because URCS uses certain unit train 
statistics reported by the railroads when costing trainload 
movements (e.g., train miles, locomotive unit-miles, car-miles, and 
gross ton-miles). Although the NPR used the term ``trainload'' to 
describe these movements, because URCS treats these movements as 
unit train, this Supplemental NPR will use the term ``unit train,'' 
which better reflects how those shipments are costed.
    Additionally, URCS treats intermodal traffic as a type of 
``hybrid'' category. Prior to 1997, URCS treated intermodal traffic 
as single-car movements. In 1997, the Board concluded that more 
accurate costs would be obtained by applying to intermodal traffic 
many, though not all, of the efficiency adjustments applicable to 
unit train movements. Review of Gen. Purpose Costing Sys., 2 S.T.B. 
659, 663-665 (1997).
    \5\ There are 14 efficiency adjustments, any number of which may 
apply to a particular movement.
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    The NPR identified two primary concerns with how the make-whole 
adjustment is currently applied by URCS. First, the efficiency 
adjustments cause a step function because the adjustments generally 
reduce the system-average unit costs by various set percentages 
depending on whether the movement is classified as unit train, multi-
car, or single-car. As a result, the current URCS methodology generally 
reflects economies of scale only between single-car and multi-car 
shipments and between multi-car and unit train shipments, but it does 
not reflect any economies of scale within those shipment sizes. For 
example, the system-average unit cost for a multi-car movement is the 
same whether it is a 6-car or 49-car shipment. Likewise, the unit cost 
for a unit train movement is the same, whether it is a 50-car or 135-
car shipment (or anywhere in between). At the same time, however, the 
system-average unit cost for a 49-car multi-car shipment is 
significantly higher than the unit cost for a 50-car unit train 
shipment. In other words, hard break points exist that may not reflect 
true efficiency differences between single-car and multi-car shipments, 
and between multi-car and unit train shipments.
    Second, the make-whole adjustment redistributes the shortfall 
across single-car and multi-car movements on a per-car basis, which not 
only fails to account for economies of scale but also increases the 
size of the step function. For example, under the per-car method for 
switching-related costs, costs are increased in proportion to the 
number of cars switched (i.e., a two-car movement is costed as twice as 
expensive to switch as a one-car movement, a three-car movement is 
three times as expensive to switch as a one-car movement, etc.). By not 
decreasing the per-car costs as the number of cars in the shipment 
increases, the redistribution of savings does not adequately account 
for economies of scale. Additionally, the redistribution of savings 
increases the size of the step function because the add-ons increase 
costs per car across single-car and multi-car shipments, but do not 
apply to unit train shipments.\6\
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    \6\ For example, under the current system, the costs are 
increased in proportion to the number of cars. If the shortfall 
redistribution for a one-car shipment is $1,000, then the shortfall 
redistribution for a 49-car shipment is $49,000. But because the 
add-ons do not apply to unit train shipments, there is no 
redistribution of costs to a 50-car shipment.
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    These break points, or steps, create the opportunity for parties to 
use URCS to manipulate regulatory outcomes. The same problem occurs 
with locomotive unit-mile (LUM) allocation, which also produces a step 
function between multi-car and unit train shipments. The NPR proposed 
to address these concerns regarding the make-whole adjustment and LUM 
allocation. Rather than refining the make-whole adjustment in Phase 
III, the NPR proposed to reflect the impact of economies of scale in 
calculating the system-average unit costs in Phase II, thereby 
eliminating the need for a modification of those costs in Phase III. To 
that end, the NPR proposed changes to switching costs related to switch 
engine minutes, equipment costs for the use of railroad-owned equipment 
during switching, station clerical costs, and car-mile costs, as well 
as other related changes to URCS. The NPR also

[[Page 52786]]

proposed changes to the LUM allocation.
    To assist commenters in evaluating those proposals, the Board 
issued a decision on April 25, 2013, in which it made available certain 
information, including the uncosted and costed 2011 Waybill Sample, the 
source code used to cost the Waybill Sample and the intermediate 
outputs that result from using the source code, a small record set, and 
descriptions to changes in the calculations of certain Phase III line 
items. The Board received comments and reply comments on June 20, 2013, 
and September 5, 2013, respectively.\7\ After considering the comments, 
the Board is modifying its earlier proposal.
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    \7\ The following parties filed comments in this proceeding: 
Arkansas Electric Cooperative Corporation (AECC); Association of 
American Railroads (AAR); BNSF Railway Company (BNSF); Montana Grain 
Growers Association (Montana Grain); Samuel J. Nasca, on behalf of 
United Transportation Union-New York State Legislative Board; Tom 
O'Connor Group; Union Pacific Railroad Company (UP); Western Coal 
Traffic League (WCTL). Additionally, joint comments were filed by 
the American Chemistry Council and others (referred to collectively 
as ACC) as well as by the Alliance for Rail Competition and others 
(referred to collectively as ARC).
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General Comments

    Commenters expressed two general concerns about the NPR, which the 
Board has considered in creating the revised proposal set forth in this 
Supplemental NPR. First, some commenters cautioned against pursuing 
``piece-meal'' changes to URCS, arguing that piece-meal changes run the 
risk of skewing results and that the Board should consider a more 
comprehensive review of URCS.\8\ Second, a number of commenters 
expressed the concern that the proposals in the NPR lack empirical 
support and would change long-standing cost allocation factors that 
were derived from industry studies. To that end, many of the commenters 
propose that the Board conduct special studies that will provide the 
empirical support necessary for the proposed changes.
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    \8\ AAR Comment 9, 21; V.S. O'Connor & Legieza 10-11; UP Comment 
2, 18.
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    We understand the arguments about piece-meal changes to URCS, but 
we do not believe that improvements to our costing system should be 
ignored when incremental changes can be implemented to address specific 
problems or concerns that have been identified with a portion of that 
system. Nor do we believe that it is necessary for the Board to have 
the types of empirical data suggested by commenters in order to move 
forward with the specific changes to URCS proposed in this rulemaking. 
The changes proposed here can be properly supported by reasonable 
economic judgments based on sound principles of cost causation and cost 
allocation. Moreover, both the need for improvement and the extent to 
which changes can be implemented without undue burden must be 
considered. The special studies that would reexamine all of the 
underlying empirical studies would primarily place a burden on both the 
rail industry's and the agency's resources. Because the modest changes 
proposed here can be made to correct or mitigate specific problems with 
the make-whole adjustment and the related LUM and train mile 
allocations without such studies,\9\ the Board believes this is the 
prudent course of action. In taking this approach, the Board is guided 
by the ``practicality principle'' set forth in the Final Report of the 
Railroad Accounting Principles Board (RAPB), which states that ``cost 
and related information . . . must generate benefits that exceed the 
costs of providing it.'' \10\ As the Board has previously stated,
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    \9\ Although the NPR did not include a proposal on train miles, 
the Board is addressing train mile allocation in this Supplemental 
NPR because, as explained below, it has the possibility of producing 
a step function.
    \10\ RAPB Final Report 17. See also Adoption of the Uniform R.R. 
Costing Sys. As A General Purpose Costing Sys. For All Regulatory 
Costing Purposes, 5 I.C.C.2d 894, 909 (1989); 49 U.S.C. 11162(b)(3), 
(4).

[i]n considering costing modifications, [the Board] cannot demand 
perfection. Rather, [the Board bases its] decision on whether a 
proposed change represents an improvement over current costing 
procedures, and whether such a change can be implemented at a 
reasonable cost and without undue burden on the railroad industry, 
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the shipping public or the agency.

Review of Gen. Purpose Costing Sys., 2 S.T.B. 659, 660-61 (1997).
    The NPR in this proceeding focused on an identified problem in 
URCS: The occurrence of break points, between shipment sizes, that do 
not appropriately reflect operating costs and economies of scale, and 
the problematic allocation of LUMs that also creates break points. 
Several commenters acknowledge these current flaws in URCS.\11\ Our 
goal here, as in the past, is to make ``an improvement over current 
costing procedures.'' As discussed above, it is possible to modify URCS 
to address these issues without conducting special studies, which, 
under the circumstances, could place an undue burden on ``the railroad 
industry, the shipping public, or the agency.'' However, the comments 
received argued that our proposed methodologies for calculating certain 
Phase II costs did not properly reflect the causation factors for those 
costs.
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    \11\ AAR Comment 13; BNSF Comment 5; Montana Grain Comment 1; UP 
Comment 3; WCTL Comment 7.
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    As discussed more fully later in this decision, the Board has 
determined that certain of the NPR's proposals for changing the method 
of calculating the costs of various types of operations in Phase II, 
such as switching costs, raised legitimate concerns about cost 
causation and inadvertently affected other outputs of Phase III. After 
considering the comments and engaging in further analysis, we now 
believe that, with modifications to the NPR's proposals, the existing 
efficiency adjustments and cost relationships in Phase III can form the 
basis for changes that remedy the problems in the current make-whole 
adjustment and related Phase III outputs. Therefore, the Board proposes 
in this Supplemental NPR certain modifications to inputs in Phase II 
and calculations in Phase III that would more appropriately adjust 
system-average unit costs.
    To assist commenters in reviewing this revised proposal, the Board 
will make its workpapers (which contain confidential information from 
the Waybill Sample) available subject to our customary Confidentiality 
Agreement. 49 CFR 1244.9.\12\ The workpapers contain sample 
calculations and supporting data related to: (1) Switch Engine Minutes, 
(2) Railroad-Owned Equipment, (3) Station Clerical, (4) Car-Miles, and 
(5) Other Related Changes.
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    \12\ To obtain the workpapers, parties should submit a written 
request to the Board's Office of Economics and reference this 
proceeding. Parties may seek a protective order for subsequent 
pleadings using this information. If participants are permitted to 
file their pleadings under seal, they also will be required to file 
a public version with confidential information redacted.
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Revised Proposal

    The revised proposal would eliminate the need for the make-whole 
adjustment and address additional step functions in URCS relating to 
LUMs and train miles. Below, proposed changes to the current efficiency 
adjustments--switching costs, railroad-owned equipment costs, station 
clerical costs, and car-mile costs--are first discussed. Other related 
proposals are then discussed.

1. Switching Costs Related to Switch Engine Minutes

    The NPR proposed to adjust how URCS calculates the operating costs 
for switching cars, regardless of car ownership. These costs are 
referred to as ``switch engine minute'' (SEM) costs. Currently, in 
Phase II, URCS calculates SEM costs on a per-carload basis, which does 
not reflect economies of scale as shipment size increases. In the NPR, 
the

[[Page 52787]]

Board stated that, operationally, a shipment of rail cars is generally 
connected into a contiguous block of cars, and is handled as a 
contiguous block from origin to destination. The Board therefore 
proposed to calculate SEM unit costs in Phase II on a per-shipment 
basis for all five types of switching accounted for by URCS.\13\
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    \13\ Those five types of switching are: (1) Industry switching; 
(2) interchange switching; (3) intraterminal switching; (4) 
interterminal switching; and (5) inter-train & intra-train (I&I) 
switching. Industry switching is switching that occurs at origin or 
destination points. Interchange switching is switching that occurs 
at intermediate yards between different carriers, as opposed to I&I 
switching, which occurs on a rail carrier's own lines. Intraterminal 
switching is the switching of cars by one carrier within a rail 
terminal, and interterminal switching is the switching of cars 
between carriers within a rail terminal. For purposes of costing the 
Waybill Sample, only movements that travel a total distance of less 
than 8.5 miles are considered intraterminal or interterminal 
switching.
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    Although certain commenters acknowledge that allocating SEMs on a 
purely per-carload basis may not be appropriate, they also object to 
the NPR's proposed allocation of SEMs on a purely per-shipment basis 
because switching costs are, to some extent, dependent upon the number 
of cars in the block.\14\ Specifically, commenters argue that there is 
both a time component and an event component to switching, and that the 
time required to switch cars is influenced by the number of cars in the 
shipment.\15\ Several commenters therefore recommend that the Board 
allocate a portion of switching costs on a per-shipment basis and a 
portion on a per-carload basis. Such an approach would require a 
determination of the appropriate percentage split between carloads and 
shipments and likely involve statistical studies that would be time-
consuming and costly. While such studies might be justifiable if there 
were no less costly alternative to address the problem, the Board has 
concluded that the cost relationships used to develop the Phase III 
efficiency adjustments can be used to recognize and quantify the time- 
and event-related components of switching costs in Phase III in a way 
that eliminates the problems with the existing make-whole adjustment.
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    \14\ See, e.g., AAR Comment 12, 13, 16; ACC Comment 8; BNSF 
Comment 7-8; UP Comment 4-5.
    \15\ For example, if the switching movement requires moving cars 
from one track to another, or if it requires the cars to be 
inspected and the air brakes to charge, then the amount of time it 
takes to switch will be dependent on the number of cars.
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    Thus, rather than changing the calculation of SEM unit costs in 
Phase II as proposed in the NPR, the Supplemental NPR would adjust how 
Phase III allocates SEMs to account for economies of scale and 
recognize the fact that switching costs include both a time component 
and an event component. Under the revised proposal, Phase III would 
adjust the system-average unit costs by incorporating both the time 
component of switching (carload basis) and the event component of 
switching (shipment basis). In this way, the efficiency adjustments 
that are reflected in Phase III would no longer result in a step 
function and would reflect economies of scale for every different 
shipment size.
    Several commenters argued that the efficiency adjustments in Phase 
III were developed using empirical data,\16\ and that these existing 
cost relationships in URCS should be maintained. This proposal 
maintains the existing cost relationships in URCS to the extent 
practicable. This Supplemental NPR proposes to incorporate the current 
efficiency adjustments, which were developed using empirical data, by 
maintaining the percentage reduction for unit train traffic currently 
embodied in the Phase III efficiency adjustments.\17\ For example, for 
industry switching, URCS currently applies a 75% reduction in assigned 
SEMs for unit train traffic, and a 50% reduction in assigned SEMs for 
multi-car traffic, by way of a step function. The proposal would 
continue applying the 75% reduction for unit train traffic, but would 
now achieve this reduction by way of an asymptotic curve. The 
efficiency reductions for single-car and multi-car traffic would no 
longer apply; rather, the efficiencies associated with such movements 
would be allocated through the asymptotic curve.
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    \16\ See AAR Comment 16; ACC Comment 2; BNSF Comment 11-12.
    \17\ Although the current make-whole adjustment for unit train 
traffic is applied starting at 50 cars, the Supplemental NPR 
proposes to apply these revised adjustments starting at 75 cars. See 
infra p. 25.
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    In order to create this asymptotic curve, the Board would employ a 
new concept called the Carload Weighted Block (CWB) Adjustment. The CWB 
Adjustment applies a weighting to a block of cars based on a percentage 
of the number of cars in that block.\18\ The CWB value is calculated as 
the number of cars in a block multiplied by the percentage by which 
switching varies by carload, plus the number of blocks multiplied by 
the percentage by which switching varies by block--thus reflecting the 
fact that switching costs are dependent in part on the number of cars 
in a block, due to the time and event components of switching.
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    \18\ A ``block'' is defined as the number of cars on the waybill 
moved as a contiguous unit from origin to destination. For carload 
traffic, the number of blocks is always one.
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    To determine the appropriate percentages by carload and block in 
the CWB value, while also maintaining the existing cost relationships 
in URCS, the Supplemental NPR proposes to solve for the values that 
cause SEMs to be reduced at the minimum unit train level by the same 
amount as is currently done by URCS.\19\ This determination would be 
done annually, by railroad, using data in the Waybill Sample for each 
type of switching. Then, to convert system-average SEMs from Phase II 
to SEMs in Phase III that reflect economies of scale, the Supplemental 
NPR proposes the following calculation, where the CWB Ratio represents 
SEMs per CWB divided by SEMs per carload:
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    \19\ To illustrate, for carload industry switching, the 
appropriate carload and block percentages would be calculated by 
solving for a 75% reduction at 75 cars (the proposed definition of 
unit train). See infra p. 25 (proposing to define unit train 
starting at 75 cars).

Phase III Adjusted SEMs = (Phase II System Average SEMs) * (CWB Ratio) 
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* (CWB)

    These calculations represent the proposed relationship between 
current Phase II calculations, which are done on a per-carload basis, 
and the proposed Phase III calculations, which are done on a per-CWB 
basis. As explained, these calculations eliminate the current step 
function and incorporate current URCS efficiency adjustments at the 
unit train level. This adjustment is referred to as the CWB Adjustment.
    The CWB Adjustment is more appropriate than the current make-whole 
adjustment for several reasons. Although the current methodology 
generally reflects economies of scale between single-car and multi-car 
shipments and between multi-car and unit train shipments, it does not 
reflect any economies of scale within those shipment sizes. The CWB 
Adjustment does reflect increasing economies of scale as shipment size 
increases. It also has the advantage over the current methodology of 
not producing a step function and not requiring an add-back of the 
shortfall. Finally, with the possible exception of I&I switching, 
discussed below, the CWB Adjustment better reflects the cost causality 
principle from the RAPB's Final Report \20\ because of the changing 
economies of scale for every different shipment size.
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    \20\ ``Causality is the primary criterion for cost assignment. 
Cost is the amount (usually expressed in monetary terms) of input 
resources used to achieve a specified quantity of activity or 
service. Causality links cost with an activity or service.'' (RAPB 
Final Report 9.)

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[[Page 52788]]

    This revised proposal, which makes changes to Phase III through the 
CWB Adjustment rather than Phase II, obviates the need for changes to 
the Board's reporting requirements by the railroads. Thus, the NPR's 
proposed changes to the Annual Report of Cars Loaded and Cars 
Terminated (Form STB-54) and the Quarterly Report of Freight Commodity 
Statistics (Form QCS) are no longer necessary under the revised 
proposal.
    Below, two specific issues related to the CWB Adjustment are 
discussed: I&I switching and the definition of ``shipment.''

I&I Switching

    The CWB Adjustment for I&I switching would be applied as described 
above. However, unlike the other types of switching, application of the 
CWB Adjustment as described above to I&I switching results in 
decreasing total I&I switching costs as shipment size increases.\21\ In 
other words, the total I&I costs for a two-car shipment would be 
slightly less than for a one-car shipment, a three-car shipment would 
be slightly less than a two-car shipment, a four-car shipment would be 
slightly less than a three-car shipment, and so on until the total I&I 
cost for a unit train shipment is zero.
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    \21\ This negative slope would not be reflected in URCS Phase 
III switching costs when I&I switching is combined with industry 
switching. See workpaper ``EP431S4_SEMs_IndustryAndI&I.xlsx.'' Since 
not all movements receive the other types of switching, see supra 
note 14, a graph of I&I switching and industry switching depicts 
whether total switching costs for a movement will have a negatively 
or positively sloped curve.
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    The CWB Adjustment solution produces a negative slope in total I&I 
switching costs because URCS currently assumes a 100% efficiency 
reduction (i.e., zero I&I switching) for unit train shipments, 
reflecting the assumption in URCS that there is no I&I switching 
associated with unit trains. The CWB Adjustment proposes to maintain 
the existing efficiency reductions for unit trains by solving for the 
values that cause SEMs to be reduced at the unit train level by the 
same amount as is currently done by URCS. Because the I&I cost curve 
goes from a positive value for a one-car shipment to a value of zero 
for a unit train shipment, it results in a negative total I&I cost 
curve. This is in contrast to the other types of switching, which have 
an efficiency reduction of less than 100% at the unit train level, thus 
resulting in a positive value and total cost curve.
    Although this negative slope for I&I switching may not be perfectly 
reflective of costs for actual railroad operations, the Board has 
considered alternative solutions and found this proposal to be the most 
appropriate solution under the circumstances. For instance, one 
alternative solution could be to reconsider the current URCS assumption 
that unit train shipments receive no I&I switching.\22\ However, for 
the reasons stated earlier, the Board seeks to avoid the unwarranted 
administrative and public burden associated with a special study to 
establish a new efficiency adjustment for I&I switching where 
modifications that account for these impacts can be made without such 
studies. Parties may, however, submit evidence on I&I switching for 
unit train traffic for the Board's consideration, if they so choose. 
Another solution would be to have a methodology that produces a 
positively sloped I&I switching cost curve for single- and multi-car 
shipments; however, any such solution would, by definition, require a 
negative step function in order for the cost to drop to zero for unit 
trains. Because a major goal of this Supplemental NPR is to eliminate 
step functions, the Board believes the use of the CWB Adjustment for 
I&I switching is superior.
---------------------------------------------------------------------------

    \22\ Evidence submitted by parties in rate cases has suggested 
anecdotally that certain unit trains may receive I&I switching for 
bad-order cars. See, e.g., Tex. Mun. Power Agency v. BNSF Ry., NOR 
42056, slip op. at 45 (STB served Mar. 24, 2003); Pub. Serv. Co. of 
Colo. v. BNSF Ry., NOR 42057, slip op. at 128 (STB served June 7, 
2004). However, such evidence is not broad enough to be used to 
develop a new efficiency adjustment for I&I switching in this 
proceeding.
---------------------------------------------------------------------------

a. Definition of ``Shipment''
    As noted in the NPR, any proposal to calculate SEM costs on a per-
shipment basis (whether entirely or in part) requires the Board to 
define ``shipment.'' The NPR proposed to define ``shipment'' as a block 
of one or more cars moving under the same waybill from origin to 
destination. Some commenters suggested that this definition was 
inappropriate because how traffic moves operationally and how it is 
waybilled are not necessarily synonymous.\23\ In particular, commenters 
argued that, while the Board's definition may be sufficient for carload 
traffic, it was inappropriate for intermodal traffic.\24\
---------------------------------------------------------------------------

    \23\ AAR Comment 13-15; ACC Comment 7-8; ACC Reply, V.S. 
Mulholland 4.
    \24\ AAR Comment 14-15; ACC Comment 7-8; BNSF Comment 9-10.
---------------------------------------------------------------------------

    BNSF and AAR contend that the Board should undertake a special 
study to determine how to define intermodal shipments for costing 
purposes.\25\ In the alternative, BNSF suggests that the Board could 
require each Class I to report annually the average number of 
intermodal flatcars moving together as a block and use that reported 
number (annualized over three years) as that carrier's number of 
flatcars in a ``shipment.'' \26\ In their joint verified statement, 
AAR's witnesses, Baranowski and Fisher, estimated the average size of 
an intermodal shipment to be 10 intermodal flat cars, though they did 
not provide their methodology for how this figure was developed.\27\
---------------------------------------------------------------------------

    \25\ AAR Comment 14-15; BNSF Comment 9-10.
    \26\ BNSF further states that, in 2012, it had an average of 
5.29 containers per flatcar. BNSF Comment 9 (citing 2012 BNSF R-1 
report, Schedule 755).
    \27\ See AAR Comment, V.S. Baranowski & Fisher 13.
---------------------------------------------------------------------------

    The Board does not believe that a special study is required in 
order to define a shipment. In the NPR, the Board stated that, 
operationally, a shipment of rail cars is generally connected into a 
contiguous block of cars. Although the terms ``shipment'' and ``block'' 
are sometimes used interchangeably, the former is generally a billing 
concept, while the latter is generally an operational concept. For the 
purposes of discussing intermodal shipments, the distinction is 
important, as an intermodal shipment may, for costing purposes, use 
only a partial block, as further described below.
    As noted, switching is performed on a block of cars. For carload 
shipments, the number of blocks for a shipment is always one. For 
intermodal shipments, however, the number of trailer container units 
(TCUs) in a shipment may not fill an entire car, such that the time, 
and thus costs, to switch the number of TCUs in an intermodal shipment 
should be prorated. For example, if the average number of TCUs per 
flatcar is four, the time required to switch a shipment of one TCU 
should be prorated to 25% of the time required to switch the entire 
flatcar. As another example, a shipment of six TCUs will require two 
flatcars in a block, though the time to switch the block should be 
prorated to 75% for that shipment, as the number of TCUs in the 
shipment only accounts for six of the eight available TCU spaces in the 
block of two flatcars.
    Thus, the Supplemental NPR proposes to adjust the NPR's definition 
slightly by defining a shipment as a block of one or more cars or TCUs 
moving under the same waybill from origin to destination. The Board 
believes that such a definition is appropriate for both carload traffic 
and intermodal traffic, and that the difference between the two is that 
the time, and thus costs, to switch an intermodal shipment may need to 
be prorated based on the

[[Page 52789]]

number of TCUs in the block being switched. To perform this 
calculation, the Supplemental NPR proposes to use the average number of 
TCUs per flatcar that is reported by the railroads on line 134 of R-1 
Schedule 755.
    Some commenters pointed out that intermodal trailers or containers 
typically move under a separate waybill even if the TCUs are placed on 
flatcars that move in multiple flatcar blocks. We take this to mean 
that, even if multiple TCUs are traveling together from origin to 
destination, each TCU may be billed individually on a separate waybill. 
AAR further pointed out that ``this distinction ha[d] not been relevant 
to URCS costs . . . calculated on a per car basis,'' but that the 
Board's proposal in the NPR ``to rely on a per shipment costs'' 
highlighted ``the disconnect'' between how traffic moves operationally 
and how it is waybilled.\28\ The Board's Supplemental NPR eliminates 
this concern because the CWB Adjustment for intermodal switching now 
finds that intermodal switching is based on 100% of the number of cars. 
As such, there is no difference between the proposal in this 
Supplemental NPR and how URCS currently treats intermodal switching 
(i.e., on a per car basis).
---------------------------------------------------------------------------

    \28\ AAR Comment 14.
---------------------------------------------------------------------------

    It is worth noting that, under the proposal and proposed definition 
of a shipment, billing multiple TCUs individually rather than as a 
shipment may increase the allocation of station clerical costs to those 
TCUs. However, we perceive no misallocation of costs in this outcome 
because such a practice would require more clerical resources to 
process multiple waybills rather than a single waybill.

2. Equipment Costs for the Use of Railroad-Owned Cars During Switching

    Another category of system-average unit costs associated with 
switching pertains to the equipment costs for the use of railroad-owned 
cars. These costs are distance- and time-related.\29\ In the NPR, the 
Board concluded that these costs are properly accounted for on a per-
car basis and therefore proposed to continue calculating these costs on 
a per-car basis. However, the NPR would have affected the calculation 
of these costs by eliminating the Phase III efficiency adjustment.
---------------------------------------------------------------------------

    \29\ In other words, the costs for using a railroad-owned car 
are based both on the distance it travels and the time it is being 
used during the switching process. For example, if a railroad-owned 
car travels two miles during an interchange switch, and is held at 
the interchange for three days, the costs for the use of that car 
will be based both on the two-miles it traveled and the three-days 
it was held.
---------------------------------------------------------------------------

    Commenters disagree with the Board's proposal to eliminate the 
Phase III efficiency adjustments for these costs.\30\ They argue that 
URCS currently recognizes certain efficiencies that were derived from 
special studies conducted by the ICC, and that there is no evidence 
that these efficiencies have been reduced or eliminated. As such, 
commenters argue that the Board's proposal should account for these 
efficiencies. UP and BNSF, for example, recommend that the Board divide 
costs into an event-related component and a shipment size-related 
component, similar to SEM costs.\31\ WCTL asks the Board to retain the 
efficiency adjustment, and acknowledges that this would necessitate the 
retention of a make-whole factor.\32\
---------------------------------------------------------------------------

    \30\ See AAR Comment 17; BNSF Comment 11-12; UP Comment 11-12; 
WCTL Comment 8-9.
    \31\ See BNSF Comment 11-12; UP Comment 11-12.
    \32\ See WCTL Comment 9; WCTL Reply 9.
---------------------------------------------------------------------------

    Additionally, AAR and BNSF ask that, regardless of whether the 
Board proceeds with its proposals in the NPR, it fix what they describe 
as a ``flaw'' or ``misallocation problem'' in how URCS calculates the 
costs for railroad-owned equipment when applying the make-whole 
adjustment.\33\ They argue that URCS improperly distributes cost 
savings associated with the efficiency of one car type to other car 
types. AAR's witnesses, for example, argue that because the costs for 
railroad-owned cars are composed primarily of ownership and lease costs 
that are specific to individual car types, URCS is distributing 
ownership costs for one car type to shipments using a different car 
type.\34\
---------------------------------------------------------------------------

    \33\ See AAR Reply 7; BNSF Reply 4-5.
    \34\ AAR Reply, V.S. Baranowski & Fisher 11.
---------------------------------------------------------------------------

    Because commenters urge retention of the existing cost 
relationships to the extent that the efficiency adjustments in URCS 
were developed using empirical data, we have incorporated those 
adjustments into the revised proposal to the extent practicable. 
However, we also agree that the current efficiency adjustments are 
distributing savings from a few equipment types that have a high 
percentage of unit train service onto the costs of other types of 
equipment that have a high percentage of single-car service. By doing 
so, URCS overstates the equipment costs of equipment moving in single-
car service and understates the equipment costs of equipment moving in 
unit train service.
    Accordingly, the Board now proposes to modify the Phase II inputs 
for car-days and car-miles to reflect the current efficiency adjusted 
values for the predominant shipment size of each particular car type. 
Specifically, the Supplemental NPR proposes the following: (1) If a 
majority of shipments for one car type (greater than 50%) move by unit 
train, then the Supplemental NPR proposes to use the efficiency 
adjusted inputs for car-days and car-miles; (2) if the predominant 
shipment size for that car type is single-car, then the Supplemental 
NPR proposes to use the unadjusted inputs for car-days and car-miles; 
and (3) if there is no majority of shipments moving by a particular 
shipment size, the Supplemental NPR proposes to apply the efficiency 
adjustments depending on whether the particular adjustment reduces 
costs for multi-car shipments or not.
    Under this proposal, not only would the step function that results 
from application of the make-whole adjustment be eliminated, but the 
misallocation identified by AAR and BNSF also would be corrected and 
the efficiency adjustments currently reflected in URCS would be 
maintained.
    Because this proposal incorporates the current efficiency 
adjustments into the Phase II inputs, the Phase II unit costs for some 
equipment will increase depending on the equipment's assigned 
efficiency adjustment. Specifically, for any equipment that receives an 
efficiency adjustment, this proposal would reduce the Phase II inputs 
for that equipment (e.g., from two car-days to one car-day for car-days 
loading and unloading). This, in turn, would increase the unit costs 
for that equipment because the same equipment expenses would be divided 
by a smaller number of units. There would be no change to the unit 
costs in Phase II for equipment whose inputs do not change.
    These changes in unit costs in Phase II would flow through to the 
variable costs calculated in Phase III. Although the change in Phase II 
unit costs may be offset by the concurrent reduction in car-days or 
car-miles, equipment whose unit costs have increased in Phase II may 
still see an increase in variable costs because this proposal corrects 
the misallocation described above. In other words, the efficiency 
savings currently applied to that equipment will no longer be 
transferred to other equipment. For equipment whose Phase II unit costs 
would not change, the Phase III variable costs for that equipment would 
nonetheless also be impacted by this proposal for the same reason. That 
is, the variable costs for that equipment would decrease in Phase III 
because this proposal corrects the aforementioned misallocation 
associated with railroad-owned equipment.

[[Page 52790]]

Station Clerical Costs
    The NPR proposed to adjust how URCS calculates station clerical 
costs, which are the administrative costs associated with a shipment. 
Currently, in Phase II, URCS calculates station clerical costs on a 
per-car basis, which does not reflect economies of scale. As a result, 
in Phase III, URCS applies an efficiency adjustment for multi-car and 
unit train shipments and adds those efficiency savings onto single-car 
shipments.
    In the NPR, the Board proposed to calculate station clerical costs 
in Phase II on a per-shipment basis. Although commenters agreed that 
there are economies of scale associated with station clerical costs, 
they objected to the Board's proposal. Some commenters agreed with the 
Board's proposal on theoretical grounds, but objected because the 
proposal was not supported by empirical evidence.\35\ Others argued 
that allocating station clerical costs on a purely per-shipment basis 
would be inappropriate because there are in fact some costs that vary 
with the number of carloads.\36\ As with SEM switching costs, AAR, 
BNSF, and UP recommend that the Board adopt an approach that splits 
station clerical costs into a time-related component and an event-
related component.\37\
---------------------------------------------------------------------------

    \35\ See ARC Comment, V.S. Fauth 12; WCTL Comment 10-11.
    \36\ See ARC Comment, V.S. Fauth 12; UP Comment 10-11; WCTL 
Comment 10-11.
    \37\ See AAR Comment 16; BNSF Comment 12-13; UP Comment 10-11.
---------------------------------------------------------------------------

    After considering the comments, we propose here to continue 
calculating station clerical costs on a per-car basis in Phase II and, 
for multi-car and unit train shipments, continue applying the same 
efficiency adjustments that URCS applies now in Phase III. Unlike SEM 
costs or railroad-owned equipment costs, the adjustment currently 
applied by URCS for station clerical costs does not include a break 
point between multi-car and unit train shipments because the reduction 
is based on a function where 75% of costs are based on the carloads and 
25% of costs are based on the shipment, resulting in an asymptotic 
curve.
    However, there is a large break point between single-car and multi-
car shipments because URCS applies an efficiency adjustment to multi-
car shipments, but not to single-car shipments. Additionally, URCS adds 
the efficiency savings of larger shipment sizes onto single-car 
shipments, thus increasing the size of the step function. To eliminate 
this break point, Phase III would be adjusted to allocate station 
clerical costs in single-car shipments to account for economies of 
scale by applying the concept of the CWB Adjustment discussed earlier. 
To determine the appropriate percentage split between carload and block 
in the CWB value for single-car shipments only, the Supplemental NPR 
proposes to solve for the values that cause station clerical costs to 
be reduced at the six-car level by the same amount as is currently done 
by URCS. As with SEMs, this determination would be done annually, by 
railroad, using data in the Waybill Sample. Thus, by applying the CWB 
Adjustment, the Supplemental NPR proposes to eliminate the current step 
between single-car and multi-car shipments while also maintaining the 
current URCS efficiency adjustments for multi-car and unit train 
shipments.
    For intermodal shipments, URCS currently applies a station clerical 
efficiency adjustment starting at six flatcars. As with carload 
traffic, the Supplemental NPR proposes to continue to use the current 
efficiency adjustments for multi-car and unit train shipments. However, 
for intermodal shipments with fewer than six flatcars, the Supplemental 
NPR proposes to apply the CWB Adjustment and solve for the smallest 
multi-car shipment in order to match the current efficiency adjustment 
at six cars.\38\
---------------------------------------------------------------------------

    \38\ The Board also declines to make the further refinement to 
URCS proposed by AAR's witnesses with regard to station clerical 
costs for intermodal shipments. AAR's witnesses argued that URCS may 
currently over-allocate station clerical costs, and asked the Board 
to confirm that URCS allocations are aligned with the reporting of 
expenses in Schedules 410 and 417 of the R-1 reports. (AAR Reply, 
V.S. Baranowski & Fisher 13-14.) The costs associated with station 
clerical are found in R-1 Schedule 410 (lines 518 to 526). The costs 
associated with loading and unloading of TCUs onto or off of 
intermodal cars are found in R-1 Subschedule 417, which is a 
refinement of the costs found in R-1 Schedule 410 (lines 507-517). 
Although the URCS worktable cited by the witnesses (Worktable D7 
Part 7A) does refer to Subschedule 417, that particular worktable 
does not involve station clerical costs at issue here. URCS develops 
station clerical expenses in a separate worktable (Worktable D5 Part 
1). As such, the expenses from these two schedules are properly 
aligned with the separate calculations of URCS station clerical 
expenses and intermodal loading/unloading expenses.
---------------------------------------------------------------------------

    As with SEM costs, this revised proposal, which makes changes to 
Phase III rather than Phase II, obviates the need for adjustments to 
the Board's reporting requirements of the railroads. Thus, the NPR's 
proposed changes to the Annual Report of Cars Loaded and Cars 
Terminated (Form STB-54) and the Quarterly Report of Freight Commodity 
Statistics (Form QCS) are no longer necessary under the revised 
proposal.

3. Car-Mile Costs

    In order to calculate car-mile costs, URCS uses what is referred to 
as the Empty/Loaded Ratio (E/L Ratio) to adjust the number of miles in 
a particular movement. The E/L Ratio is used when costing all movements 
because, although there are costs associated with both empty miles and 
loaded miles, URCS only requires a user to input loaded miles to cost a 
movement. Thus, to account for the costs of a carrier's total miles, 
URCS multiplies loaded miles by the E/L Ratio. The E/L Ratio, which can 
be described as total miles divided by loaded miles, is a figure 
computed by URCS based on data supplied by the Class I carriers.
    Currently, in Phase III, URCS uses the E/L Ratio for single-car and 
multi-car movements based on actual data supplied by the railroads. For 
unit train movements, however, URCS applies an E/L Ratio of 2.0 to 
reflect the assumption that, for unit train movements, a loaded car 
will return to its origination location, such that empty miles are 
equal to loaded miles.\39\ Thus, even if a rail carrier's actual E/L 
Ratio is less than 2.0 (i.e., there are fewer empty miles than loaded 
miles and thus more efficiencies), URCS currently disregards that more 
efficient E/L Ratio as to unit train movements and applies the less 
efficient value of 2.0.\40\
---------------------------------------------------------------------------

    \39\ As explained earlier, supra note 5 and accompanying text, 
URCS currently assumes movements of 50 cars or more are unit train 
movements due to its handling of the E/L Ratio. URCS also assumes 
such movements to be unit train movements because it uses certain 
unit train statistics reported in the R-1 reports when costing those 
movements (e.g., train miles, locomotive unit-miles, car-miles, and 
gross ton-miles). The R-1 reports ask railroads to report unit 
train, way train, and through train data, and defines unit train 
service as ``a specialized scheduled shuttle type service in 
equipment (railroad- or privately-owned) dedicated to such service, 
moving between origin and destination.'' (R-1 Schedule 755 
Instructions at 92.)
    \40\ A unit train movement's E/L Ratio might be greater or less 
than 2.0 for a variety of reasons, including whether the shipment at 
issue is moved in railroad-owned cars or privately-owned cars. In 
the case of railroad-owned cars, where the rail carrier typically 
controls the movement of its cars across its network, a shipment may 
travel from point A (loading origin) to point B (unloading 
destination) to point C (next loading origin). If point C is closer 
to point B than point A, then the E/L Ratio would be less than 2.0. 
If, however, point C is farther from point B than point A, then the 
E/L Ratio would be greater than 2.0. This is in contrast, for 
example, to the situation involving a unit train of privately-owned 
cars that continually cycles between point A and point B, such that 
the movement's E/L Ratio would be equal to 2.0.
---------------------------------------------------------------------------

    In the NPR, the Board stated that the actual E/L Ratio computed 
from data supplied by the carriers is the best reflection of a 
railroad's actual operations and that it should not be

[[Page 52791]]

replaced by an assumed E/L Ratio of 2.0 in the case of a unit train 
movement. It therefore proposed to adjust URCS so that the actual E/L 
Ratio would apply to all types of movements, such that URCS would no 
longer treat all unit train movements as having equal empty and loaded 
car-miles.
    While some commenters supported or did not object to the 
proposal,\41\ others disagreed. Several commenters argue that the Board 
should continue to use the 2.0 figure for dedicated shuttle trains.\42\ 
ARC recommends that the Board consider requiring railroads to identify 
dedicated shuttle trains in the Waybill Sample so that the Board could 
properly apply the 2.0 figure to those movements.\43\ WCTL argues that 
the NPR's proposal was flawed because reported car type data does not 
distinguish between the type of service that a car is used to provide, 
and that car data supplied by carriers can include data for single-car, 
multi-car, and unit train shipments, without distinguishing between the 
type of service. As such, WCTL recommends that the Board create a new 
shipment entry in Phase III for dedicated shuttle trains and retain the 
use of the 2.0 figure for those moves.\44\ ACC argued that the Board's 
proposal cannot be adequately assessed until it determines the ratio of 
the equipment type used in unit train service versus non-unit train 
service.\45\
---------------------------------------------------------------------------

    \41\ See, e.g., AAR Comment 7 n.12 (does not object to Board's 
proposal); UP Comment 12-13 (supports use of E/L Ratio). See 
generally AECC Comment; BNSF Comment.
    \42\ ACC Reply, V.S. Mulholland 13-14; ARC Comment, V.S. Fauth 
12-14; WCTL Comment 2, 11-13.
    \43\ ARC Comment, V.S. Fauth 12-14.
    \44\ WCTL Comment 2, 11-13.
    \45\ ACC Comment 9.
---------------------------------------------------------------------------

    The Board continues to believe that URCS should apply the actual E/
L Ratio as computed from the carriers' data to all shipment sizes, 
including unit train movements. URCS's current use of the 2.0 figure 
for unit train movements is meant to reflect efficiencies of that 
service. However, as noted, even if the reported, actual E/L Ratio for 
a car type used in unit train service is less than 2.0 (such that 
efficient service is reflected), URCS will nonetheless apply the less 
efficient value of 2.0, which increases the cost of that supposedly 
more efficient movement. The E/L Ratios as reported by the Class I 
railroads in 2012 and 2013 for car types that are often used in unit 
train service were reviewed.\46\ That review indicates that, of the E/L 
Ratios reported in 2013 for car types primarily used in unit train 
service, the reported percentage of unit train car-miles with E/L 
Ratios less than 2.0 was 65% and 48% for the eastern and western Class 
I carriers, respectively. Of the E/L Ratios reported in 2012, the 
percentage of unit train car-miles with E/L Ratios less than 2.0 was 
66% and 10% for the eastern and western Class I carriers, 
respectively.\47\ This demonstrates that such shipments in those 
equipment types are indeed having their costs increased by the current 
efficiency adjustment. Moreover, that negative efficiency adjustment is 
then being added back onto single- and multi-car movements, which 
decreases costs for those smaller movements. The current application of 
2.0 instead of the system-average E/L Ratio thus undermines the purpose 
of the efficiency adjustment.
---------------------------------------------------------------------------

    \46\ Privately-owned and railroad-owned plain gondola, general 
service open-top hopper, and special service open-top hopper were 
reviewed.
    \47\ The percentage of E/L Ratios less than 2.0 weighted by unit 
train car-miles is calculated by dividing unit train car-miles for 
E/L Ratios less than 2.0 by the total unit train car-miles for all 
reported E/L Ratios.
---------------------------------------------------------------------------

    Additionally, making changes to the Waybill Sample that would 
distinguish dedicated unit train service is beyond the scope of this 
rulemaking (which is principally focused on eliminating the make-whole 
adjustment in URCS and improving related allocations), and is not 
necessary in order to apply the E/L Ratio to unit train service for 
purposes of this proceeding. The E/L Ratio is reported by equipment 
type, and certain types of equipment are used predominantly in unit 
train service, such that the E/L Ratio for those equipment types will 
reflect unit train service. For example, the 2012 and 2013 Waybill 
Samples were analyzed using the proposed definition of unit train 
(i.e., 75 cars or more, as discussed infra) to determine the percentage 
of car-miles by car type moving in single-car, multi-car, and unit 
train service. That analysis showed that certain car types are often 
used in the same type of service, particularly for those car types 
often used in unit train service (plain gondolas, general service open-
top hoppers, and special service open-top hoppers). Therefore, the 
Board continues to believe that URCS should apply the E/L Ratio as 
computed from the carriers' data to all types of service.

4. Other Related Changes

    In addition to the above changes, this Supplemental NPR also 
proposes the following changes related to the make-whole adjustment 
and/or step functions: I&I switching mileage, definition of unit train, 
LUMs, and train miles.
    I&I Switching Mileage. Currently, URCS assumes that single-car and 
multi-car shipments of carload traffic (i.e., non-intermodal traffic) 
receive I&I switching every 200 miles. Some years ago, the Board noted 
that this figure appeared to be outdated but that, without conducting a 
special study, it was unable to propose another figure to use in its 
place. Review of Gen. Purpose Costing Sys., 2 S.T.B. 659, 665 n.18 
(1997).
    In the NPR, the Board proposed to update this figure to reflect the 
fact that, since the mergers of the 1990s, the average length of haul 
on individual railroads has increased. The Board noted that, based on a 
comparison of the average length of haul for the Class I railroads in 
1990 (pre-mergers) and 2011 (post-mergers), it observed a 60% increase 
in the overall length of haul. The Board therefore proposed to increase 
the distance between I&I switches for carload traffic by 60%, from 200 
miles to 320 miles. The Board also encouraged interested parties to 
submit data and comments on whether a 60% increase is appropriate, or 
whether the Board should consider a larger increase.
    The few comments on this proposal generally argued that the Board 
should change the I&I switching mileage for carload traffic based on 
empirical data from the railroads.\48\ In particular, ACC argued that 
the Board's proposal was based on a flawed assumption. ACC points out 
that the average length of haul is based on both unit train and non-
unit train traffic, of which only the latter receives I&I switching. 
ACC argues that the Board assumed without basis that the ratio of unit 
train to non-unit train traffic has remained constant since 1990 and 
that the number of I&I switches on non-unit train traffic has remained 
constant since 1990.
---------------------------------------------------------------------------

    \48\ ACC Comment 9-10; ARC Comment, V.S. Fauth 14; ARC Reply, 
V.S. Fauth 8-9.
---------------------------------------------------------------------------

    UP supports the Board's attempt to update the carload I&I switching 
mileage, but also argues that an increase in length of haul does not 
necessarily equate to an increase in the carload I&I switching mileage. 
UP argues that the Board should base any changes to this figure on 
actual railroad data. To that end, UP states that it studied single-car 
and multi-car shipments (excluding intermodal) on its system over two 
years and determined that, on average, I&I switching for those 
shipments happens every 250 miles.\49\ UP asks the Board to adopt this 
250-mile figure rather than the 320-mile figure proposed in the

[[Page 52792]]

NPR.\50\ No party specifically commented on UP's study or proposed 
figure.
---------------------------------------------------------------------------

    \49\ Based on tables attached to its comment, it appears UP 
calculated this figure by dividing the average haul miles by the 
average number of switches for commodity categories at the two-digit 
Standard Transportation Commodity Code level in 2011 and 2012. (See 
UP Comment, App. C.)
    \50\ UP Comment 13; UP Reply 4.
---------------------------------------------------------------------------

    We disagree with the implication that there is no link between an 
increase in length of haul and an increase in I&I switching mileage. 
More than 70 years ago, when the ICC published the 200-mile value 
currently applied to carload I&I switching, the agency recognized that 
a longer distance in I&I switching could be explained by a greater 
length of haul. See S. Doc. No. 78-63, at 119 (1943). Since then, the 
railroad industry has developed significant technological improvements, 
has consolidated through mergers, and has optimized and reconfigured 
networks and yards. These, as well as other changes, allow for longer 
distances between I&I switches. Taken together, there is a reasonable 
basis to conclude that an increase in length of haul correlates to an 
increase in the distance between I&I switches.
    In response to the comments, the Board has updated its analysis of 
the length of haul change between 1990 and 2011 to exclude unit train 
shipments, which currently do not receive I&I switching in URCS, and 
intermodal shipments, for which I&I occurs at a much greater distance 
(as explained below). Based on this revised analysis, the Board has 
calculated a revised average length of haul between I&I switches for 
carload traffic of 268 miles rather than 320 miles. See workpaper 
``EP431S4_Length of Haul_I&I Switching.xlsx'' (calculating length of 
haul between 1990 and 2011). This number is close to the result of UP's 
study and is greater than the 200 mile value for I&I switching 
currently used by URCS, which may be outdated. See 2 S.T.B. at 665 
n.18. The fact that the results from UP's study (i.e., 250 miles) and 
the Board's revised methodology (i.e., 268 miles) produced similar 
results suggests that these numbers provide reasonable estimates of the 
appropriate I&I switching mileage.\51\ We encourage parties to submit 
additional data and comment on this topic, and specifically request 
comment on whether the 250-mile figure proposed by UP or the Board's 
268-mile figure appropriately reflects I&I switching in railroad 
operations.
---------------------------------------------------------------------------

    \51\ Although UP's study provides empirical evidence on this 
issue, questions remain regarding the study. For example, UP did not 
explain its specific methodology and underlying assumptions, nor did 
it explain why its study excluded certain two-digit STCC groups. 
Therefore, the Board is requesting comments on UP's study.
---------------------------------------------------------------------------

    Next, AAR and BNSF state that there is a technical error in URCS 
Phase II related to I&I switching. Currently, URCS assumes an I&I 
switch every 4,162 miles in Phase III for intermodal shipments. 
However, in calculating the system-wide I&I switches for allocation in 
Phase II, URCS uses the 200-mile figure for intermodal that should be 
used only for carload shipments. AAR and BNSF ask the Board to correct 
this inconsistency.\52\ ACC, however, objects to this request, arguing 
that this change is outside the scope of the present proceeding.\53\
---------------------------------------------------------------------------

    \52\ AAR Comment 20-21; BNSF Comment 11 n.8.
    \53\ ACC Reply 12; ACC Reply, V.S. Mulholland 18.
---------------------------------------------------------------------------

    AAR and BNSF have identified what appears to be an administrative 
error in fully implementing a 1997 Board decision regarding URCS. The 
Board believes it is appropriate to correct that error in this 
proceeding. As pointed out by AAR and BNSF, although URCS should apply 
a distance between I&I switches of 4,163 miles in Phase II, as adopted 
by the Board in 1997, it does not.\54\ Instead, it applies the 200-mile 
I&I switching distance (which is used for single-car and multi-car 
shipments) for intermodal cars. In addition, for some time now, URCS 
Phase III (both the Board's waybill costing program and the interactive 
Phase III movement costing program) has applied a 4,162-mile I&I 
switching distance for intermodal movements, which is off by one mile.
---------------------------------------------------------------------------

    \54\ In 1997, the Board determined that intermodal shipments 
receive less switching than general single-car traffic, for which 
the distance between I&I switches was assumed to be every 200 miles. 
Based on data submitted by AAR, the Board adopted a 4,163-mile I&I 
switching distance for intermodal movements. Review of Gen. Purpose 
Costing Sys., 2 S.T.B. 754, 755 (1997).
---------------------------------------------------------------------------

    In order to correct the treatment of I&I switching, an issue 
addressed earlier in the Supplemental NPR and therefore within the 
scope of this proceeding, the Supplemental NPR proposes to apply the 
4,163 switching factor previously adopted by the Board for intermodal 
shipments in Phase II as well as Phase III. As discussed later in this 
decision, the Board will be issuing a revised Phase III movement 
costing program that conforms that program to the Board's 1997 
decisions in Review of the General Purpose Costing System, 2 S.T.B. 659 
(1997) and 2 S.T.B. 754 (1997). We will also conform the figure applied 
in the Board's waybill costing program to what was adopted by the Board 
in 1997.
    Definition of Unit Train.\55\ In the NPR, the Board proposed to 
increase the number of cars in a unit train movement from the current 
50 or more cars to 80 or more cars. In this Supplemental NPR, the Board 
is proposing to reduce the number of cars in unit train movements to 75 
or more.
---------------------------------------------------------------------------

    \55\ Although the NPR used the term ``trainload,'' because URCS 
treats these movements as unit train, this Supplemental NPR uses the 
term ``unit train'' to reflect how those shipments are costed.
---------------------------------------------------------------------------

    In justifying the originally proposed increase to 80 or more cars, 
the Board noted that train lengths have increased over the years due to 
a variety of factors, including higher horsepower locomotives and 
advances in distributive power. The Board then reviewed the 2010 
Waybill Sample and determined that, for shipment sizes between 50 and 
90, there was a higher occurrence of 80-car movements than any other 
shipment size. The Board thus found that the empirical evidence 
supported the 80-car figure, but also sought comment on whether the 
Board should consider an alternate figure in defining unit train.
    Although many parties either support or do not object to the 
Board's proposal,\56\ ACC, ARC, and AECC either oppose or raise 
concerns regarding the proposed change. First, ACC asserts that the 
Board should perform a study to more appropriately determine the point 
at which shipments are transported as unit train shipments and the 
variation of this definition across commodities and regions.\57\ 
However, as stated earlier, the Board does not believe it is necessary 
to commit its limited resources to conduct the type of study that ACC 
appears to advocate, particularly when there are other means of 
accounting for these impacts.
---------------------------------------------------------------------------

    \56\ AAR Comment 7 n.12; Montana Grain Comment 1; UP Comment 14; 
WCTL Comment 13. See generally BNSF Comment (no specific comment).
    \57\ ACC Comment 10; ACC Reply, V.S. Mulholland 15.
---------------------------------------------------------------------------

    Second, ARC's witness, Fauth, argues that changing the definition 
of unit train to 80 cars, as was proposed in the NPR, could impact a 
significant amount of traffic and would likely result in increases in 
variable costs for shipments ranging from 50 to 79 cars and perhaps 
would ``deregulate'' this traffic from the Board's rate reasonableness 
jurisdiction.\58\ It is worth noting, however, that setting the 
definition of unit train too low would incorrectly assign greater 
efficiencies to shipments in the 50 to 79 car range which would 
understate the costs of those shipments and inappropriately distribute 
those efficiencies onto single-car shipments. Both of these concerns 
are addressed by the Supplemental NPR's proposed definition of unit 
train. Specifically, the Supplemental NPR proposes to change the 
definition to better reflect current railroad operations so that 
efficiencies in URCS better reflect the principle of

[[Page 52793]]

cost causation as articulated in the RAPB,\59\ regardless of which 
traffic group may or may not be affected.\60\ The Board, therefore, 
believes that the proposed unit train definition is a neutral solution 
that would more appropriately distribute efficiencies than current URCS 
does.
---------------------------------------------------------------------------

    \58\ ARC Comment, V.S. Fauth 15-17.
    \59\ In other words, costs would be assigned based on the 
operations of a service. For further discussion of cost causation, 
see supra note 21 and the accompanying text.
    \60\ Fauth also notes that NSR initiated a 75-car shuttle train 
program, which would not be considered unit train under the NPR's 
proposal. ARC Comment, V.S. Fauth 16. ARC and Fauth do not provide 
any further detail on this program; however, as discussed in this 
section, the Board's revised proposal would treat these 75-car 
shipments as unit train traffic.
---------------------------------------------------------------------------

    Finally, AECC argues that shipments of fewer than 80 cars are not 
combined with other shipments, such that the 80-car standard does not 
reflect current operations.\61\ AECC cites to the Board's data showing 
that, aside from UP, none of the other major Class I railroads have an 
average through train length of over 58.8 cars. In its comments, AECC 
analyzes the through train data for three Class I carriers, which shows 
an average through train length of 54.4 cars.
---------------------------------------------------------------------------

    \61\ AECC Comment 8-10.
---------------------------------------------------------------------------

    AECC's analysis, however, accounts only for R-1 data for through 
trains, ignoring unit train data. The R-1 Schedule 755 Instructions 
define ``through train'' as ``those trains operated between two or more 
major concentration or distribution point,'' and ``unit trains'' as ``a 
specialized scheduled shuttle type service in equipment (railroad- or 
privately-owned) dedicated to such service, moving between origin and 
destination.'' The instructions also state that ``unit trains'' data is 
not to be included in ``through'' or ``way'' train statistics.\62\ As a 
result, AECC's analysis of through train data (showing an average 
through train length of 54.4 cars) is not an appropriate basis for 
determining the definition of unit train service.\63\
---------------------------------------------------------------------------

    \62\ The R-1 Schedule 755 Instructions define ``way train'' as 
``trains operated primarily to gather and distribute cars in road 
service and move them between way stations or way points.''
    \63\ Using the methodology applied and the data source cited by 
AECC, but instead using unit train data, an average unit train 
length is calculated to be 104.7 cars, which also suggests that the 
current unit train definition of 50 cars is too low.
---------------------------------------------------------------------------

    The Board continues to believe that the existing definition of a 
unit train at 50 or more cars should be increased.\64\ However, in 
light of parties' comments and further evaluation of the available 
data, we propose to define unit train as consisting of 75 or more cars 
rather than 80 or more cars. The Board believes that defining the 
minimum size for unit train shipments as starting at 75 cars is 
appropriate for two reasons. First, the Board looks to the data 
reported in the R-1 reports for through trains and unit trains. In the 
R-1 reports, unit train data is aggregated, which prohibits the minimum 
size of unit train from being determined. As a result, the Board is 
using the weighted average train size of through train and unit train 
data to determine the break point between these two train lengths and, 
accordingly, determine the lower-end size of unit train service.\65\ As 
evidenced in workpaper ``EP431S4_Unit Train Definition.xlsx,'' the 
weighted average of through train and unit train R-1 data for the Class 
I carriers based on 2012 data is 77.5 cars and the weighted average 
based on 2013 data is 73.9 cars. Both figures support the Board's 
proposed definition of 75 cars.
---------------------------------------------------------------------------

    \64\ The NPR explained that, despite the fact that the E/L Ratio 
would no longer be adjusted exclusively for unit train movements, 
the definition of unit train would continue to play a role because 
URCS assumes that unit train movements receive no I&I switching. 
Slip op. at 8. Additionally, the unit train definition determines 
which movements use the unit train statistics reported by the 
railroads and, under this revised proposal, is used in the CWB 
Adjustment to cause SEMs to be reduced by the same amount as is 
currently done by the make-whole adjustment.
    \65\ Through trains are assumed to be shorter than unit trains. 
Therefore, the weighted average train size of through and unit train 
data should determine the lower-end size of unit train service.
---------------------------------------------------------------------------

    Second, the Board found that, using the NPR's initial methodology 
of reviewing the Waybill Sample, there is a high occurrence of 75-car 
movements compared to other shipment sizes between 50 cars and 90 cars 
according to 2012 and 2013 data.\66\ Thus, based on the comments and 
review of available data, the Board finds that it is more appropriate 
to define unit train service as 75 cars or more and revises its 
proposal accordingly.
---------------------------------------------------------------------------

    \66\ The Waybill Sample reports the number of carloads in the 
shipment for all rail traffic.
---------------------------------------------------------------------------

    Locomotive Unit-Miles (LUMs). The NPR expressed concern that the 
current allocation for LUMs produced a step function between multi-car 
and unit train shipments, and therefore proposed two modifications--one 
for unit train shipments and one for non-unit train shipments. In this 
Supplemental NPR, the Board proposes a different modification that 
would cap the LUMs associated with multi-car shipments to be less than 
or equal to the LUMs allocated to the definition of a unit train 
shipment.
    Currently, URCS calculates total LUMs by multiplying the distance 
of a particular movement by the average number of locomotives for that 
type of train. URCS then allocates these LUMs to the movement by 
multiplying total LUMs by a ratio of gross tons of the shipment to 
average gross tons of the train, such that the allocation of LUMs is 
based on the weight of the shipment.\67\
---------------------------------------------------------------------------

    \67\ The average gross tons for different types of trains are 
calculated by dividing gross ton-miles by train miles, both of which 
are reported by Class I carriers in Schedule 755 of the R-1 reports.
---------------------------------------------------------------------------

    Although the calculation of total LUMs is the same for all shipment 
size categories, two values in the calculation are derived from the R-1 
reports and are specific to train type (i.e., way train, through train, 
or unit train)--the average number of locomotives and the average gross 
tons per train. For single-car or multi-car shipments, URCS derives 
these two values from a combination of the reported way and through 
train data. For unit train shipments, URCS derives these two values 
from the reported unit train data. However, URCS applies the same unit 
cost per LUM (which is based on an average value of way, through, and 
unit trains also derived from the R-1 reports) to both unit train and 
non-unit train shipments. The result is that URCS shifts from one cost 
curve to another when moving from a multi-car shipment to a unit train 
shipment. Thus, as explained in the NPR, a step function occurs between 
multi-car and unit train shipments, such that the LUM costs assigned to 
large multi-car shipments are higher than the LUM costs assigned to 
unit train shipments.\68\
---------------------------------------------------------------------------

    \68\ The step function does not occur on intermodal shipments, 
as URCS applies only through train data to intermodal shipments. 
Therefore, all intermodal shipments are treated alike, regardless of 
the number of TCUs in the shipment.
---------------------------------------------------------------------------

    To eliminate this step function, as noted, the NPR proposed two 
modifications to how URCS allocates LUM costs. With regard to unit 
train shipments, the NPR proposed to allocate the entire train's LUM 
costs to the trainload shipment, regardless of the gross tons of the 
unit train shipment relative to the average gross tons of a particular 
train. With regard to non-unit train shipments, the NPR proposed to 
base the allocation of LUM costs for single- and multi-car shipments on 
the number of cars in the shipment relative to the minimum number of 
cars of a unit train shipment.
    Most commenters objected to the Board's LUMs proposals. With regard 
to unit train shipments, commenters argued that ignoring the 
relationship between a shipment's gross tons and the average gross tons 
of the train was problematic because it means that the weight of the 
train would not be factored into URCS. In particular, URCS currently 
assigns more LUM costs to

[[Page 52794]]

heavier trains because heavier trains require more locomotives and 
consume more fuel. Commenters argued that ignoring differences in train 
weight would produce less appropriate costing results, and that the 
step function observed by the Board is not a function of the trailing 
weight adjustment at all. Commenters also noted that the Board's 
proposal was not based on empirical studies that disprove the 
longstanding assumption that heavier trains incur higher locomotive 
costs.\69\
---------------------------------------------------------------------------

    \69\ AAR Comment 17-19; BNSF Comment 13-15; UP Comment 14-15.
---------------------------------------------------------------------------

    With regard to the modification for non-unit train movements, many 
commenters argued that the Board's proposal would produce less 
appropriate results because a car-based method is less appropriate than 
a shipment-weight based method. Commenters also argued that the Board's 
proposal had no empirical basis and that the Board's proposed 
adjustment did not actually solve the concern stated by the Board in 
the NPR.\70\
---------------------------------------------------------------------------

    \70\ AAR Comment 17-19; BNSF Comment 13-15; UP Comment 15-16.
---------------------------------------------------------------------------

    Having reviewed the comments, the Board concludes that the NPR's 
proposed change to LUM costs did not adequately account for shipments 
with heavier than system-average weights and, therefore, we are 
withdrawing the NPR's proposals related to LUM costs. However, 
considering the step function created by the current allocation, the 
Board finds that it is still appropriate to revise how URCS allocates 
LUMs.
    To eliminate the step function created by the current LUM 
allocation, the Board proposes in Phase III to cap the LUMs allocated 
to multi-car shipments to be less than or equal to those allocated to a 
75-car shipment (the minimum number of cars under our proposed 
definition of unit train).\71\ Doing this allows for a continuous slope 
with no break points between the single-multi-car slope and the unit 
train slope. This proposal otherwise leaves the allocation of LUM costs 
the same: Unlike the NPR's proposal, the LUMs allocation would 
generally continue to be based on the gross tons of the shipment 
relative to the average gross tons of the train for both non-unit and 
unit train shipments. This is responsive to commenters' concerns that 
the LUM allocations should continue to account for shipment weight. We 
believe capping the LUMs is an appropriate method to eliminate the 
negative step function produced by the current cost allocation for 
LUMs. It ensures that LUM costs for large multi-car shipments are not 
higher than for unit train shipments, requires minimal changes to 
current URCS, and would impact a small percentage of traffic.\72\
---------------------------------------------------------------------------

    \71\ Unlike with SEMs and station clerical, where the 
Supplemental NPR proposes to apply the CWB Adjustment in Phase III 
to redistribute efficiencies derived from economies of scale, with 
respect to LUMs there is no redistribution of efficiencies derived 
from economies of scale. In Phase II, non-unit train LUMs reflect 
efficiencies of ``way'' and ``through'' trains, and unit-train LUMs 
reflect the efficiencies inherent in unit train service, but the 
efficiencies of unit trains are not redistributed or added onto 
``way'' and ``through'' trains in Phase III. As a result, the Board 
finds that the CWB Adjustment proposed in this Supplemental NPR is 
not applicable to LUMs. Instead, the Supplemental NPR seeks only to 
smooth out the step function for LUMs.
    \72\ This proposal for LUMs would affect only a small portion of 
total traffic. Although the exact shipment sizes that would be 
affected vary depending on, for example, the type of equipment and 
carrier, the impact would fall on carload shipments generally at the 
higher end of the multi-car range. Using 2013 Waybill Sample data, 
the range of shipments that would be affected is 47 to 74. Using 
this example, the total traffic impacted by the proposal would be 
less than 0.08%. See workpapers ``LUMs Allocation_ClassIs.xlsx'' and 
``LUMs Allocation_Impact.xlsx.''
---------------------------------------------------------------------------

    Train Miles. Train mile costs have two components: Crew and other 
than crew. Although the NPR did not include a proposal on train miles, 
the Board is addressing train mile allocation in this Supplemental NPR 
because it also has the possibility of producing a negative or positive 
step function.
    Currently, for single-car and multi-car shipments, URCS allocates 
train miles in a similar manner to LUMs by multiplying the total train 
miles by the ratio of the gross tons of a shipment to the average gross 
tons of the train. That causes train miles to increase as shipment 
weight increases. Unit train shipments, however, receive all train 
miles, regardless of the weight of the shipment relative to the average 
gross tons of unit trains.
    The train mile allocation currently in URCS can produce a negative 
or positive step function between multi-car and unit train shipments 
(under the current definition of unit train), such that the train miles 
assigned to a 49-car shipment are lower or higher than the costs 
assigned to a 50-car shipment. Whether the step is negative or positive 
(or whether it exists at all) depends on the characteristics of the 
particular shipment.\73\
---------------------------------------------------------------------------

    \73\ This step function does not occur on intermodal shipments 
in URCS's waybill costing program, as all intermodal shipments are 
treated alike, regardless of the number of TCUs in the shipment.
---------------------------------------------------------------------------

    To eliminate all instances where a negative step function occurs, 
the Supplemental NPR proposes in Phase III to cap the train miles 
allocated to multi-car shipments to be less than or equal to those 
allocated to a 75-car shipment (the minimum number of cars under our 
proposed definition of unit train).\74\ A positive step function is 
more likely to occur when the gross tons per car of the unit train 
shipment are very low. As such, a positive step function should rarely 
happen. Therefore, at this time, it is not necessary to propose a 
change to train miles that would eliminate the potential for positive 
step functions.
---------------------------------------------------------------------------

    \74\ The CWB Adjustment also is not applicable to the train 
miles allocation for the same reasons it is not applicable to the 
LUMs allocation. See supra note 72.
---------------------------------------------------------------------------

    Other than capping the train miles allocated to multi-car 
shipments, this proposal would leave the allocation of train miles 
unchanged: Unit train shipments would continue to be allocated all the 
train miles, and the allocation for single-car and multi-car shipments 
would generally continue to be based on the gross tons of the shipment 
relative to the average gross tons of the train. We believe that 
capping the train miles as described above is an appropriate method to 
eliminate in most instances the potential step function for train 
miles. It ensures that train mile costs for large multi-car shipments 
are not higher than unit train shipments and requires minimal changes 
to current URCS.

5. Requested Modifications

    Some parties made additional requests for modifications to URCS. 
For example, AAR and BNSF asked the Board to eliminate interterminal 
and intraterminal switching, but retracted that request on reply and 
instead requested that the Board correct an underassignment of these 
costs.\75\ AAR and UP asked the Board to address regulatory reporting 
issues as they relate to positive train control and toxic-by-inhalation 
hazardous materials.\76\ AECC proposed a number of changes relating to 
train and engine crew costs, private cars, fuel costs, tare weights, 
road property investment and depreciation, and locomotives, among 
others.\77\ These requested modifications would greatly expand the 
scope of this proceeding, which the Board declines to do. The primary 
goal of this proceeding is to address concerns related to the make-
whole adjustment and concerns that URCS created step functions, which 
could create the opportunity for parties to use URCS to manipulate 
regulatory outcomes. Because the parties have either not shown that 
these requested modifications are related to the make-

[[Page 52795]]

whole adjustment or step functions, or that the requested modifications 
are necessary to appropriately calculate costs in URCS, the Board will 
not address such additional modifications in this proceeding.
---------------------------------------------------------------------------

    \75\ AAR Comment 20; AAR Reply 8-9; BNSF Comment 10-11.
    \76\ AAR Comment 21; UP Reply 6.
    \77\ AECC Comment 11-22.
---------------------------------------------------------------------------

6. Phase III Movement Costing Program

    URCS calculates the variable costs of a movement in Phase III. 
There are two versions of Phase III: The waybill costing program, which 
calculates the variable costs of movements in the Waybill Sample, and 
the interactive Phase III movement costing program,\78\ which 
calculates variable costs based on user-supplied information. The 
waybill costing program calculates the make-whole factors, whereas the 
interactive Phase III movement costing program applies the make-whole 
factors and uses them to estimate movement specific costs. The Board is 
aware of certain technical inconsistencies between the waybill costing 
program and the movement costing program (e.g., efficiency adjustments 
for intermodal shipments), and between both costing programs and the 
Board's 1997 decisions in Review of General Purpose Costing System, 2 
S.T.B. 659 (1997) and 2 S.T.B. 754 (1997) (e.g., the distance between 
I&I switches for intermodal movements). Because this proceeding 
addresses issues relating to intermodal movements, and these technical 
issues pertain to intermodal movements, we note here that the Board 
will be releasing a revised Phase III movement costing program to 
reconcile these inconsistencies. Because the technical corrections that 
will be made would merely implement procedures previously adopted after 
notice and opportunity for comment, the revised Phase III movement 
costing program will be effective upon release.
---------------------------------------------------------------------------

    \78\ The current version of the Phase III movement costing 
program (titled ``URCS Phase III Railroad Cost Program'') is 
available at http://www.stb.dot.gov/stb/industry/urcs.html. See also 
supra note 2.
---------------------------------------------------------------------------

    The revised Phase III movement costing program will not include the 
proposals in this Supplemental NPR. The Board will release a further 
revised Phase III movement costing program to implement any 
modifications adopted by final rule in this proceeding.

7. Implementation

    Several commenters noted that the NPR did not address how its 
proposal, if adopted, would be implemented.\79\ The proposal here would 
impact calculations that use multiple years of URCS data. For example, 
the Board's Office of Economics annually calculates the Class I 
carriers' revenue shortfall allocation methodology (RSAM) figure and 
revenue-to-variable cost greater than 180% (R/VC>180) ratios, as well 
as their four-year averages. See, e.g., Simplified Standards for Rail 
Rate Cases--2013 RSAM & R/VC180 Calculations, EP 689 (Sub-
No. 6) (STB served Sept. 3, 2015). For these types of annual 
calculations, the Board proposes to apply the proposed changes 
prospectively. This means that, for calculations that require multiple 
years of data--such as RSAM or R/VC>180--there would be a brief period 
where the averages include data calculated under URCS' current 
methodology and under the proposed methodology described herein. The 
Board does not believe that the changes proposed here need to be 
applied retroactively to these types of calculations. Although the 
Board believes these proposals will improve our current costing 
procedures, the proposed changes are simply refinements to URCS, which 
has been in effect for over 20 years and has been relied on by industry 
participants and the public. Therefore, the prior URCS calculations 
using the current costing procedures will remain in effect. As the 
Board strives to improve various aspects of URCS, we see no reason to 
revisit otherwise final calculations that have been and are relied upon 
by the public. See, e.g., AEP Tex. N. Co. v. BNSF Ry., NOR 41191 (Sub-
No. 1), slip op. at 7-10 (STB served May 15, 2009).
---------------------------------------------------------------------------

    \79\ AAR Comment 19-20; ACC Comment 4, V.S. Mulholland 6-7; BNSF 
Comment 15; UP Comment 18.
---------------------------------------------------------------------------

Conclusion
    We believe that the revised proposals described above would remedy 
most concerns about step functions currently in URCS, generally produce 
costs that better reflect the current state of rail industry 
operations, and are responsive to parties' criticisms of the NPR. We 
therefore invite public comment on each of the proposals described 
herein.
    Additional information supporting the Board's revised proposal is 
contained in the Board's decision (including appendices) served on 
August 4, 2016. To obtain a copy of this decision, visit the Board's 
Web site at http://www.stb.dot.gov or contact the Board's Office of 
Public Assistance, Governmental Affairs, and Compliance at (202) 245-
0238.
Regulatory Flexibility Act
    The Regulatory Flexibility Act of 1980 (RFA), 5 U.S.C. 601-612, 
generally requires a description and analysis of new rules that would 
have a significant economic impact on a substantial number of small 
entities. In drafting a rule, an agency is required to: (1) Assess the 
effect that its regulation will have on small entities; (2) analyze 
effective alternatives that may minimize a regulation's impact; and (3) 
make the analysis available for public comment. 5 U.S.C. 601-604. In 
its notice of proposed rulemaking, the agency must either include an 
initial regulatory flexibility analysis, 603(a), or certify that the 
proposed rule would not have a ``significant impact on a substantial 
number of small entities,'' 605(b).
    Because the goal of the RFA is to reduce the cost to small entities 
of complying with federal regulations, the RFA requires an agency to 
perform a regulatory flexibility analysis of small entity impacts only 
when a rule directly regulates those entities. In other words, the 
impact must be a direct impact on small entities ``whose conduct is 
circumscribed or mandated'' by the proposed rule. White Eagle Coop. 
Ass'n v. Conner, 553 F.3d 467, 478, 480 (7th Cir. 2009). An agency has 
no obligation to conduct a small entity impact analysis of effects on 
entities that it does not regulate. United Dist. Cos. v. FERC, 88 F.3d 
1105, 1170 (D.C. Cir. 1996).
    This proposal will not have a significant economic impact upon a 
substantial number of small entities, within the meaning of the RFA. 
The purpose of our changes to URCS is to improve the Board's general 
purpose costing system, which is used to develop regulatory cost 
estimates for the Class I rail carriers. These changes will result in 
more appropriate estimates of Class I carrier variable costs. 
Therefore, the Board certifies under 49 U.S.C. 605(b) that this 
proposed rule, if promulgated, will not have a significant economic 
impact on a substantial number of small entities within the meaning of 
the RFA.
Paperwork Reduction Act
    In the NPR, the Board proposed changes to two of its reporting 
requirements, and therefore sought comment on two collections of 
information pursuant to the Paperwork Reduction Act, 44 U.S.C. 3501-
3549. Those modified collections were submitted to the Office of 
Management and Budget (OMB) for review. Because we are no longer 
proposing changes to the Board's reporting requirements, we are 
withdrawing the Board's requests to OMB for approval of those 
modifications.
    It is ordered:
    1. The Board proposes to adjust URCS as detailed in this decision. 
Notice of this decision will be published in the Federal Register.

[[Page 52796]]

    2. To assist commenters in reviewing this revised proposal, the 
Board will make its workpapers available to commenters subject to the 
customary Confidentiality Agreement.
    3. Comments are due by October 11, 2016; replies are due by 
November 7, 2016.
    4. A copy of this decision will be served upon the Chief Counsel 
for Advocacy, Office of Advocacy, U.S. Small Business Administration.
    5. This decision is effective on its service date.

    Decided: August 2, 2016.

    By the Board, Chairman Elliott, Vice Chairman Miller, and 
Commissioner Begeman.
Tia Delano,
Clearance Clerk.
[FR Doc. 2016-18806 Filed 8-9-16; 8:45 am]
BILLING CODE 4915-01-P



                                               52784               Federal Register / Vol. 81, No. 154 / Wednesday, August 10, 2016 / Proposed Rules

                                               II. Summary of Errors in the Preamble                   to waive such requirements.                           This subsequent adjustment in Phase III,
                                                  On page 46457 of the CY 2017 PFS                     Undertaking further notice and                        referred to as the make-whole
                                               proposed rule, we inadvertently stated                  comment procedures to incorporate the                 adjustment, produces a step function
                                               that comments related to information                    corrections in this document into the                 and does not appropriately reflect
                                               collection requirements were due                        CY 2017 PFS proposed rule or delaying                 operating costs and economies of scale.
                                               September 13, 2016. However, on page                    the effective date of the corrections                 To better address this problem and
                                               46162, in the DATES section of the rule,                would be contrary to the public interest              related issues, the Board is now
                                               we state that comments are due ‘‘no                     because it is in the public interest to               proposing to modify certain inputs into
                                               later than 5 p.m. on September 6, 2016.’’               ensure that the rule accurately reflects              Phase II of URCS and to modify certain
                                               Accordingly, we are correcting the date                 the public comment period. Further,                   cost calculations in Phase III of URCS in
                                               on page 46457 to align with the DATES                   such procedures would be unnecessary,                 order to eliminate the make-whole
                                               section of the rule on page 46162.                      because we are not making any                         adjustment. The Board is also proposing
                                                                                                       substantive revision to the proposed                  certain other related changes to URCS,
                                               III. Waiver of Proposed Rulemaking                      rule, but rather, we are simply                       including proposals for locomotive unit-
                                               and Delay in Effective Date                             correcting the Federal Register                       miles (LUM) and train miles allocations,
                                                  Under 5 U.S.C. 553(b) of the                         document to reflect the correct date by               which would result in more appropriate
                                               Administrative Procedure Act (APA),                     which public comments must be                         rail movement costs.
                                               the agency is required to publish a                     received in order to assure their                     DATES: Comments are due by October
                                               notice of the proposed rule in the                      consideration for the final rule. For                 11, 2016; replies are due by November
                                               Federal Register and provide a period                   these reasons, we believe there is good               7, 2016.
                                               for public comment before the                           cause to waive the requirements for
                                                                                                                                                             ADDRESSES: Comments may be
                                               provisions of a rule take effect. In                    notice and comment and delay in
                                                                                                       effective date.                                       submitted either via the Board’s e-filing
                                               addition, section 553(d) of the APA                                                                           format or in the traditional paper
                                               mandates a 30-day delay in effective                    IV. Correction of Errors                              format. Any person using e-filing should
                                               date after issuance or publication of a                                                                       attach a document and otherwise
                                               rule. Sections 553(b)(B) and 553(d)(3) of                  In FR Doc. 2016–16097 (81 FR 46162),
                                                                                                       published July 15, 2016, on page 46457,               comply with the instructions at the ‘‘E-
                                               the APA provide for exceptions from the                                                                       Filing’’ link on the Board’s Web site, at
                                               APA notice and comment, and delay in                    in the first column, in the third
                                                                                                       paragraph, line 2, the phrase                         http://www.stb.dot.gov. Any person
                                               effective date requirements. Section                                                                          submitting a filing in the traditional
                                               553(b)(B) of the APA authorizes an                      ‘‘September 13, 2016’’ is corrected to
                                                                                                       read ‘‘September 6, 2016’’.                           paper format should send an original
                                               agency to dispense with normal notice                                                                         and 10 copies to: Surface Transportation
                                               and comment rulemaking procedures                         Dated: August 3, 2016.                              Board, Attn: Docket No. EP 431 (Sub-
                                               for good cause if the agency makes a                    Madhura Valverde,                                     No. 4), 395 E Street SW., Washington,
                                               finding that the notice and comment                     Executive Secretary to the Department,                DC 20423–0001.
                                               process is impracticable, unnecessary,                  Department of Health and Human Services.
                                               or contrary to the public interest; and                                                                       FOR FURTHER INFORMATION CONTACT:
                                                                                                       [FR Doc. 2016–19012 Filed 8–9–16; 8:45 am]
                                               includes a statement of the finding and                                                                       Allison Davis at (202) 245–0378.
                                                                                                       BILLING CODE 4120–01–P
                                               the reasons for it in the rule. In addition,                                                                  Assistance for the hearing impaired is
                                               section 553(d)(3) of the APA allows the                                                                       available through the Federal
                                               agency to avoid the 30-day delay in                                                                           Information Relay Service (FIRS) at
                                                                                                       SURFACE TRANSPORTATION BOARD                          (800) 877–8339.
                                               effective date where such delay is
                                               contrary to the public interest and the                 49 CFR Parts 1247 and 1248                            SUPPLEMENTARY INFORMATION: In 1989,
                                               agency includes in the rule a statement                                                                       the Board’s predecessor, the Interstate
                                               of the finding and the reasons for it.                  [Docket No. EP 431 (Sub-No. 4)]                       Commerce Commission (ICC), adopted
                                                  In our view, this correcting document                                                                      URCS as its general purpose costing
                                                                                                       Review of the General Purpose
                                               does not constitute a rulemaking that                                                                         system. Adoption of the Unif. R.R.
                                                                                                       Costing System; Supplement
                                               would be subject to these requirements.                                                                       Costing Sys. as a Gen. Purpose Costing
                                               This document merely corrects a                         AGENCY: Surface Transportation Board.                 Sys. for All Regulatory Costing
                                               technical error in the CY 2017 PFS                      ACTION:Supplemental notice of                         Purposes, 5 I.C.C.2d 894 (1989). The
                                               proposed rule. The corrections                          proposed rulemaking.                                  Board uses URCS for a variety of
                                               contained in this document are                                                                                regulatory functions. URCS is used in
                                               consistent with, and do not make                        SUMMARY:   Through this supplemental                  rate reasonableness proceedings as part
                                               substantive changes to, the policies and                notice of proposed rulemaking                         of the initial market dominance
                                               payment methodologies that were                         (Supplemental NPR), the Surface                       determination. At later stages of rate
                                               proposed subject to notice and comment                  Transportation Board (Board) is revising              reasonableness proceedings, URCS is
                                               procedures in the CY 2017 PFS                           its proposal to eliminate the ‘‘make-                 used in parts of the Board’s
                                               proposed rule. As a result, the                         whole adjustment’’ that is currently                  determination as to whether the
                                               correction made through this correcting                 applied as part of our general purpose                challenged rate is reasonable, and, when
                                               document is intended to resolve an                      costing system, the Uniform Railroad                  warranted, the maximum rate
                                               inadvertent error so that the rule                      Costing System (URCS). The notice of                  prescription. URCS is also used to
                                               accurately reflects the correct date for                proposed rulemaking (NPR) in this                     develop variable costs for making cost
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                                               comments to be submitted in order to                    proceeding, issued on February 4, 2013,               determinations in abandonment
                                               assure their consideration in the final                 explained that when disaggregating data               proceedings; to provide the railroad
                                               rule.                                                   and calculating system-average unit                   industry and shippers with a
                                                  Even if this were a rulemaking to                    costs in Phase II, URCS does not fully                standardized costing model; to cost the
                                               which the notice and comment and                        take into account the economies of scale              Board’s Carload Waybill Sample to
                                               delayed effective date requirements                     realized from larger shipment sizes,                  develop industry cost information; and
                                               applied, we find that there is good cause               necessitating an adjustment in Phase III.             to provide interested parties with basic


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                                                                    Federal Register / Vol. 81, No. 154 / Wednesday, August 10, 2016 / Proposed Rules                                                     52785

                                               cost information regarding railroad                     the make-whole adjustment, which is                    car or 49-car shipment. Likewise, the
                                               industry operations.                                    calculated and applied in Phase III, is to             unit cost for a unit train movement is
                                                 URCS develops a regulatory cost                       recognize the efficiency savings that a                the same, whether it is a 50-car or 135-
                                               estimate that can be applied to a service               carrier obtains in its higher-volume                   car shipment (or anywhere in between).
                                               that occurs anywhere on a rail carrier’s                shipments and thus render more                         At the same time, however, the system-
                                               system. These cost estimates are                        appropriate unit costs.                                average unit cost for a 49-car multi-car
                                               developed through three distinct phases                    URCS applies the make-whole                         shipment is significantly higher than the
                                               of URCS.                                                adjustment through a three-step process.               unit cost for a 50-car unit train
                                                 • Phase I occurred only when URCS                     First, URCS assumes that a movement’s                  shipment. In other words, hard break
                                               was originally developed using the                      costs are equal to that of a system-                   points exist that may not reflect true
                                               annual reports submitted by Class I rail                average movement. Next, URCS applies                   efficiency differences between single-car
                                               carriers (R–1 reports). Regression                      efficiency adjustments depending on                    and multi-car shipments, and between
                                               analyses were performed to develop                      shipment size—single-car (1 to 5 cars),                multi-car and unit train shipments.
                                               equations linking expense account                       multi-car (6 to 49 cars), and trainload/                  Second, the make-whole adjustment
                                               groupings with particular measures of                   unit train (50 or more cars).4 URCS                    redistributes the shortfall across single-
                                               railroad activities.                                    applies the efficiency adjustments to                  car and multi-car movements on a per-
                                                 • Annually, in Phase II, URCS takes                   higher-volume movements, thereby                       car basis, which not only fails to
                                               the aggregated cost data and traffic                    reducing the system-average unit costs                 account for economies of scale but also
                                               statistics provided by Class I carriers in              of such movements.5 Last, URCS                         increases the size of the step function.
                                               their most recent R–1 reports and other                 redistributes the total savings obtained
                                               reports and disaggregates them by                                                                              For example, under the per-car method
                                                                                                       in all of the higher-volume shipments                  for switching-related costs, costs are
                                               calculating system-average unit costs                   (the shortfall) across all of the lower-
                                               associated with specific rail activities.                                                                      increased in proportion to the number
                                                                                                       volume shipments, such that the sum of                 of cars switched (i.e., a two-car
                                                 • In Phase III, URCS takes the unit                   variable costs across all of the carrier’s
                                               costs from Phase II and applies them to                                                                        movement is costed as twice as
                                                                                                       movements remains the same.                            expensive to switch as a one-car
                                               the characteristics of a particular                        The NPR identified two primary
                                               movement in order to calculate the                                                                             movement, a three-car movement is
                                                                                                       concerns with how the make-whole
                                               variable cost of that movement.1                                                                               three times as expensive to switch as a
                                                                                                       adjustment is currently applied by
                                                 The agency has periodically reviewed                                                                         one-car movement, etc.). By not
                                                                                                       URCS. First, the efficiency adjustments
                                               URCS since its inception.2 In August                                                                           decreasing the per-car costs as the
                                                                                                       cause a step function because the
                                               2009, the Senate Committee on                                                                                  number of cars in the shipment
                                                                                                       adjustments generally reduce the
                                               Appropriations directed the Board to                                                                           increases, the redistribution of savings
                                                                                                       system-average unit costs by various set
                                               submit a report providing options for                                                                          does not adequately account for
                                                                                                       percentages depending on whether the
                                               additional updates to URCS. In the                                                                             economies of scale. Additionally, the
                                                                                                       movement is classified as unit train,
                                               report submitted in May 2010, the Board                                                                        redistribution of savings increases the
                                                                                                       multi-car, or single-car. As a result, the
                                               identified the make-whole adjustment                                                                           size of the step function because the
                                                                                                       current URCS methodology generally
                                               as one area that warranted further                                                                             add-ons increase costs per car across
                                                                                                       reflects economies of scale only between
                                               review.3                                                                                                       single-car and multi-car shipments, but
                                                                                                       single-car and multi-car shipments and
                                                 By decision served on February 4,                                                                            do not apply to unit train shipments.6
                                                                                                       between multi-car and unit train
                                               2013, the Board issued the NPR,                         shipments, but it does not reflect any                    These break points, or steps, create
                                               mentioned above, to address concerns                    economies of scale within those                        the opportunity for parties to use URCS
                                               with the make-whole adjustment in                       shipment sizes. For example, the                       to manipulate regulatory outcomes. The
                                               URCS. As explained in the NPR, the                      system-average unit cost for a multi-car               same problem occurs with locomotive
                                               make-whole adjustment is applied by                     movement is the same whether it is a 6-                unit-mile (LUM) allocation, which also
                                               URCS to correct the fact that, when                                                                            produces a step function between multi-
                                               disaggregating data and calculating                        4 Single-car, multi-car, and trainload/unit train   car and unit train shipments. The NPR
                                               system-average unit costs in Phase II,                  are the three basic shipment size categories for       proposed to address these concerns
                                               URCS does not fully take into account                   purposes of the make-whole adjustment. URCS            regarding the make-whole adjustment
                                               the economies of scale realized from                    currently treats all trainload movements as unit       and LUM allocation. Rather than
                                                                                                       train movements; because of its handling of the
                                               larger shipment sizes. The purpose of                   Empty/Loaded Ratio, URCS assumes that every            refining the make-whole adjustment in
                                                                                                       trainload movement travels from origination to         Phase III, the NPR proposed to reflect
                                                 1 Although Phase III is referred to generically       destination and back to origination. Trainload         the impact of economies of scale in
                                               here, Phase III actually consists of two programs:      movements are also assumed to be unit train            calculating the system-average unit
                                               The waybill costing program, used to calculate the      because URCS uses certain unit train statistics
                                               variable costs of movements from the Waybill            reported by the railroads when costing trainload       costs in Phase II, thereby eliminating the
                                               Sample, and the interactive Phase III movement          movements (e.g., train miles, locomotive unit-miles,   need for a modification of those costs in
                                               costing program, which calculates variable costs of     car-miles, and gross ton-miles). Although the NPR      Phase III. To that end, the NPR proposed
                                               movements based on user-supplied information.           used the term ‘‘trainload’’ to describe these          changes to switching costs related to
                                               The waybill costing program calculates the make-        movements, because URCS treats these movements
                                               whole factors, whereas the interactive Phase III        as unit train, this Supplemental NPR will use the      switch engine minutes, equipment costs
                                               movement costing program applies the make-whole         term ‘‘unit train,’’ which better reflects how those   for the use of railroad-owned equipment
                                               factors and estimates a movement-specific cost. The     shipments are costed.                                  during switching, station clerical costs,
                                               interactive Phase III movement costing program is          Additionally, URCS treats intermodal traffic as a   and car-mile costs, as well as other
                                               available for download on the Board’s Web site. See     type of ‘‘hybrid’’ category. Prior to 1997, URCS
                                                                                                                                                              related changes to URCS. The NPR also
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                                               also infra note 79 and accompanying text.               treated intermodal traffic as single-car movements.
                                                 2 See, e.g., Review of the Surface Transp. Bd.’s      In 1997, the Board concluded that more accurate
                                               Gen. Costing Sys., EP 431 (Sub-No. 3) (STB served       costs would be obtained by applying to intermodal         6 For example, under the current system, the costs
                                               Apr. 6, 2009); Review of Gen. Purpose Costing Sys.,     traffic many, though not all, of the efficiency        are increased in proportion to the number of cars.
                                               2 S.T.B. 754 (1997); Review of Gen. Purpose Costing     adjustments applicable to unit train movements.        If the shortfall redistribution for a one-car shipment
                                               Sys., EP 431 (Sub-No. 2) (ICC served July 21, 1993).    Review of Gen. Purpose Costing Sys., 2 S.T.B. 659,     is $1,000, then the shortfall redistribution for a 49-
                                                 3 Surface Transp. Bd., Surface Transportation         663–665 (1997).                                        car shipment is $49,000. But because the add-ons
                                               Board Report to Congress Regarding the Uniform             5 There are 14 efficiency adjustments, any number   do not apply to unit train shipments, there is no
                                               Rail Costing System, 14, 18–19 (May 27, 2010).          of which may apply to a particular movement.           redistribution of costs to a 50-car shipment.



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                                               52786               Federal Register / Vol. 81, No. 154 / Wednesday, August 10, 2016 / Proposed Rules

                                               proposed changes to the LUM                             can be properly supported by reasonable                 properly reflect the causation factors for
                                               allocation.                                             economic judgments based on sound                       those costs.
                                                  To assist commenters in evaluating                   principles of cost causation and cost                     As discussed more fully later in this
                                               those proposals, the Board issued a                     allocation. Moreover, both the need for                 decision, the Board has determined that
                                               decision on April 25, 2013, in which it                 improvement and the extent to which                     certain of the NPR’s proposals for
                                               made available certain information,                     changes can be implemented without                      changing the method of calculating the
                                               including the uncosted and costed 2011                  undue burden must be considered. The                    costs of various types of operations in
                                               Waybill Sample, the source code used to                 special studies that would reexamine all                Phase II, such as switching costs, raised
                                               cost the Waybill Sample and the                         of the underlying empirical studies                     legitimate concerns about cost causation
                                               intermediate outputs that result from                   would primarily place a burden on both                  and inadvertently affected other outputs
                                               using the source code, a small record                   the rail industry’s and the agency’s                    of Phase III. After considering the
                                               set, and descriptions to changes in the                 resources. Because the modest changes                   comments and engaging in further
                                               calculations of certain Phase III line                  proposed here can be made to correct or                 analysis, we now believe that, with
                                               items. The Board received comments                      mitigate specific problems with the                     modifications to the NPR’s proposals,
                                               and reply comments on June 20, 2013,                    make-whole adjustment and the related                   the existing efficiency adjustments and
                                               and September 5, 2013, respectively.7                   LUM and train mile allocations without                  cost relationships in Phase III can form
                                               After considering the comments, the                     such studies,9 the Board believes this is               the basis for changes that remedy the
                                               Board is modifying its earlier proposal.                the prudent course of action. In taking                 problems in the current make-whole
                                               General Comments                                        this approach, the Board is guided by                   adjustment and related Phase III
                                                                                                       the ‘‘practicality principle’’ set forth in             outputs. Therefore, the Board proposes
                                                  Commenters expressed two general                     the Final Report of the Railroad                        in this Supplemental NPR certain
                                               concerns about the NPR, which the                       Accounting Principles Board (RAPB),                     modifications to inputs in Phase II and
                                               Board has considered in creating the                    which states that ‘‘cost and related                    calculations in Phase III that would
                                               revised proposal set forth in this                      information . . . must generate benefits                more appropriately adjust system-
                                               Supplemental NPR. First, some                           that exceed the costs of providing it.’’ 10             average unit costs.
                                               commenters cautioned against pursuing                   As the Board has previously stated,                       To assist commenters in reviewing
                                               ‘‘piece-meal’’ changes to URCS, arguing                                                                         this revised proposal, the Board will
                                                                                                       [i]n considering costing modifications, [the
                                               that piece-meal changes run the risk of                 Board] cannot demand perfection. Rather,                make its workpapers (which contain
                                               skewing results and that the Board                      [the Board bases its] decision on whether a             confidential information from the
                                               should consider a more comprehensive                    proposed change represents an improvement               Waybill Sample) available subject to our
                                               review of URCS.8 Second, a number of                    over current costing procedures, and whether            customary Confidentiality Agreement.
                                               commenters expressed the concern that                   such a change can be implemented at a
                                                                                                       reasonable cost and without undue burden                49 CFR 1244.9.12 The workpapers
                                               the proposals in the NPR lack empirical
                                                                                                       on the railroad industry, the shipping public           contain sample calculations and
                                               support and would change long-
                                                                                                       or the agency.                                          supporting data related to: (1) Switch
                                               standing cost allocation factors that
                                                                                                                                                               Engine Minutes, (2) Railroad-Owned
                                               were derived from industry studies. To                  Review of Gen. Purpose Costing Sys., 2
                                                                                                                                                               Equipment, (3) Station Clerical, (4) Car-
                                               that end, many of the commenters                        S.T.B. 659, 660–61 (1997).
                                                                                                          The NPR in this proceeding focused                   Miles, and (5) Other Related Changes.
                                               propose that the Board conduct special
                                               studies that will provide the empirical                 on an identified problem in URCS: The                   Revised Proposal
                                               support necessary for the proposed                      occurrence of break points, between
                                                                                                                                                                  The revised proposal would eliminate
                                               changes.                                                shipment sizes, that do not
                                                                                                                                                               the need for the make-whole adjustment
                                                  We understand the arguments about                    appropriately reflect operating costs and
                                                                                                                                                               and address additional step functions in
                                               piece-meal changes to URCS, but we do                   economies of scale, and the problematic
                                                                                                                                                               URCS relating to LUMs and train miles.
                                               not believe that improvements to our                    allocation of LUMs that also creates
                                                                                                                                                               Below, proposed changes to the current
                                               costing system should be ignored when                   break points. Several commenters
                                                                                                                                                               efficiency adjustments—switching costs,
                                               incremental changes can be                              acknowledge these current flaws in
                                                                                                                                                               railroad-owned equipment costs, station
                                               implemented to address specific                         URCS.11 Our goal here, as in the past,
                                               problems or concerns that have been                                                                             clerical costs, and car-mile costs—are
                                                                                                       is to make ‘‘an improvement over
                                               identified with a portion of that system.                                                                       first discussed. Other related proposals
                                                                                                       current costing procedures.’’ As
                                               Nor do we believe that it is necessary for                                                                      are then discussed.
                                                                                                       discussed above, it is possible to modify
                                               the Board to have the types of empirical                URCS to address these issues without                    1. Switching Costs Related to Switch
                                               data suggested by commenters in order                   conducting special studies, which,                      Engine Minutes
                                               to move forward with the specific                       under the circumstances, could place an                    The NPR proposed to adjust how
                                               changes to URCS proposed in this                        undue burden on ‘‘the railroad industry,                URCS calculates the operating costs for
                                               rulemaking. The changes proposed here                   the shipping public, or the agency.’’                   switching cars, regardless of car
                                                                                                       However, the comments received argued                   ownership. These costs are referred to as
                                                  7 The following parties filed comments in this
                                                                                                       that our proposed methodologies for                     ‘‘switch engine minute’’ (SEM) costs.
                                               proceeding: Arkansas Electric Cooperative
                                               Corporation (AECC); Association of American
                                                                                                       calculating certain Phase II costs did not              Currently, in Phase II, URCS calculates
                                               Railroads (AAR); BNSF Railway Company (BNSF);                                                                   SEM costs on a per-carload basis, which
                                                                                                          9 Although the NPR did not include a proposal on
                                               Montana Grain Growers Association (Montana
                                               Grain); Samuel J. Nasca, on behalf of United            train miles, the Board is addressing train mile         does not reflect economies of scale as
                                               Transportation Union-New York State Legislative         allocation in this Supplemental NPR because, as         shipment size increases. In the NPR, the
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                                               Board; Tom O’Connor Group; Union Pacific                explained below, it has the possibility of producing
                                               Railroad Company (UP); Western Coal Traffic             a step function.                                          12 To obtain the workpapers, parties should
                                               League (WCTL). Additionally, joint comments were           10 RAPB Final Report 17. See also Adoption of the
                                                                                                                                                               submit a written request to the Board’s Office of
                                               filed by the American Chemistry Council and others      Uniform R.R. Costing Sys. As A General Purpose          Economics and reference this proceeding. Parties
                                               (referred to collectively as ACC) as well as by the     Costing Sys. For All Regulatory Costing Purposes, 5     may seek a protective order for subsequent
                                               Alliance for Rail Competition and others (referred      I.C.C.2d 894, 909 (1989); 49 U.S.C. 11162(b)(3), (4).   pleadings using this information. If participants are
                                               to collectively as ARC).                                   11 AAR Comment 13; BNSF Comment 5; Montana           permitted to file their pleadings under seal, they
                                                  8 AAR Comment 9, 21; V.S. O’Connor & Legieza         Grain Comment 1; UP Comment 3; WCTL Comment             also will be required to file a public version with
                                               10–11; UP Comment 2, 18.                                7.                                                      confidential information redacted.



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                                                                    Federal Register / Vol. 81, No. 154 / Wednesday, August 10, 2016 / Proposed Rules                                                      52787

                                               Board stated that, operationally, a                     economies of scale and recognize the                     cars in a block, due to the time and
                                               shipment of rail cars is generally                      fact that switching costs include both a                 event components of switching.
                                               connected into a contiguous block of                    time component and an event                                 To determine the appropriate
                                               cars, and is handled as a contiguous                    component. Under the revised proposal,                   percentages by carload and block in the
                                               block from origin to destination. The                   Phase III would adjust the system-                       CWB value, while also maintaining the
                                               Board therefore proposed to calculate                   average unit costs by incorporating both                 existing cost relationships in URCS, the
                                               SEM unit costs in Phase II on a per-                    the time component of switching                          Supplemental NPR proposes to solve for
                                               shipment basis for all five types of                    (carload basis) and the event component                  the values that cause SEMs to be
                                               switching accounted for by URCS.13                      of switching (shipment basis). In this                   reduced at the minimum unit train level
                                                  Although certain commenters                          way, the efficiency adjustments that are                 by the same amount as is currently done
                                               acknowledge that allocating SEMs on a                   reflected in Phase III would no longer                   by URCS.19 This determination would
                                               purely per-carload basis may not be                     result in a step function and would                      be done annually, by railroad, using
                                               appropriate, they also object to the                    reflect economies of scale for every                     data in the Waybill Sample for each
                                               NPR’s proposed allocation of SEMs on                    different shipment size.                                 type of switching. Then, to convert
                                               a purely per-shipment basis because                        Several commenters argued that the                    system-average SEMs from Phase II to
                                               switching costs are, to some extent,                    efficiency adjustments in Phase III were                 SEMs in Phase III that reflect economies
                                               dependent upon the number of cars in                    developed using empirical data,16 and                    of scale, the Supplemental NPR
                                               the block.14 Specifically, commenters                   that these existing cost relationships in                proposes the following calculation,
                                               argue that there is both a time                         URCS should be maintained. This                          where the CWB Ratio represents SEMs
                                               component and an event component to                     proposal maintains the existing cost                     per CWB divided by SEMs per carload:
                                               switching, and that the time required to                relationships in URCS to the extent                      Phase III Adjusted SEMs = (Phase II
                                               switch cars is influenced by the number                 practicable. This Supplemental NPR                       System Average SEMs) * (CWB Ratio) *
                                               of cars in the shipment.15 Several                      proposes to incorporate the current                      (CWB)
                                               commenters therefore recommend that                     efficiency adjustments, which were
                                               the Board allocate a portion of switching                                                                           These calculations represent the
                                                                                                       developed using empirical data, by                       proposed relationship between current
                                               costs on a per-shipment basis and a                     maintaining the percentage reduction
                                               portion on a per-carload basis. Such an                                                                          Phase II calculations, which are done on
                                                                                                       for unit train traffic currently embodied                a per-carload basis, and the proposed
                                               approach would require a determination                  in the Phase III efficiency adjustments.17
                                               of the appropriate percentage split                                                                              Phase III calculations, which are done
                                                                                                       For example, for industry switching,                     on a per-CWB basis. As explained, these
                                               between carloads and shipments and                      URCS currently applies a 75%
                                               likely involve statistical studies that                                                                          calculations eliminate the current step
                                                                                                       reduction in assigned SEMs for unit                      function and incorporate current URCS
                                               would be time-consuming and costly.                     train traffic, and a 50% reduction in
                                               While such studies might be justifiable                                                                          efficiency adjustments at the unit train
                                                                                                       assigned SEMs for multi-car traffic, by                  level. This adjustment is referred to as
                                               if there were no less costly alternative                way of a step function. The proposal
                                               to address the problem, the Board has                                                                            the CWB Adjustment.
                                                                                                       would continue applying the 75%                             The CWB Adjustment is more
                                               concluded that the cost relationships                   reduction for unit train traffic, but
                                               used to develop the Phase III efficiency                                                                         appropriate than the current make-
                                                                                                       would now achieve this reduction by                      whole adjustment for several reasons.
                                               adjustments can be used to recognize                    way of an asymptotic curve. The
                                               and quantify the time- and event-related                                                                         Although the current methodology
                                                                                                       efficiency reductions for single-car and                 generally reflects economies of scale
                                               components of switching costs in Phase                  multi-car traffic would no longer apply;
                                               III in a way that eliminates the problems                                                                        between single-car and multi-car
                                                                                                       rather, the efficiencies associated with                 shipments and between multi-car and
                                               with the existing make-whole                            such movements would be allocated
                                               adjustment.                                                                                                      unit train shipments, it does not reflect
                                                                                                       through the asymptotic curve.                            any economies of scale within those
                                                  Thus, rather than changing the                          In order to create this asymptotic
                                               calculation of SEM unit costs in Phase                                                                           shipment sizes. The CWB Adjustment
                                                                                                       curve, the Board would employ a new                      does reflect increasing economies of
                                               II as proposed in the NPR, the                          concept called the Carload Weighted
                                               Supplemental NPR would adjust how                                                                                scale as shipment size increases. It also
                                                                                                       Block (CWB) Adjustment. The CWB                          has the advantage over the current
                                               Phase III allocates SEMs to account for                 Adjustment applies a weighting to a                      methodology of not producing a step
                                                  13 Those five types of switching are: (1) Industry
                                                                                                       block of cars based on a percentage of                   function and not requiring an add-back
                                               switching; (2) interchange switching; (3)
                                                                                                       the number of cars in that block.18 The                  of the shortfall. Finally, with the
                                               intraterminal switching; (4) interterminal switching;   CWB value is calculated as the number                    possible exception of I&I switching,
                                               and (5) inter-train & intra-train (I&I) switching.      of cars in a block multiplied by the                     discussed below, the CWB Adjustment
                                               Industry switching is switching that occurs at origin   percentage by which switching varies by
                                               or destination points. Interchange switching is                                                                  better reflects the cost causality
                                               switching that occurs at intermediate yards between
                                                                                                       carload, plus the number of blocks                       principle from the RAPB’s Final
                                               different carriers, as opposed to I&I switching,        multiplied by the percentage by which                    Report 20 because of the changing
                                               which occurs on a rail carrier’s own lines.             switching varies by block—thus                           economies of scale for every different
                                               Intraterminal switching is the switching of cars by     reflecting the fact that switching costs
                                               one carrier within a rail terminal, and interterminal                                                            shipment size.
                                               switching is the switching of cars between carriers
                                                                                                       are dependent in part on the number of
                                               within a rail terminal. For purposes of costing the                                                                 19 To illustrate, for carload industry switching,
                                               Waybill Sample, only movements that travel a total        16 See  AAR Comment 16; ACC Comment 2; BNSF            the appropriate carload and block percentages
                                               distance of less than 8.5 miles are considered          Comment 11–12.                                           would be calculated by solving for a 75% reduction
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                                               intraterminal or interterminal switching.                 17 Although the current make-whole adjustment          at 75 cars (the proposed definition of unit train).
                                                  14 See, e.g., AAR Comment 12, 13, 16; ACC            for unit train traffic is applied starting at 50 cars,   See infra p. 25 (proposing to define unit train
                                               Comment 8; BNSF Comment 7–8; UP Comment 4–              the Supplemental NPR proposes to apply these             starting at 75 cars).
                                               5.                                                      revised adjustments starting at 75 cars. See infra p.       20 ‘‘Causality is the primary criterion for cost
                                                  15 For example, if the switching movement            25.                                                      assignment. Cost is the amount (usually expressed
                                               requires moving cars from one track to another, or        18 A ‘‘block’’ is defined as the number of cars on     in monetary terms) of input resources used to
                                               if it requires the cars to be inspected and the air     the waybill moved as a contiguous unit from origin       achieve a specified quantity of activity or service.
                                               brakes to charge, then the amount of time it takes      to destination. For carload traffic, the number of       Causality links cost with an activity or service.’’
                                               to switch will be dependent on the number of cars.      blocks is always one.                                    (RAPB Final Report 9.)



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                                               52788               Federal Register / Vol. 81, No. 154 / Wednesday, August 10, 2016 / Proposed Rules

                                                  This revised proposal, which makes                   operations, the Board has considered                    Board could require each Class I to
                                               changes to Phase III through the CWB                    alternative solutions and found this                    report annually the average number of
                                               Adjustment rather than Phase II,                        proposal to be the most appropriate                     intermodal flatcars moving together as a
                                               obviates the need for changes to the                    solution under the circumstances. For                   block and use that reported number
                                               Board’s reporting requirements by the                   instance, one alternative solution could                (annualized over three years) as that
                                               railroads. Thus, the NPR’s proposed                     be to reconsider the current URCS                       carrier’s number of flatcars in a
                                               changes to the Annual Report of Cars                    assumption that unit train shipments                    ‘‘shipment.’’ 26 In their joint verified
                                               Loaded and Cars Terminated (Form                        receive no I&I switching.22 However, for                statement, AAR’s witnesses, Baranowski
                                               STB–54) and the Quarterly Report of                     the reasons stated earlier, the Board                   and Fisher, estimated the average size of
                                               Freight Commodity Statistics (Form                      seeks to avoid the unwarranted                          an intermodal shipment to be 10
                                               QCS) are no longer necessary under the                  administrative and public burden                        intermodal flat cars, though they did not
                                               revised proposal.                                       associated with a special study to                      provide their methodology for how this
                                                  Below, two specific issues related to                establish a new efficiency adjustment                   figure was developed.27
                                               the CWB Adjustment are discussed: I&I                   for I&I switching where modifications                      The Board does not believe that a
                                               switching and the definition of                         that account for these impacts can be                   special study is required in order to
                                               ‘‘shipment.’’                                           made without such studies. Parties may,                 define a shipment. In the NPR, the
                                                                                                       however, submit evidence on I&I                         Board stated that, operationally, a
                                               I&I Switching                                                                                                   shipment of rail cars is generally
                                                                                                       switching for unit train traffic for the
                                                  The CWB Adjustment for I&I                           Board’s consideration, if they so choose.               connected into a contiguous block of
                                               switching would be applied as                           Another solution would be to have a                     cars. Although the terms ‘‘shipment’’
                                               described above. However, unlike the                    methodology that produces a positively                  and ‘‘block’’ are sometimes used
                                               other types of switching, application of                sloped I&I switching cost curve for                     interchangeably, the former is generally
                                               the CWB Adjustment as described above                   single- and multi-car shipments;                        a billing concept, while the latter is
                                               to I&I switching results in decreasing                  however, any such solution would, by                    generally an operational concept. For
                                               total I&I switching costs as shipment                   definition, require a negative step                     the purposes of discussing intermodal
                                               size increases.21 In other words, the                   function in order for the cost to drop to               shipments, the distinction is important,
                                               total I&I costs for a two-car shipment                  zero for unit trains. Because a major goal              as an intermodal shipment may, for
                                               would be slightly less than for a one-car               of this Supplemental NPR is to                          costing purposes, use only a partial
                                               shipment, a three-car shipment would                    eliminate step functions, the Board                     block, as further described below.
                                               be slightly less than a two-car shipment,               believes the use of the CWB Adjustment                     As noted, switching is performed on
                                               a four-car shipment would be slightly                   for I&I switching is superior.                          a block of cars. For carload shipments,
                                               less than a three-car shipment, and so                                                                          the number of blocks for a shipment is
                                               on until the total I&I cost for a unit train            a. Definition of ‘‘Shipment’’                           always one. For intermodal shipments,
                                               shipment is zero.                                          As noted in the NPR, any proposal to                 however, the number of trailer container
                                                  The CWB Adjustment solution                          calculate SEM costs on a per-shipment                   units (TCUs) in a shipment may not fill
                                               produces a negative slope in total I&I                  basis (whether entirely or in part)                     an entire car, such that the time, and
                                               switching costs because URCS currently                  requires the Board to define                            thus costs, to switch the number of
                                               assumes a 100% efficiency reduction                     ‘‘shipment.’’ The NPR proposed to                       TCUs in an intermodal shipment should
                                               (i.e., zero I&I switching) for unit train               define ‘‘shipment’’ as a block of one or                be prorated. For example, if the average
                                               shipments, reflecting the assumption in                 more cars moving under the same                         number of TCUs per flatcar is four, the
                                               URCS that there is no I&I switching                     waybill from origin to destination. Some                time required to switch a shipment of
                                               associated with unit trains. The CWB                    commenters suggested that this                          one TCU should be prorated to 25% of
                                                                                                       definition was inappropriate because                    the time required to switch the entire
                                               Adjustment proposes to maintain the
                                                                                                       how traffic moves operationally and                     flatcar. As another example, a shipment
                                               existing efficiency reductions for unit
                                                                                                       how it is waybilled are not necessarily                 of six TCUs will require two flatcars in
                                               trains by solving for the values that
                                                                                                       synonymous.23 In particular,                            a block, though the time to switch the
                                               cause SEMs to be reduced at the unit
                                                                                                       commenters argued that, while the                       block should be prorated to 75% for that
                                               train level by the same amount as is
                                                                                                       Board’s definition may be sufficient for                shipment, as the number of TCUs in the
                                               currently done by URCS. Because the
                                                                                                       carload traffic, it was inappropriate for               shipment only accounts for six of the
                                               I&I cost curve goes from a positive value
                                                                                                       intermodal traffic.24                                   eight available TCU spaces in the block
                                               for a one-car shipment to a value of zero
                                                                                                          BNSF and AAR contend that the                        of two flatcars.
                                               for a unit train shipment, it results in a                                                                         Thus, the Supplemental NPR
                                               negative total I&I cost curve. This is in               Board should undertake a special study
                                                                                                                                                               proposes to adjust the NPR’s definition
                                               contrast to the other types of switching,               to determine how to define intermodal
                                                                                                                                                               slightly by defining a shipment as a
                                               which have an efficiency reduction of                   shipments for costing purposes.25 In the
                                                                                                                                                               block of one or more cars or TCUs
                                               less than 100% at the unit train level,                 alternative, BNSF suggests that the
                                                                                                                                                               moving under the same waybill from
                                               thus resulting in a positive value and                                                                          origin to destination. The Board believes
                                                                                                          22 Evidence submitted by parties in rate cases has
                                               total cost curve.                                                                                               that such a definition is appropriate for
                                                                                                       suggested anecdotally that certain unit trains may
                                                  Although this negative slope for I&I                 receive I&I switching for bad-order cars. See, e.g.,    both carload traffic and intermodal
                                               switching may not be perfectly                          Tex. Mun. Power Agency v. BNSF Ry., NOR 42056,          traffic, and that the difference between
                                               reflective of costs for actual railroad                 slip op. at 45 (STB served Mar. 24, 2003); Pub. Serv.   the two is that the time, and thus costs,
                                                                                                       Co. of Colo. v. BNSF Ry., NOR 42057, slip op. at
                                                                                                                                                               to switch an intermodal shipment may
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                                                  21 This negative slope would not be reflected in     128 (STB served June 7, 2004). However, such
                                               URCS Phase III switching costs when I&I switching       evidence is not broad enough to be used to develop      need to be prorated based on the
                                               is combined with industry switching. See                a new efficiency adjustment for I&I switching in
                                               workpaper ‘‘EP431S4_SEMs_IndustryAndI&I.xlsx.’’         this proceeding.                                          26 BNSF further states that, in 2012, it had an
                                                                                                          23 AAR Comment 13–15; ACC Comment 7–8;
                                               Since not all movements receive the other types of                                                              average of 5.29 containers per flatcar. BNSF
                                               switching, see supra note 14, a graph of I&I            ACC Reply, V.S. Mulholland 4.                           Comment 9 (citing 2012 BNSF R–1 report, Schedule
                                                                                                          24 AAR Comment 14–15; ACC Comment 7–8;               755).
                                               switching and industry switching depicts whether
                                               total switching costs for a movement will have a        BNSF Comment 9–10.                                        27 See AAR Comment, V.S. Baranowski & Fisher

                                               negatively or positively sloped curve.                     25 AAR Comment 14–15; BNSF Comment 9–10.             13.



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                                                                    Federal Register / Vol. 81, No. 154 / Wednesday, August 10, 2016 / Proposed Rules                                          52789

                                               number of TCUs in the block being                           Commenters disagree with the Board’s              particular car type. Specifically, the
                                               switched. To perform this calculation,                   proposal to eliminate the Phase III                  Supplemental NPR proposes the
                                               the Supplemental NPR proposes to use                     efficiency adjustments for these costs.30            following: (1) If a majority of shipments
                                               the average number of TCUs per flatcar                   They argue that URCS currently                       for one car type (greater than 50%)
                                               that is reported by the railroads on line                recognizes certain efficiencies that were            move by unit train, then the
                                               134 of R–1 Schedule 755.                                 derived from special studies conducted               Supplemental NPR proposes to use the
                                                  Some commenters pointed out that                      by the ICC, and that there is no evidence            efficiency adjusted inputs for car-days
                                               intermodal trailers or containers                        that these efficiencies have been                    and car-miles; (2) if the predominant
                                               typically move under a separate waybill                  reduced or eliminated. As such,                      shipment size for that car type is single-
                                               even if the TCUs are placed on flatcars                  commenters argue that the Board’s                    car, then the Supplemental NPR
                                               that move in multiple flatcar blocks. We                 proposal should account for these                    proposes to use the unadjusted inputs
                                               take this to mean that, even if multiple                 efficiencies. UP and BNSF, for example,              for car-days and car-miles; and (3) if
                                               TCUs are traveling together from origin                  recommend that the Board divide costs                there is no majority of shipments
                                               to destination, each TCU may be billed                   into an event-related component and a                moving by a particular shipment size,
                                               individually on a separate waybill. AAR                  shipment size-related component,                     the Supplemental NPR proposes to
                                               further pointed out that ‘‘this distinction              similar to SEM costs.31 WCTL asks the                apply the efficiency adjustments
                                               ha[d] not been relevant to URCS costs                    Board to retain the efficiency                       depending on whether the particular
                                               . . . calculated on a per car basis,’’ but               adjustment, and acknowledges that this               adjustment reduces costs for multi-car
                                               that the Board’s proposal in the NPR ‘‘to                would necessitate the retention of a                 shipments or not.
                                               rely on a per shipment costs’’                           make-whole factor.32                                    Under this proposal, not only would
                                                                                                           Additionally, AAR and BNSF ask                    the step function that results from
                                               highlighted ‘‘the disconnect’’ between
                                                                                                        that, regardless of whether the Board                application of the make-whole
                                               how traffic moves operationally and
                                                                                                        proceeds with its proposals in the NPR,              adjustment be eliminated, but the
                                               how it is waybilled.28 The Board’s
                                                                                                        it fix what they describe as a ‘‘flaw’’ or           misallocation identified by AAR and
                                               Supplemental NPR eliminates this                         ‘‘misallocation problem’’ in how URCS
                                               concern because the CWB Adjustment                                                                            BNSF also would be corrected and the
                                                                                                        calculates the costs for railroad-owned              efficiency adjustments currently
                                               for intermodal switching now finds that                  equipment when applying the make-
                                               intermodal switching is based on 100%                                                                         reflected in URCS would be maintained.
                                                                                                        whole adjustment.33 They argue that
                                               of the number of cars. As such, there is                                                                         Because this proposal incorporates
                                                                                                        URCS improperly distributes cost
                                               no difference between the proposal in                                                                         the current efficiency adjustments into
                                                                                                        savings associated with the efficiency of
                                               this Supplemental NPR and how URCS                                                                            the Phase II inputs, the Phase II unit
                                                                                                        one car type to other car types. AAR’s
                                               currently treats intermodal switching                                                                         costs for some equipment will increase
                                                                                                        witnesses, for example, argue that
                                               (i.e., on a per car basis).                                                                                   depending on the equipment’s assigned
                                                                                                        because the costs for railroad-owned
                                                  It is worth noting that, under the                                                                         efficiency adjustment. Specifically, for
                                                                                                        cars are composed primarily of
                                               proposal and proposed definition of a                                                                         any equipment that receives an
                                                                                                        ownership and lease costs that are
                                               shipment, billing multiple TCUs                          specific to individual car types, URCS is            efficiency adjustment, this proposal
                                               individually rather than as a shipment                   distributing ownership costs for one car             would reduce the Phase II inputs for
                                               may increase the allocation of station                   type to shipments using a different car              that equipment (e.g., from two car-days
                                               clerical costs to those TCUs. However,                   type.34                                              to one car-day for car-days loading and
                                               we perceive no misallocation of costs in                    Because commenters urge retention of              unloading). This, in turn, would
                                               this outcome because such a practice                     the existing cost relationships to the               increase the unit costs for that
                                               would require more clerical resources to                 extent that the efficiency adjustments in            equipment because the same equipment
                                               process multiple waybills rather than a                  URCS were developed using empirical                  expenses would be divided by a smaller
                                               single waybill.                                          data, we have incorporated those                     number of units. There would be no
                                                                                                        adjustments into the revised proposal to             change to the unit costs in Phase II for
                                               2. Equipment Costs for the Use of                        the extent practicable. However, we also             equipment whose inputs do not change.
                                               Railroad-Owned Cars During Switching                     agree that the current efficiency                       These changes in unit costs in Phase
                                                  Another category of system-average                    adjustments are distributing savings                 II would flow through to the variable
                                               unit costs associated with switching                     from a few equipment types that have a               costs calculated in Phase III. Although
                                               pertains to the equipment costs for the                  high percentage of unit train service                the change in Phase II unit costs may be
                                               use of railroad-owned cars. These costs                  onto the costs of other types of                     offset by the concurrent reduction in
                                               are distance- and time-related.29 In the                 equipment that have a high percentage                car-days or car-miles, equipment whose
                                               NPR, the Board concluded that these                      of single-car service. By doing so, URCS             unit costs have increased in Phase II
                                               costs are properly accounted for on a                    overstates the equipment costs of                    may still see an increase in variable
                                               per-car basis and therefore proposed to                  equipment moving in single-car service               costs because this proposal corrects the
                                               continue calculating these costs on a                    and understates the equipment costs of               misallocation described above. In other
                                               per-car basis. However, the NPR would                    equipment moving in unit train service.              words, the efficiency savings currently
                                               have affected the calculation of these                      Accordingly, the Board now proposes               applied to that equipment will no longer
                                               costs by eliminating the Phase III                       to modify the Phase II inputs for car-               be transferred to other equipment. For
                                               efficiency adjustment.                                   days and car-miles to reflect the current            equipment whose Phase II unit costs
                                                                                                        efficiency adjusted values for the                   would not change, the Phase III variable
                                                                                                        predominant shipment size of each                    costs for that equipment would
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                                                 28 AAR   Comment 14.
                                                 29 In other words, the costs for using a railroad-
                                                                                                                                                             nonetheless also be impacted by this
                                               owned car are based both on the distance it travels
                                                                                                          30 See AAR Comment 17; BNSF Comment 11–12;
                                                                                                                                                             proposal for the same reason. That is,
                                               and the time it is being used during the switching       UP Comment 11–12; WCTL Comment 8–9.                  the variable costs for that equipment
                                                                                                          31 See BNSF Comment 11–12; UP Comment 11–
                                               process. For example, if a railroad-owned car                                                                 would decrease in Phase III because this
                                               travels two miles during an interchange switch, and      12.
                                               is held at the interchange for three days, the costs       32 See WCTL Comment 9; WCTL Reply 9.               proposal corrects the aforementioned
                                               for the use of that car will be based both on the two-     33 See AAR Reply 7; BNSF Reply 4–5.                misallocation associated with railroad-
                                               miles it traveled and the three-days it was held.          34 AAR Reply, V.S. Baranowski & Fisher 11.         owned equipment.


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                                               52790               Federal Register / Vol. 81, No. 154 / Wednesday, August 10, 2016 / Proposed Rules

                                               Station Clerical Costs                                  clerical costs in single-car shipments to              3. Car-Mile Costs
                                                  The NPR proposed to adjust how                       account for economies of scale by                         In order to calculate car-mile costs,
                                               URCS calculates station clerical costs,                 applying the concept of the CWB                        URCS uses what is referred to as the
                                               which are the administrative costs                      Adjustment discussed earlier. To                       Empty/Loaded Ratio (E/L Ratio) to
                                               associated with a shipment. Currently,                  determine the appropriate percentage                   adjust the number of miles in a
                                               in Phase II, URCS calculates station                    split between carload and block in the                 particular movement. The E/L Ratio is
                                               clerical costs on a per-car basis, which                CWB value for single-car shipments                     used when costing all movements
                                               does not reflect economies of scale. As                 only, the Supplemental NPR proposes to                 because, although there are costs
                                               a result, in Phase III, URCS applies an                 solve for the values that cause station                associated with both empty miles and
                                               efficiency adjustment for multi-car and                 clerical costs to be reduced at the six-               loaded miles, URCS only requires a user
                                               unit train shipments and adds those                     car level by the same amount as is                     to input loaded miles to cost a
                                               efficiency savings onto single-car                      currently done by URCS. As with SEMs,                  movement. Thus, to account for the
                                               shipments.                                              this determination would be done                       costs of a carrier’s total miles, URCS
                                                  In the NPR, the Board proposed to                    annually, by railroad, using data in the               multiplies loaded miles by the E/L
                                               calculate station clerical costs in Phase               Waybill Sample. Thus, by applying the                  Ratio. The E/L Ratio, which can be
                                               II on a per-shipment basis. Although                    CWB Adjustment, the Supplemental                       described as total miles divided by
                                               commenters agreed that there are                        NPR proposes to eliminate the current                  loaded miles, is a figure computed by
                                               economies of scale associated with                      step between single-car and multi-car                  URCS based on data supplied by the
                                               station clerical costs, they objected to                shipments while also maintaining the                   Class I carriers.
                                               the Board’s proposal. Some commenters                   current URCS efficiency adjustments for                   Currently, in Phase III, URCS uses the
                                               agreed with the Board’s proposal on                     multi-car and unit train shipments.                    E/L Ratio for single-car and multi-car
                                               theoretical grounds, but objected                          For intermodal shipments, URCS                      movements based on actual data
                                               because the proposal was not supported                  currently applies a station clerical                   supplied by the railroads. For unit train
                                               by empirical evidence.35 Others argued                  efficiency adjustment starting at six                  movements, however, URCS applies an
                                               that allocating station clerical costs on               flatcars. As with carload traffic, the                 E/L Ratio of 2.0 to reflect the
                                               a purely per-shipment basis would be                    Supplemental NPR proposes to continue                  assumption that, for unit train
                                               inappropriate because there are in fact                 to use the current efficiency adjustments              movements, a loaded car will return to
                                               some costs that vary with the number of                 for multi-car and unit train shipments.                its origination location, such that empty
                                               carloads.36 As with SEM switching                       However, for intermodal shipments                      miles are equal to loaded miles.39 Thus,
                                               costs, AAR, BNSF, and UP recommend                      with fewer than six flatcars, the                      even if a rail carrier’s actual E/L Ratio
                                               that the Board adopt an approach that                   Supplemental NPR proposes to apply                     is less than 2.0 (i.e., there are fewer
                                               splits station clerical costs into a time-              the CWB Adjustment and solve for the                   empty miles than loaded miles and thus
                                               related component and an event-related                  smallest multi-car shipment in order to                more efficiencies), URCS currently
                                               component.37                                            match the current efficiency adjustment                disregards that more efficient E/L Ratio
                                                  After considering the comments, we                   at six cars.38                                         as to unit train movements and applies
                                               propose here to continue calculating                       As with SEM costs, this revised                     the less efficient value of 2.0.40
                                               station clerical costs on a per-car basis               proposal, which makes changes to Phase                    In the NPR, the Board stated that the
                                               in Phase II and, for multi-car and unit                 III rather than Phase II, obviates the                 actual E/L Ratio computed from data
                                               train shipments, continue applying the                  need for adjustments to the Board’s                    supplied by the carriers is the best
                                               same efficiency adjustments that URCS                   reporting requirements of the railroads.               reflection of a railroad’s actual
                                               applies now in Phase III. Unlike SEM                    Thus, the NPR’s proposed changes to                    operations and that it should not be
                                               costs or railroad-owned equipment                       the Annual Report of Cars Loaded and
                                                                                                                                                                 39 As explained earlier, supra note 5 and
                                               costs, the adjustment currently applied                 Cars Terminated (Form STB–54) and
                                                                                                                                                              accompanying text, URCS currently assumes
                                               by URCS for station clerical costs does                 the Quarterly Report of Freight                        movements of 50 cars or more are unit train
                                               not include a break point between                       Commodity Statistics (Form QCS) are no                 movements due to its handling of the E/L Ratio.
                                               multi-car and unit train shipments                      longer necessary under the revised                     URCS also assumes such movements to be unit
                                                                                                       proposal.                                              train movements because it uses certain unit train
                                               because the reduction is based on a                                                                            statistics reported in the R–1 reports when costing
                                               function where 75% of costs are based                                                                          those movements (e.g., train miles, locomotive unit-
                                               on the carloads and 25% of costs are                       38 The Board also declines to make the further
                                                                                                                                                              miles, car-miles, and gross ton-miles). The R–1
                                               based on the shipment, resulting in an                  refinement to URCS proposed by AAR’s witnesses         reports ask railroads to report unit train, way train,
                                                                                                       with regard to station clerical costs for intermodal   and through train data, and defines unit train
                                               asymptotic curve.                                       shipments. AAR’s witnesses argued that URCS may        service as ‘‘a specialized scheduled shuttle type
                                                  However, there is a large break point                currently over-allocate station clerical costs, and    service in equipment (railroad- or privately-owned)
                                               between single-car and multi-car                        asked the Board to confirm that URCS allocations       dedicated to such service, moving between origin
                                               shipments because URCS applies an                       are aligned with the reporting of expenses in          and destination.’’ (R–1 Schedule 755 Instructions at
                                                                                                       Schedules 410 and 417 of the R–1 reports. (AAR         92.)
                                               efficiency adjustment to multi-car                      Reply, V.S. Baranowski & Fisher 13–14.) The costs         40 A unit train movement’s E/L Ratio might be
                                               shipments, but not to single-car                        associated with station clerical are found in R–1      greater or less than 2.0 for a variety of reasons,
                                               shipments. Additionally, URCS adds the                  Schedule 410 (lines 518 to 526). The costs             including whether the shipment at issue is moved
                                               efficiency savings of larger shipment                   associated with loading and unloading of TCUs          in railroad-owned cars or privately-owned cars. In
                                                                                                       onto or off of intermodal cars are found in R–1        the case of railroad-owned cars, where the rail
                                               sizes onto single-car shipments, thus                   Subschedule 417, which is a refinement of the costs    carrier typically controls the movement of its cars
                                               increasing the size of the step function.               found in R–1 Schedule 410 (lines 507–517).             across its network, a shipment may travel from
                                               To eliminate this break point, Phase III                Although the URCS worktable cited by the               point A (loading origin) to point B (unloading
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                                               would be adjusted to allocate station                   witnesses (Worktable D7 Part 7A) does refer to         destination) to point C (next loading origin). If point
                                                                                                       Subschedule 417, that particular worktable does not    C is closer to point B than point A, then the E/L
                                                                                                       involve station clerical costs at issue here. URCS     Ratio would be less than 2.0. If, however, point C
                                                 35 See ARC Comment, V.S. Fauth 12; WCTL
                                                                                                       develops station clerical expenses in a separate       is farther from point B than point A, then the E/
                                               Comment 10–11.                                          worktable (Worktable D5 Part 1). As such, the          L Ratio would be greater than 2.0. This is in
                                                 36 See ARC Comment, V.S. Fauth 12; UP
                                                                                                       expenses from these two schedules are properly         contrast, for example, to the situation involving a
                                               Comment 10–11; WCTL Comment 10–11.                      aligned with the separate calculations of URCS         unit train of privately-owned cars that continually
                                                 37 See AAR Comment 16; BNSF Comment 12–13;            station clerical expenses and intermodal loading/      cycles between point A and point B, such that the
                                               UP Comment 10–11.                                       unloading expenses.                                    movement’s E/L Ratio would be equal to 2.0.



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                                                                   Federal Register / Vol. 81, No. 154 / Wednesday, August 10, 2016 / Proposed Rules                                                      52791

                                               replaced by an assumed E/L Ratio of 2.0                 service, the reported percentage of unit                 (i.e., non-intermodal traffic) receive I&I
                                               in the case of a unit train movement. It                train car-miles with E/L Ratios less than                switching every 200 miles. Some years
                                               therefore proposed to adjust URCS so                    2.0 was 65% and 48% for the eastern                      ago, the Board noted that this figure
                                               that the actual E/L Ratio would apply to                and western Class I carriers,                            appeared to be outdated but that,
                                               all types of movements, such that URCS                  respectively. Of the E/L Ratios reported                 without conducting a special study, it
                                               would no longer treat all unit train                    in 2012, the percentage of unit train car-               was unable to propose another figure to
                                               movements as having equal empty and                     miles with E/L Ratios less than 2.0 was                  use in its place. Review of Gen. Purpose
                                               loaded car-miles.                                       66% and 10% for the eastern and                          Costing Sys., 2 S.T.B. 659, 665 n.18
                                                  While some commenters supported or                   western Class I carriers, respectively.47                (1997).
                                               did not object to the proposal,41 others                This demonstrates that such shipments                       In the NPR, the Board proposed to
                                               disagreed. Several commenters argue                     in those equipment types are indeed                      update this figure to reflect the fact that,
                                               that the Board should continue to use                   having their costs increased by the                      since the mergers of the 1990s, the
                                               the 2.0 figure for dedicated shuttle                    current efficiency adjustment.                           average length of haul on individual
                                               trains.42 ARC recommends that the                       Moreover, that negative efficiency                       railroads has increased. The Board
                                               Board consider requiring railroads to                   adjustment is then being added back                      noted that, based on a comparison of the
                                               identify dedicated shuttle trains in the                onto single- and multi-car movements,                    average length of haul for the Class I
                                               Waybill Sample so that the Board could                  which decreases costs for those smaller                  railroads in 1990 (pre-mergers) and 2011
                                               properly apply the 2.0 figure to those                  movements. The current application of                    (post-mergers), it observed a 60%
                                               movements.43 WCTL argues that the                       2.0 instead of the system-average E/L                    increase in the overall length of haul.
                                               NPR’s proposal was flawed because                       Ratio thus undermines the purpose of                     The Board therefore proposed to
                                               reported car type data does not                         the efficiency adjustment.                               increase the distance between I&I
                                               distinguish between the type of service                    Additionally, making changes to the                   switches for carload traffic by 60%,
                                               that a car is used to provide, and that                 Waybill Sample that would distinguish                    from 200 miles to 320 miles. The Board
                                               car data supplied by carriers can                       dedicated unit train service is beyond                   also encouraged interested parties to
                                               include data for single-car, multi-car,                 the scope of this rulemaking (which is                   submit data and comments on whether
                                               and unit train shipments, without                       principally focused on eliminating the                   a 60% increase is appropriate, or
                                               distinguishing between the type of                      make-whole adjustment in URCS and                        whether the Board should consider a
                                               service. As such, WCTL recommends                       improving related allocations), and is                   larger increase.
                                               that the Board create a new shipment                    not necessary in order to apply the                         The few comments on this proposal
                                               entry in Phase III for dedicated shuttle                E/L Ratio to unit train service for                      generally argued that the Board should
                                               trains and retain the use of the 2.0 figure             purposes of this proceeding. The E/L                     change the I&I switching mileage for
                                               for those moves.44 ACC argued that the                  Ratio is reported by equipment type,                     carload traffic based on empirical data
                                               Board’s proposal cannot be adequately                   and certain types of equipment are used                  from the railroads.48 In particular, ACC
                                               assessed until it determines the ratio of               predominantly in unit train service,                     argued that the Board’s proposal was
                                               the equipment type used in unit train                   such that the E/L Ratio for those                        based on a flawed assumption. ACC
                                               service versus non-unit train service.45                equipment types will reflect unit train                  points out that the average length of
                                                  The Board continues to believe that                  service. For example, the 2012 and 2013                  haul is based on both unit train and
                                               URCS should apply the actual E/L Ratio                  Waybill Samples were analyzed using                      non-unit train traffic, of which only the
                                               as computed from the carriers’ data to                  the proposed definition of unit train                    latter receives I&I switching. ACC argues
                                               all shipment sizes, including unit train                (i.e., 75 cars or more, as discussed infra)              that the Board assumed without basis
                                               movements. URCS’s current use of the                    to determine the percentage of car-miles                 that the ratio of unit train to non-unit
                                               2.0 figure for unit train movements is                  by car type moving in single-car, multi-                 train traffic has remained constant since
                                               meant to reflect efficiencies of that                   car, and unit train service. That analysis               1990 and that the number of I&I
                                               service. However, as noted, even if the                 showed that certain car types are often                  switches on non-unit train traffic has
                                               reported, actual E/L Ratio for a car type               used in the same type of service,                        remained constant since 1990.
                                               used in unit train service is less than 2.0             particularly for those car types often                      UP supports the Board’s attempt to
                                               (such that efficient service is reflected),             used in unit train service (plain                        update the carload I&I switching
                                               URCS will nonetheless apply the less                    gondolas, general service open-top                       mileage, but also argues that an increase
                                               efficient value of 2.0, which increases                 hoppers, and special service open-top                    in length of haul does not necessarily
                                               the cost of that supposedly more                        hoppers). Therefore, the Board                           equate to an increase in the carload I&I
                                               efficient movement. The E/L Ratios as                   continues to believe that URCS should                    switching mileage. UP argues that the
                                               reported by the Class I railroads in 2012               apply the E/L Ratio as computed from                     Board should base any changes to this
                                               and 2013 for car types that are often                   the carriers’ data to all types of service.              figure on actual railroad data. To that
                                               used in unit train service were                                                                                  end, UP states that it studied single-car
                                               reviewed.46 That review indicates that,                 4. Other Related Changes
                                                                                                                                                                and multi-car shipments (excluding
                                               of the E/L Ratios reported in 2013 for                     In addition to the above changes, this                intermodal) on its system over two years
                                               car types primarily used in unit train                  Supplemental NPR also proposes the                       and determined that, on average, I&I
                                                                                                       following changes related to the make-                   switching for those shipments happens
                                                 41 See, e.g., AAR Comment 7 n.12 (does not object     whole adjustment and/or step functions:                  every 250 miles.49 UP asks the Board to
                                               to Board’s proposal); UP Comment 12–13 (supports        I&I switching mileage, definition of unit
                                               use of E/L Ratio). See generally AECC Comment;                                                                   adopt this 250-mile figure rather than
                                               BNSF Comment.
                                                                                                       train, LUMs, and train miles.                            the 320-mile figure proposed in the
                                                                                                          I&I Switching Mileage. Currently,
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                                                 42 ACC Reply, V.S. Mulholland 13–14; ARC

                                               Comment, V.S. Fauth 12–14; WCTL Comment 2,              URCS assumes that single-car and                           48 ACC Comment 9–10; ARC Comment, V.S.
                                               11–13.                                                  multi-car shipments of carload traffic                   Fauth 14; ARC Reply, V.S. Fauth 8–9.
                                                 43 ARC Comment, V.S. Fauth 12–14.
                                                                                                                                                                  49 Based on tables attached to its comment, it
                                                 44 WCTL Comment 2, 11–13.                               47 The percentage of E/L Ratios less than 2.0          appears UP calculated this figure by dividing the
                                                 45 ACC Comment 9.
                                                                                                       weighted by unit train car-miles is calculated by        average haul miles by the average number of
                                                 46 Privately-owned and railroad-owned plain           dividing unit train car-miles for E/L Ratios less than   switches for commodity categories at the two-digit
                                               gondola, general service open-top hopper, and           2.0 by the total unit train car-miles for all reported   Standard Transportation Commodity Code level in
                                               special service open-top hopper were reviewed.          E/L Ratios.                                              2011 and 2012. (See UP Comment, App. C.)



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                                               52792               Federal Register / Vol. 81, No. 154 / Wednesday, August 10, 2016 / Proposed Rules

                                               NPR.50 No party specifically                            URCS assumes an I&I switch every                         or more cars. In this Supplemental NPR,
                                               commented on UP’s study or proposed                     4,162 miles in Phase III for intermodal                  the Board is proposing to reduce the
                                               figure.                                                 shipments. However, in calculating the                   number of cars in unit train movements
                                                  We disagree with the implication that                system-wide I&I switches for allocation                  to 75 or more.
                                               there is no link between an increase in                 in Phase II, URCS uses the 200-mile                         In justifying the originally proposed
                                               length of haul and an increase in I&I                   figure for intermodal that should be                     increase to 80 or more cars, the Board
                                               switching mileage. More than 70 years                   used only for carload shipments. AAR                     noted that train lengths have increased
                                               ago, when the ICC published the 200-                    and BNSF ask the Board to correct this                   over the years due to a variety of factors,
                                               mile value currently applied to carload                 inconsistency.52 ACC, however, objects                   including higher horsepower
                                               I&I switching, the agency recognized                    to this request, arguing that this change                locomotives and advances in
                                               that a longer distance in I&I switching                 is outside the scope of the present                      distributive power. The Board then
                                               could be explained by a greater length                  proceeding.53                                            reviewed the 2010 Waybill Sample and
                                               of haul. See S. Doc. No. 78–63, at 119                     AAR and BNSF have identified what                     determined that, for shipment sizes
                                               (1943). Since then, the railroad industry               appears to be an administrative error in                 between 50 and 90, there was a higher
                                               has developed significant technological                 fully implementing a 1997 Board                          occurrence of 80-car movements than
                                               improvements, has consolidated                          decision regarding URCS. The Board                       any other shipment size. The Board thus
                                               through mergers, and has optimized and                  believes it is appropriate to correct that               found that the empirical evidence
                                               reconfigured networks and yards. These,                 error in this proceeding. As pointed out                 supported the 80-car figure, but also
                                               as well as other changes, allow for                     by AAR and BNSF, although URCS                           sought comment on whether the Board
                                               longer distances between I&I switches.                  should apply a distance between I&I                      should consider an alternate figure in
                                               Taken together, there is a reasonable                   switches of 4,163 miles in Phase II, as                  defining unit train.
                                               basis to conclude that an increase in                   adopted by the Board in 1997, it does                       Although many parties either support
                                               length of haul correlates to an increase                not.54 Instead, it applies the 200-mile                  or do not object to the Board’s
                                               in the distance between I&I switches.                   I&I switching distance (which is used                    proposal,56 ACC, ARC, and AECC either
                                                  In response to the comments, the                     for single-car and multi-car shipments)                  oppose or raise concerns regarding the
                                               Board has updated its analysis of the                   for intermodal cars. In addition, for                    proposed change. First, ACC asserts that
                                               length of haul change between 1990 and                  some time now, URCS Phase III (both                      the Board should perform a study to
                                               2011 to exclude unit train shipments,                   the Board’s waybill costing program and                  more appropriately determine the point
                                               which currently do not receive I&I                      the interactive Phase III movement                       at which shipments are transported as
                                               switching in URCS, and intermodal                       costing program) has applied a 4,162-                    unit train shipments and the variation of
                                               shipments, for which I&I occurs at a                    mile I&I switching distance for                          this definition across commodities and
                                               much greater distance (as explained                     intermodal movements, which is off by                    regions.57 However, as stated earlier, the
                                               below). Based on this revised analysis,                 one mile.                                                Board does not believe it is necessary to
                                               the Board has calculated a revised                         In order to correct the treatment of I&I              commit its limited resources to conduct
                                               average length of haul between I&I                      switching, an issue addressed earlier in                 the type of study that ACC appears to
                                               switches for carload traffic of 268 miles               the Supplemental NPR and therefore                       advocate, particularly when there are
                                               rather than 320 miles. See workpaper                    within the scope of this proceeding, the                 other means of accounting for these
                                               ‘‘EP431S4_Length of Haul_I&I                            Supplemental NPR proposes to apply                       impacts.
                                               Switching.xlsx’’ (calculating length of                 the 4,163 switching factor previously                       Second, ARC’s witness, Fauth, argues
                                               haul between 1990 and 2011). This                       adopted by the Board for intermodal                      that changing the definition of unit train
                                               number is close to the result of UP’s                   shipments in Phase II as well as Phase                   to 80 cars, as was proposed in the NPR,
                                               study and is greater than the 200 mile                  III. As discussed later in this decision,                could impact a significant amount of
                                               value for I&I switching currently used                  the Board will be issuing a revised                      traffic and would likely result in
                                               by URCS, which may be outdated. See                     Phase III movement costing program                       increases in variable costs for shipments
                                               2 S.T.B. at 665 n.18. The fact that the                 that conforms that program to the                        ranging from 50 to 79 cars and perhaps
                                               results from UP’s study (i.e., 250 miles)               Board’s 1997 decisions in Review of the                  would ‘‘deregulate’’ this traffic from the
                                               and the Board’s revised methodology                     General Purpose Costing System, 2                        Board’s rate reasonableness
                                               (i.e., 268 miles) produced similar results              S.T.B. 659 (1997) and 2 S.T.B. 754                       jurisdiction.58 It is worth noting,
                                               suggests that these numbers provide                     (1997). We will also conform the figure                  however, that setting the definition of
                                               reasonable estimates of the appropriate                 applied in the Board’s waybill costing                   unit train too low would incorrectly
                                               I&I switching mileage.51 We encourage                   program to what was adopted by the                       assign greater efficiencies to shipments
                                               parties to submit additional data and                   Board in 1997.                                           in the 50 to 79 car range which would
                                               comment on this topic, and specifically                    Definition of Unit Train.55 In the NPR,               understate the costs of those shipments
                                               request comment on whether the 250-                     the Board proposed to increase the                       and inappropriately distribute those
                                               mile figure proposed by UP or the                       number of cars in a unit train movement                  efficiencies onto single-car shipments.
                                               Board’s 268-mile figure appropriately                   from the current 50 or more cars to 80                   Both of these concerns are addressed by
                                               reflects I&I switching in railroad                                                                               the Supplemental NPR’s proposed
                                               operations.                                               52 AAR   Comment 20–21; BNSF Comment 11 n.8.           definition of unit train. Specifically, the
                                                  Next, AAR and BNSF state that there                    53 ACC   Reply 12; ACC Reply, V.S. Mulholland 18.      Supplemental NPR proposes to change
                                               is a technical error in URCS Phase II                     54 In 1997, the Board determined that intermodal       the definition to better reflect current
                                                                                                       shipments receive less switching than general            railroad operations so that efficiencies
                                               related to I&I switching. Currently,                    single-car traffic, for which the distance between I&I
                                                                                                                                                                in URCS better reflect the principle of
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                                                                                                       switches was assumed to be every 200 miles. Based
                                                 50 UP  Comment 13; UP Reply 4.                        on data submitted by AAR, the Board adopted a
                                                                                                                                                                  56 AAR Comment 7 n.12; Montana Grain
                                                 51 Although  UP’s study provides empirical            4,163-mile I&I switching distance for intermodal
                                               evidence on this issue, questions remain regarding      movements. Review of Gen. Purpose Costing Sys.,          Comment 1; UP Comment 14; WCTL Comment 13.
                                               the study. For example, UP did not explain its          2 S.T.B. 754, 755 (1997).                                See generally BNSF Comment (no specific
                                               specific methodology and underlying assumptions,          55 Although the NPR used the term ‘‘trainload,’’       comment).
                                                                                                                                                                  57 ACC Comment 10; ACC Reply, V.S.
                                               nor did it explain why its study excluded certain       because URCS treats these movements as unit train,
                                               two-digit STCC groups. Therefore, the Board is          this Supplemental NPR uses the term ‘‘unit train’’       Mulholland 15.
                                               requesting comments on UP’s study.                      to reflect how those shipments are costed.                 58 ARC Comment, V.S. Fauth 15–17.




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                                                                   Federal Register / Vol. 81, No. 154 / Wednesday, August 10, 2016 / Proposed Rules                                                       52793

                                               cost causation as articulated in the                    However, in light of parties’ comments                    to the movement by multiplying total
                                               RAPB,59 regardless of which traffic                     and further evaluation of the available                   LUMs by a ratio of gross tons of the
                                               group may or may not be affected.60 The                 data, we propose to define unit train as                  shipment to average gross tons of the
                                               Board, therefore, believes that the                     consisting of 75 or more cars rather than                 train, such that the allocation of LUMs
                                               proposed unit train definition is a                     80 or more cars. The Board believes that                  is based on the weight of the
                                               neutral solution that would more                        defining the minimum size for unit train                  shipment.67
                                               appropriately distribute efficiencies                   shipments as starting at 75 cars is                          Although the calculation of total
                                               than current URCS does.                                 appropriate for two reasons. First, the                   LUMs is the same for all shipment size
                                                  Finally, AECC argues that shipments                  Board looks to the data reported in the                   categories, two values in the calculation
                                               of fewer than 80 cars are not combined                  R–1 reports for through trains and unit                   are derived from the R–1 reports and are
                                               with other shipments, such that the 80-                 trains. In the R–1 reports, unit train data               specific to train type (i.e., way train,
                                               car standard does not reflect current                   is aggregated, which prohibits the                        through train, or unit train)—the average
                                               operations.61 AECC cites to the Board’s                 minimum size of unit train from being                     number of locomotives and the average
                                               data showing that, aside from UP, none                  determined. As a result, the Board is                     gross tons per train. For single-car or
                                               of the other major Class I railroads have               using the weighted average train size of                  multi-car shipments, URCS derives
                                               an average through train length of over                 through train and unit train data to                      these two values from a combination of
                                               58.8 cars. In its comments, AECC                        determine the break point between these                   the reported way and through train data.
                                               analyzes the through train data for three               two train lengths and, accordingly,                       For unit train shipments, URCS derives
                                               Class I carriers, which shows an average                determine the lower-end size of unit                      these two values from the reported unit
                                               through train length of 54.4 cars.                      train service.65 As evidenced in                          train data. However, URCS applies the
                                                  AECC’s analysis, however, accounts                   workpaper ‘‘EP431S4_Unit Train                            same unit cost per LUM (which is based
                                               only for R–1 data for through trains,                   Definition.xlsx,’’ the weighted average                   on an average value of way, through,
                                               ignoring unit train data. The R–1                       of through train and unit train R–1 data                  and unit trains also derived from the R–
                                               Schedule 755 Instructions define                        for the Class I carriers based on 2012                    1 reports) to both unit train and non-
                                               ‘‘through train’’ as ‘‘those trains                     data is 77.5 cars and the weighted                        unit train shipments. The result is that
                                               operated between two or more major                      average based on 2013 data is 73.9 cars.                  URCS shifts from one cost curve to
                                               concentration or distribution point,’’                  Both figures support the Board’s                          another when moving from a multi-car
                                               and ‘‘unit trains’’ as ‘‘a specialized                  proposed definition of 75 cars.                           shipment to a unit train shipment. Thus,
                                               scheduled shuttle type service in                          Second, the Board found that, using                    as explained in the NPR, a step function
                                               equipment (railroad- or privately-                      the NPR’s initial methodology of                          occurs between multi-car and unit train
                                               owned) dedicated to such service,                       reviewing the Waybill Sample, there is                    shipments, such that the LUM costs
                                               moving between origin and                               a high occurrence of 75-car movements                     assigned to large multi-car shipments
                                               destination.’’ The instructions also state              compared to other shipment sizes                          are higher than the LUM costs assigned
                                               that ‘‘unit trains’’ data is not to be                  between 50 cars and 90 cars according                     to unit train shipments.68
                                               included in ‘‘through’’ or ‘‘way’’ train                to 2012 and 2013 data.66 Thus, based on                      To eliminate this step function, as
                                               statistics.62 As a result, AECC’s analysis              the comments and review of available                      noted, the NPR proposed two
                                               of through train data (showing an                       data, the Board finds that it is more                     modifications to how URCS allocates
                                               average through train length of 54.4                    appropriate to define unit train service                  LUM costs. With regard to unit train
                                               cars) is not an appropriate basis for                   as 75 cars or more and revises its                        shipments, the NPR proposed to allocate
                                               determining the definition of unit train                proposal accordingly.                                     the entire train’s LUM costs to the
                                               service.63                                                 Locomotive Unit-Miles (LUMs). The                      trainload shipment, regardless of the
                                                  The Board continues to believe that                  NPR expressed concern that the current                    gross tons of the unit train shipment
                                               the existing definition of a unit train at              allocation for LUMs produced a step                       relative to the average gross tons of a
                                               50 or more cars should be increased.64                  function between multi-car and unit                       particular train. With regard to non-unit
                                                                                                       train shipments, and therefore proposed                   train shipments, the NPR proposed to
                                                  59 In other words, costs would be assigned based
                                                                                                       two modifications—one for unit train                      base the allocation of LUM costs for
                                               on the operations of a service. For further             shipments and one for non-unit train
                                               discussion of cost causation, see supra note 21 and                                                               single- and multi-car shipments on the
                                               the accompanying text.                                  shipments. In this Supplemental NPR,                      number of cars in the shipment relative
                                                  60 Fauth also notes that NSR initiated a 75-car      the Board proposes a different                            to the minimum number of cars of a unit
                                               shuttle train program, which would not be               modification that would cap the LUMs
                                               considered unit train under the NPR’s proposal.
                                                                                                                                                                 train shipment.
                                                                                                       associated with multi-car shipments to                       Most commenters objected to the
                                               ARC Comment, V.S. Fauth 16. ARC and Fauth do
                                               not provide any further detail on this program;
                                                                                                       be less than or equal to the LUMs                         Board’s LUMs proposals. With regard to
                                               however, as discussed in this section, the Board’s      allocated to the definition of a unit train               unit train shipments, commenters
                                               revised proposal would treat these 75-car shipments     shipment.                                                 argued that ignoring the relationship
                                               as unit train traffic.                                     Currently, URCS calculates total
                                                  61 AECC Comment 8–10.                                                                                          between a shipment’s gross tons and the
                                                                                                       LUMs by multiplying the distance of a
                                                  62 The R–1 Schedule 755 Instructions define ‘‘way                                                              average gross tons of the train was
                                                                                                       particular movement by the average
                                               train’’ as ‘‘trains operated primarily to gather and                                                              problematic because it means that the
                                               distribute cars in road service and move them
                                                                                                       number of locomotives for that type of
                                                                                                                                                                 weight of the train would not be
                                               between way stations or way points.’’                   train. URCS then allocates these LUMs
                                                  63 Using the methodology applied and the data
                                                                                                                                                                 factored into URCS. In particular, URCS
                                               source cited by AECC, but instead using unit train      use the unit train statistics reported by the railroads
                                                                                                                                                                 currently assigns more LUM costs to
                                               data, an average unit train length is calculated to     and, under this revised proposal, is used in the
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                                               be 104.7 cars, which also suggests that the current     CWB Adjustment to cause SEMs to be reduced by                67 The average gross tons for different types of

                                               unit train definition of 50 cars is too low.            the same amount as is currently done by the make-         trains are calculated by dividing gross ton-miles by
                                                  64 The NPR explained that, despite the fact that     whole adjustment.                                         train miles, both of which are reported by Class I
                                               the E/L Ratio would no longer be adjusted                 65 Through trains are assumed to be shorter than        carriers in Schedule 755 of the R–1 reports.
                                               exclusively for unit train movements, the definition    unit trains. Therefore, the weighted average train           68 The step function does not occur on intermodal

                                               of unit train would continue to play a role because     size of through and unit train data should                shipments, as URCS applies only through train data
                                               URCS assumes that unit train movements receive          determine the lower-end size of unit train service.       to intermodal shipments. Therefore, all intermodal
                                               no I&I switching. Slip op. at 8. Additionally, the        66 The Waybill Sample reports the number of             shipments are treated alike, regardless of the
                                               unit train definition determines which movements        carloads in the shipment for all rail traffic.            number of TCUs in the shipment.



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                                               52794                Federal Register / Vol. 81, No. 154 / Wednesday, August 10, 2016 / Proposed Rules

                                               heavier trains because heavier trains                   allocation would generally continue to                  to those allocated to a 75-car shipment
                                               require more locomotives and consume                    be based on the gross tons of the                       (the minimum number of cars under our
                                               more fuel. Commenters argued that                       shipment relative to the average gross                  proposed definition of unit train).74 A
                                               ignoring differences in train weight                    tons of the train for both non-unit and                 positive step function is more likely to
                                               would produce less appropriate costing                  unit train shipments. This is responsive                occur when the gross tons per car of the
                                               results, and that the step function                     to commenters’ concerns that the LUM                    unit train shipment are very low. As
                                               observed by the Board is not a function                 allocations should continue to account                  such, a positive step function should
                                               of the trailing weight adjustment at all.               for shipment weight. We believe                         rarely happen. Therefore, at this time, it
                                               Commenters also noted that the Board’s                  capping the LUMs is an appropriate                      is not necessary to propose a change to
                                               proposal was not based on empirical                     method to eliminate the negative step                   train miles that would eliminate the
                                               studies that disprove the longstanding                  function produced by the current cost                   potential for positive step functions.
                                               assumption that heavier trains incur                    allocation for LUMs. It ensures that                       Other than capping the train miles
                                               higher locomotive costs.69                              LUM costs for large multi-car shipments                 allocated to multi-car shipments, this
                                                  With regard to the modification for                  are not higher than for unit train                      proposal would leave the allocation of
                                               non-unit train movements, many                          shipments, requires minimal changes to                  train miles unchanged: Unit train
                                               commenters argued that the Board’s                      current URCS, and would impact a                        shipments would continue to be
                                               proposal would produce less                             small percentage of traffic.72                          allocated all the train miles, and the
                                               appropriate results because a car-based                    Train Miles. Train mile costs have two               allocation for single-car and multi-car
                                               method is less appropriate than a                       components: Crew and other than crew.                   shipments would generally continue to
                                               shipment-weight based method.                           Although the NPR did not include a                      be based on the gross tons of the
                                               Commenters also argued that the                         proposal on train miles, the Board is                   shipment relative to the average gross
                                               Board’s proposal had no empirical basis                 addressing train mile allocation in this                tons of the train. We believe that
                                               and that the Board’s proposed                           Supplemental NPR because it also has                    capping the train miles as described
                                               adjustment did not actually solve the                   the possibility of producing a negative                 above is an appropriate method to
                                               concern stated by the Board in the                      or positive step function.                              eliminate in most instances the
                                               NPR.70                                                     Currently, for single-car and multi-car              potential step function for train miles. It
                                                  Having reviewed the comments, the                    shipments, URCS allocates train miles                   ensures that train mile costs for large
                                               Board concludes that the NPR’s                          in a similar manner to LUMs by                          multi-car shipments are not higher than
                                               proposed change to LUM costs did not                    multiplying the total train miles by the                unit train shipments and requires
                                               adequately account for shipments with                   ratio of the gross tons of a shipment to                minimal changes to current URCS.
                                               heavier than system-average weights                     the average gross tons of the train. That
                                                                                                       causes train miles to increase as                       5. Requested Modifications
                                               and, therefore, we are withdrawing the
                                                                                                       shipment weight increases. Unit train                      Some parties made additional
                                               NPR’s proposals related to LUM costs.
                                                                                                       shipments, however, receive all train                   requests for modifications to URCS. For
                                               However, considering the step function
                                                                                                       miles, regardless of the weight of the                  example, AAR and BNSF asked the
                                               created by the current allocation, the
                                                                                                       shipment relative to the average gross                  Board to eliminate interterminal and
                                               Board finds that it is still appropriate to
                                                                                                       tons of unit trains.                                    intraterminal switching, but retracted
                                               revise how URCS allocates LUMs.
                                                                                                          The train mile allocation currently in               that request on reply and instead
                                                  To eliminate the step function created
                                                                                                       URCS can produce a negative or                          requested that the Board correct an
                                               by the current LUM allocation, the
                                                                                                       positive step function between multi-car                underassignment of these costs.75 AAR
                                               Board proposes in Phase III to cap the
                                                                                                       and unit train shipments (under the                     and UP asked the Board to address
                                               LUMs allocated to multi-car shipments
                                                                                                       current definition of unit train), such                 regulatory reporting issues as they relate
                                               to be less than or equal to those
                                                                                                       that the train miles assigned to a 49-car               to positive train control and toxic-by-
                                               allocated to a 75-car shipment (the
                                                                                                       shipment are lower or higher than the                   inhalation hazardous materials.76 AECC
                                               minimum number of cars under our
                                                                                                       costs assigned to a 50-car shipment.                    proposed a number of changes relating
                                               proposed definition of unit train).71
                                                                                                       Whether the step is negative or positive                to train and engine crew costs, private
                                               Doing this allows for a continuous slope
                                                                                                       (or whether it exists at all) depends on                cars, fuel costs, tare weights, road
                                               with no break points between the single-
                                                                                                       the characteristics of the particular                   property investment and depreciation,
                                               multi-car slope and the unit train slope.
                                                                                                       shipment.73                                             and locomotives, among others.77 These
                                               This proposal otherwise leaves the
                                                                                                          To eliminate all instances where a                   requested modifications would greatly
                                               allocation of LUM costs the same:
                                                                                                       negative step function occurs, the                      expand the scope of this proceeding,
                                               Unlike the NPR’s proposal, the LUMs
                                                                                                       Supplemental NPR proposes in Phase III                  which the Board declines to do. The
                                                  69 AAR Comment 17–19; BNSF Comment 13–15;
                                                                                                       to cap the train miles allocated to multi-              primary goal of this proceeding is to
                                               UP Comment 14–15.                                       car shipments to be less than or equal                  address concerns related to the make-
                                                  70 AAR Comment 17–19; BNSF Comment 13–15;                                                                    whole adjustment and concerns that
                                               UP Comment 15–16.                                          72 This proposal for LUMs would affect only a
                                                                                                                                                               URCS created step functions, which
                                                  71 Unlike with SEMs and station clerical, where      small portion of total traffic. Although the exact      could create the opportunity for parties
                                               the Supplemental NPR proposes to apply the CWB          shipment sizes that would be affected vary
                                               Adjustment in Phase III to redistribute efficiencies    depending on, for example, the type of equipment        to use URCS to manipulate regulatory
                                               derived from economies of scale, with respect to        and carrier, the impact would fall on carload           outcomes. Because the parties have
                                               LUMs there is no redistribution of efficiencies         shipments generally at the higher end of the multi-     either not shown that these requested
                                               derived from economies of scale. In Phase II, non-      car range. Using 2013 Waybill Sample data, the          modifications are related to the make-
                                               unit train LUMs reflect efficiencies of ‘‘way’’ and     range of shipments that would be affected is 47 to
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                                               ‘‘through’’ trains, and unit-train LUMs reflect the     74. Using this example, the total traffic impacted by
                                                                                                                                                                 74 The CWB Adjustment also is not applicable to
                                               efficiencies inherent in unit train service, but the    the proposal would be less than 0.08%. See
                                               efficiencies of unit trains are not redistributed or    workpapers ‘‘LUMs Allocation_ClassIs.xlsx’’ and         the train miles allocation for the same reasons it is
                                               added onto ‘‘way’’ and ‘‘through’’ trains in Phase      ‘‘LUMs Allocation_Impact.xlsx.’’                        not applicable to the LUMs allocation. See supra
                                               III. As a result, the Board finds that the CWB             73 This step function does not occur on              note 72.
                                                                                                                                                                 75 AAR Comment 20; AAR Reply 8–9; BNSF
                                               Adjustment proposed in this Supplemental NPR is         intermodal shipments in URCS’s waybill costing
                                               not applicable to LUMs. Instead, the Supplemental       program, as all intermodal shipments are treated        Comment 10–11.
                                                                                                                                                                 76 AAR Comment 21; UP Reply 6.
                                               NPR seeks only to smooth out the step function for      alike, regardless of the number of TCUs in the
                                               LUMs.                                                   shipment.                                                 77 AECC Comment 11–22.




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                                                                   Federal Register / Vol. 81, No. 154 / Wednesday, August 10, 2016 / Proposed Rules                                             52795

                                               whole adjustment or step functions, or                  URCS data. For example, the Board’s                   rule, an agency is required to: (1) Assess
                                               that the requested modifications are                    Office of Economics annually calculates               the effect that its regulation will have on
                                               necessary to appropriately calculate                    the Class I carriers’ revenue shortfall               small entities; (2) analyze effective
                                               costs in URCS, the Board will not                       allocation methodology (RSAM) figure                  alternatives that may minimize a
                                               address such additional modifications                   and revenue-to-variable cost greater                  regulation’s impact; and (3) make the
                                               in this proceeding.                                     than 180% (R/VC>180) ratios, as well as               analysis available for public comment. 5
                                                                                                       their four-year averages. See, e.g.,                  U.S.C. 601–604. In its notice of
                                               6. Phase III Movement Costing Program                   Simplified Standards for Rail Rate                    proposed rulemaking, the agency must
                                                  URCS calculates the variable costs of                Cases—2013 RSAM & R/VC>180                            either include an initial regulatory
                                               a movement in Phase III. There are two                  Calculations, EP 689 (Sub-No. 6) (STB                 flexibility analysis, 603(a), or certify that
                                               versions of Phase III: The waybill                      served Sept. 3, 2015). For these types of             the proposed rule would not have a
                                               costing program, which calculates the                   annual calculations, the Board proposes               ‘‘significant impact on a substantial
                                               variable costs of movements in the                      to apply the proposed changes                         number of small entities,’’ 605(b).
                                               Waybill Sample, and the interactive                     prospectively. This means that, for                      Because the goal of the RFA is to
                                               Phase III movement costing program,78                   calculations that require multiple years              reduce the cost to small entities of
                                               which calculates variable costs based on                of data—such as RSAM or R/VC>180—                     complying with federal regulations, the
                                               user-supplied information. The waybill                  there would be a brief period where the               RFA requires an agency to perform a
                                               costing program calculates the make-                    averages include data calculated under                regulatory flexibility analysis of small
                                               whole factors, whereas the interactive                  URCS’ current methodology and under                   entity impacts only when a rule directly
                                               Phase III movement costing program                      the proposed methodology described                    regulates those entities. In other words,
                                               applies the make-whole factors and uses                 herein. The Board does not believe that               the impact must be a direct impact on
                                               them to estimate movement specific                      the changes proposed here need to be                  small entities ‘‘whose conduct is
                                               costs. The Board is aware of certain                    applied retroactively to these types of               circumscribed or mandated’’ by the
                                               technical inconsistencies between the                   calculations. Although the Board                      proposed rule. White Eagle Coop. Ass’n
                                               waybill costing program and the                         believes these proposals will improve                 v. Conner, 553 F.3d 467, 478, 480 (7th
                                               movement costing program (e.g.,                         our current costing procedures, the                   Cir. 2009). An agency has no obligation
                                               efficiency adjustments for intermodal                   proposed changes are simply                           to conduct a small entity impact
                                               shipments), and between both costing                    refinements to URCS, which has been in                analysis of effects on entities that it does
                                               programs and the Board’s 1997                           effect for over 20 years and has been                 not regulate. United Dist. Cos. v. FERC,
                                               decisions in Review of General Purpose                  relied on by industry participants and                88 F.3d 1105, 1170 (D.C. Cir. 1996).
                                               Costing System, 2 S.T.B. 659 (1997) and                 the public. Therefore, the prior URCS                    This proposal will not have a
                                               2 S.T.B. 754 (1997) (e.g., the distance                 calculations using the current costing                significant economic impact upon a
                                               between I&I switches for intermodal                     procedures will remain in effect. As the              substantial number of small entities,
                                               movements). Because this proceeding                     Board strives to improve various aspects              within the meaning of the RFA. The
                                               addresses issues relating to intermodal                 of URCS, we see no reason to revisit                  purpose of our changes to URCS is to
                                               movements, and these technical issues                   otherwise final calculations that have                improve the Board’s general purpose
                                               pertain to intermodal movements, we                     been and are relied upon by the public.               costing system, which is used to
                                               note here that the Board will be                        See, e.g., AEP Tex. N. Co. v. BNSF Ry.,               develop regulatory cost estimates for the
                                               releasing a revised Phase III movement                  NOR 41191 (Sub-No. 1), slip op. at 7–                 Class I rail carriers. These changes will
                                               costing program to reconcile these                      10 (STB served May 15, 2009).                         result in more appropriate estimates of
                                               inconsistencies. Because the technical                  Conclusion                                            Class I carrier variable costs. Therefore,
                                               corrections that will be made would                                                                           the Board certifies under 49 U.S.C.
                                               merely implement procedures                                We believe that the revised proposals
                                                                                                       described above would remedy most                     605(b) that this proposed rule, if
                                               previously adopted after notice and                                                                           promulgated, will not have a significant
                                               opportunity for comment, the revised                    concerns about step functions currently
                                                                                                       in URCS, generally produce costs that                 economic impact on a substantial
                                               Phase III movement costing program                                                                            number of small entities within the
                                               will be effective upon release.                         better reflect the current state of rail
                                                                                                       industry operations, and are responsive               meaning of the RFA.
                                                  The revised Phase III movement
                                               costing program will not include the                    to parties’ criticisms of the NPR. We                 Paperwork Reduction Act
                                               proposals in this Supplemental NPR.                     therefore invite public comment on each
                                                                                                       of the proposals described herein.                      In the NPR, the Board proposed
                                               The Board will release a further revised                                                                      changes to two of its reporting
                                               Phase III movement costing program to                      Additional information supporting
                                                                                                       the Board’s revised proposal is                       requirements, and therefore sought
                                               implement any modifications adopted                                                                           comment on two collections of
                                               by final rule in this proceeding.                       contained in the Board’s decision
                                                                                                       (including appendices) served on                      information pursuant to the Paperwork
                                               7. Implementation                                       August 4, 2016. To obtain a copy of this              Reduction Act, 44 U.S.C. 3501–3549.
                                                                                                       decision, visit the Board’s Web site at               Those modified collections were
                                                  Several commenters noted that the
                                                                                                       http://www.stb.dot.gov or contact the                 submitted to the Office of Management
                                               NPR did not address how its proposal,
                                                                                                       Board’s Office of Public Assistance,                  and Budget (OMB) for review. Because
                                               if adopted, would be implemented.79
                                                                                                       Governmental Affairs, and Compliance                  we are no longer proposing changes to
                                               The proposal here would impact
                                                                                                       at (202) 245–0238.                                    the Board’s reporting requirements, we
                                               calculations that use multiple years of
                                                                                                                                                             are withdrawing the Board’s requests to
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                                                 78 The
                                                                                                       Regulatory Flexibility Act                            OMB for approval of those
                                                        current version of the Phase III movement
                                               costing program (titled ‘‘URCS Phase III Railroad         The Regulatory Flexibility Act of 1980              modifications.
                                               Cost Program’’) is available at http://                 (RFA), 5 U.S.C. 601–612, generally                      It is ordered:
                                               www.stb.dot.gov/stb/industry/urcs.html. See also        requires a description and analysis of                  1. The Board proposes to adjust URCS
                                               supra note 2.
                                                 79 AAR Comment 19–20; ACC Comment 4, V.S.             new rules that would have a significant               as detailed in this decision. Notice of
                                               Mulholland 6–7; BNSF Comment 15; UP Comment             economic impact on a substantial                      this decision will be published in the
                                               18.                                                     number of small entities. In drafting a               Federal Register.


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                                               52796               Federal Register / Vol. 81, No. 154 / Wednesday, August 10, 2016 / Proposed Rules

                                                 2. To assist commenters in reviewing                  enter FWS–R2–ES–2016–0077, which is                     The basis for our action. Under the
                                               this revised proposal, the Board will                   the docket number for this rulemaking.                Act, we can determine that a species is
                                               make its workpapers available to                        Then, in the Search panel on the left                 an endangered or threatened species
                                               commenters subject to the customary                     side of the screen, under the Document                based on any of five factors, acting alone
                                               Confidentiality Agreement.                              Type heading, click on the Proposed                   or in combination: (A) The present or
                                                 3. Comments are due by October 11,                    Rules link to locate this document. You               threatened destruction, modification, or
                                               2016; replies are due by November 7,                    may submit a comment by clicking on                   curtailment of its habitat or range; (B)
                                               2016.                                                   ‘‘Comment Now!’’                                      overutilization for commercial,
                                                 4. A copy of this decision will be                       (2) By hard copy: Submit by U.S. mail              recreational, scientific, or educational
                                               served upon the Chief Counsel for                       or hand-delivery to: Public Comments                  purposes; (C) disease or predation; (D)
                                               Advocacy, Office of Advocacy, U.S.                      Processing, Attn: FWS–R2–ES–2016–                     the inadequacy of existing regulatory
                                               Small Business Administration.                          0077, U.S. Fish and Wildlife Service,                 mechanisms; or (E) other natural or
                                                 5. This decision is effective on its                  MS: BPHC, 5275 Leesburg Pike, Falls                   manmade factors affecting its continued
                                               service date.                                           Church, VA 22041–3803.                                existence. We have determined that the
                                                 Decided: August 2, 2016.                                 We request that you send comments                  Texas hornshell is in danger of
                                                 By the Board, Chairman Elliott, Vice                  only by the methods described above.                  extinction due to habitat loss from loss
                                               Chairman Miller, and Commissioner                       We will post all comments on http://                  of water flow, decreased water quality,
                                               Begeman.                                                www.regulations.gov. This generally                   and increased accumulation of fine
                                               Tia Delano,                                             means that we will post any personal                  sediments (Factor A) and predation
                                               Clearance Clerk.                                        information you provide us (see Public                (Factor C).
                                                                                                       Comments, below, for more                               We will seek peer review. We will seek
                                               [FR Doc. 2016–18806 Filed 8–9–16; 8:45 am]
                                                                                                       information).                                         comments from independent specialists
                                               BILLING CODE 4915–01–P
                                                                                                                                                             to ensure that our determination is
                                                                                                       FOR FURTHER INFORMATION CONTACT:                      based on scientifically sound data,
                                                                                                       Chuck Ardizzone, U.S. Fish and                        assumptions, and analyses. We will
                                               DEPARTMENT OF THE INTERIOR                              Wildlife Service, Texas Coastal                       invite these peer reviewers to comment
                                                                                                       Ecological Services Field Office, 17629               on our listing proposal. Because we will
                                               Fish and Wildlife Service                               El Camino Real #211, Houston, TX                      consider all comments and information
                                                                                                       77058; by telephone 281–286–8282; or                  we receive during the comment period,
                                               50 CFR Part 17                                          by facsimile 281–488–5882. Persons                    our final determination may differ from
                                               [Docket No. FWS–R2–ES–2016–0077;                        who use a telecommunications device                   this proposal.
                                               4500030113]                                             for the deaf (TDD) may call the Federal                 We prepared a species status
                                                                                                       Information Relay Service (FIRS) at                   assessment report (SSA report) for the
                                               RIN 1018–BB34                                           800–877–8339.                                         Texas hornshell. The SSA report
                                               Endangered and Threatened Wildlife                      SUPPLEMENTARY INFORMATION:                            documents the results of the
                                               and Plants; Endangered Species                                                                                comprehensive biological status review
                                                                                                       Executive Summary                                     for the Texas hornshell and provides an
                                               Status for Texas Hornshell
                                                                                                          Why we need to publish a rule. Under               account of the species’ overall viability
                                               AGENCY:    Fish and Wildlife Service,                   the Act, if a species is determined to be             through forecasting of the species’
                                               Interior.                                               an endangered or threatened species                   condition in the future (Service 2016,
                                               ACTION:  Proposed rule.                                 throughout all or a significant portion of            entire). We received feedback from four
                                                                                                       its range, we are required to promptly                scientists with expertise in freshwater
                                               SUMMARY:    We, the U.S. Fish and                       publish a proposal in the Federal                     mussel biology, ecology, and genetics as
                                               Wildlife Service (Service), propose to                  Register and make a determination on                  peer review of the SSA report. The
                                               list the Texas hornshell (Popenaias                     our proposal within 1 year. Critical                  reviewers were generally supportive of
                                               popeii), a freshwater mussel species                    habitat shall be designated, to the                   our approach and made suggestions and
                                               from New Mexico and Texas, as an                        maximum extent prudent and                            comments that strengthened our
                                               endangered species under the                            determinable, for any species                         analysis. The SSA report and other
                                               Endangered Species Act (Act). If we                     determined to be an endangered or                     materials relating to this proposal can be
                                               finalize this rulemaking as proposed, it                threatened species under the Act.                     found at http://www.regulations.gov
                                               would extend the Act’s protections to                   Listing a species as an endangered or                 under Docket No. FWS–R2–ES–2016–
                                               this species.                                           threatened species and designations and               0077.
                                               DATES: We will accept comments                          revisions of critical habitat can only be             Information Requested
                                               received or postmarked on or before                     completed by issuing a rule.
                                               October 11, 2016. Comments submitted                       This rulemaking proposes the listing               Public Comments
                                               electronically using the Federal                        of the Texas hornshell (Popenaias                       We intend that any final action
                                               eRulemaking Portal (see ADDRESSES,                      popeii) as an endangered species. The                 resulting from this proposed rule will be
                                               below) must be received by 11:59 p.m.                   Texas hornshell is a candidate species                based on the best scientific and
                                               Eastern Time on the closing date. We                    for which we have on file sufficient                  commercial data available and be as
                                               must receive requests for public                        information on biological vulnerability               accurate and as effective as possible.
                                               hearings, in writing, at the address                    and threats to support preparation of a               Therefore, we request comments or
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                                               shown in FOR FURTHER INFORMATION                        listing proposal, but for which                       information from other concerned
                                               CONTACT by September 26, 2016.                          development of a listing regulation has               governmental agencies, Native
                                               ADDRESSES: You may submit comments                      been precluded by other higher priority               American tribes, the scientific
                                               by one of the following methods:                        listing activities. This proposed rule                community, industry, or any other
                                                  (1) Electronically: Go to the Federal                reassesses all available information                  interested parties concerning this
                                               eRulemaking Portal: http://                             regarding the status of and threats to the            proposed rule. We particularly seek
                                               www.regulations.gov. In the Search box,                 Texas hornshell.                                      comments concerning:


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Document Created: 2016-08-10 01:59:24
Document Modified: 2016-08-10 01:59:24
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionSupplemental notice of proposed rulemaking.
DatesComments are due by October 11, 2016; replies are due by November 7, 2016.
ContactAllison Davis at (202) 245-0378. Assistance for the hearing impaired is available through the Federal Information Relay Service (FIRS) at (800) 877-8339.
FR Citation81 FR 52784 
CFR Citation49 CFR 1247
49 CFR 1248

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