Giocare Alla Roulette Gratis Online | all info here!
Transcript
Giocare Alla Roulette Gratis Online | all info here!
BEFORE THE PUBLIC UTILITIES COMMISSION OF THE STATE OF CALIFORNIA Order Instituting Rulemaking on ) Regulations Relating to Passenger ) Carriers, Ridesharing, and New Online- ) Enabled Transportation Services ) ________________________________) Docket No. R.12-12-011 REPLY COMMENTS OF THE SAN FRANCISCO CAB DRIVERS ASSOCIATION TO THE APPLICATION OF THE TAXICAB PARATRANSIT ASSOCIATION OF CALIFORNIA (TPAC) FOR REHEARING OF DECISION 13-09-045 The San Francisco Cab Drivers Association agrees wholeheartedly with the Taxi Paratransit Association of California (TPAC) that TNCs are providing taxicab service and therefore fall under the jurisdiction of local cities and counties and not the California Public Utilities Commission. We also agree that this Decision is in violation of the Equal Protection clauses in the U.S. and California Constitution, as TNCs are providing the same service and competing for the same customers, yet are given exemptions from the same laws and regulations licensed taxi drivers must adhere to. TNC vehicles provide “on demand” and “on call” transportation in the same manner as taxicabs. Smartphone apps such as Cabulous (now Flywheel), Taxi Magic and Hailo were used by taxicabs before the emergence of Uber, Lyft or Sidecar, so the use of this technology does not distinguish them from taxicabs. We agree with TPAC that the CPUC Decision’s interpretation of “prearrangement” is incorrect and ignores the intent of this distinction. Prearrangement, when applied to passenger transportation, is meant to distinguish “on call” or “on demand” service, e.g. when someone is ready to go and needs transportation right away, from transportation that is “chartered” or arranged for a specified time in the future. In the taxi business, these are referred to as “time calls” or advanced orders. Other calls, either by telephone or smartphone app, which requires immediate service, are considered “on 1 demand” and constitute the majority of taxi orders. As we have pointed out in previously submitted comments, TNCs even advertise that their service is “on demand”. On demand, on call transportation requires vehicles to make themselves constantly available by cruising neighborhoods and downtown areas. This causes more congestion, pollution and wear and tear on the roads than chartered vehicles operating on a prearranged basis only. Different city and counties have different needs concerning these issues. For this and other important reasons such as enforcement ability, California law places jurisdiction of taxicabs under local cities and counties and not the State. For example, San Francisco is concerned about added congestion and pollution caused by taxicabs, so all new taxi vehicles have been required to comply with a reduced emissions goal since 2008. As a result, more than 97% of SF taxis are hybrids or alternative fuel vehicles. The city also has a process to determine if more cabs are needed before adding them to the streets. This effort has been rendered meaningless now that an unlimited number of virtually unregulated vehicles are allowed to provide taxi service by this CPUC Decision and the secretive agreements signed at the onset of the proceeding on this matter. Our organization has been collecting plate numbers and photos of vehicles providing this alternative taxi service and so far we have collected over 2,300 plate numbers of “TNC” vehicles, the actual number is much higher and is expanding daily. Even with a significant margin of error, they far outnumber the approximate 1,850 permitted taxicabs in San Francisco. As TPAC points out, this Decision was made with no environmental impact report, in violation of the California Environmental Quality Act. There is no functional difference in the service TNCs and taxicabs provide. In this Commission’s own words, “Taxis may provide transportation ‘at the curb’, that is, a customer may ‘arrange’ taxi transportation by simply hailing a cab from the sidewalk.”1 It is important to note that hailing does not have to be done with one’s hand. Hotel doormen hail cabs that are blocks away and out of sight by blowing a taxi whistle. Flashlights are also used to hail cabs, as are smartphones apps such as Flywheel, Taxi Magic or Hailo. A New York judge ruled in April 2013 that an “e-hail” was the 1 Transportation License Section, State of California Public Utilities Commission Basic Information for Transportation Network Companies and Applicants: TCP/TNCs and Taxicabs Distinguished 2 essentially the same as a street hail. This decision was upheld in October 2013.2 According to the American Heritage dictionary, a ship can also be electronically hailed. As technology advances, we must also adjust our language. An “e-hail” with a smartphone in this context, does not constitute prearrangement. In San Francisco, the only California city where street hails are a significant portion of taxi business, we are seeing more and more passengers waiting on the sidewalk, watching empty licensed taxicabs pass by while they hail an unpermitted personal vehicle a few blocks away to provide them taxi transportation. These people are not using these services because there are no licensed taxis available, they use them because personal vehicles can charge less, having fewer requirements and restrictions than city permitted taxicabs. We would like to reiterate that San Francisco is the only California city where street hails are common, so prohibiting TNCs from taking street hails creates absolutely no difference between taxicab service and that of TNCs in the rest of California. In San Francisco, there has been no enforcement by the CPUC against TCP operators staging in front of nightclubs and hotels or soliciting passengers on the street, so who will stop TNCs from picking up traditional street hails as well? We agree with TPAC that the Commission should withdraw its Decision, grant TPAC’s application for rehearing and conduct further evidentiary hearings. A cease and desist order should be reissued to these rogue companies and their taxis, unless and until any laws are changed. __________________________ Dated: November 7, 2013 Respectfully submitted, /s/ Barry Korengold Barry Korengold President San Francisco Cab Drivers Association 1874 24th Avenue San Francisco, CA 94122 415-602-1180 [email protected] 2 Black Car Assistance Corp v. City of New York – 2013 NY Slip Op 30824(u), 2013 NY Slip Op 06988 3 4
Documenti analoghi
The Northern California megaregion
The United States population is projected to grow
by more than 45 percent in the next half-century.
The total population today of more than 303 million
will surpass 400 million before 2050.1 Unlike...