Debra Goldstein v. Whirlpool Corporation

CourtDistrict Court, C.D. California
DecidedMay 14, 2024
Docket2:23-cv-04752
StatusUnknown

This text of Debra Goldstein v. Whirlpool Corporation (Debra Goldstein v. Whirlpool Corporation) is published on Counsel Stack Legal Research, covering District Court, C.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Debra Goldstein v. Whirlpool Corporation, (C.D. Cal. 2024).

Opinion

O

UNITED STATES DISTRICT COURT FOR THE CENTRAL DISTRICT OF CALIFORNIA

ROBERT HEDRICK and Case No. 8:23-cv-00358 JWH JDE NICHOLAS KALERGIS, individually and on behalf of all others similarly situated, ORDER REGARDING DEFENDANTS’ MOTIONS TO Plaintiffs, DISMISS [ECF No. 38 in the Hedrick Case; ECF No. 31 in the Goldstein v. Case; and ECF No. 34 in the Norris Case] BSH HOME APPLIANCES CORPORATION,

Defendant.

DEBRA GOLDSTEIN, individually Case No. 2:23-cv-04752-JWH-JDE and on behalf of all others similarly situated,

Plaintiffs,

v.

WHIRLPOOL CORPORATION,

ELLYN NORRIS and Case No. 5:23-cv-01496-JWH-JDE A.J. STONE, individually and on behalf of all others similarly situated,

SAMSUNG ELECTRONICS AMERICA, INC.,

Defendant. Before the Court are three motions to dismiss filed in the three above-captioned related cases:1 • the motion of Defendant BSH Home Appliances Corporation2 to dismiss the Second Amended Complaint3 filed by Plaintiffs Robert Hedrick and Nicholas Kalergis, individually and on behalf of all others similarly situated, in the Hedrick Case; • the motion of Defendant Whirlpool Corporation4 to dismiss the First Amended Complaint5 filed by Plaintiff Debra Goldstein, individually and on behalf of all others similarly situated, in the Goldstein Case; and • the motion of Defendant Samsung Electronics America, Inc.6 to dismiss the First Amended Complaint7 filed by Plaintiffs Ellyn Norris and A.J. Stone, individually and on behalf of all others similarly situated, in the Norris Case. Because the Hedrick Case, the Goldstein Case, and the Norris Case contain similar allegations and share common questions of law, the Court addresses these three Motions simultaneously. After considering the papers filed in support and in opposition, as well as the arguments of counsel during the hearing on these Motions,8 the Court orders that the Motions are GRANTED in part and DENIED in part, for the reasons set forth herein.

1 See Robert Hedrick v. BSH Home Appliances Corp., Case No. 8:23-cv-00358-JWH-JDE (C.D. Cal) (the “Hedrick Case”); Debra Goldstein v. Whirlpool Corp., Case No. 2:23-cv-04572-JWH-JDE (C.D. Cal) (the “Goldstein Case”); Ellyn Norris v. Samsung Electronics America, Inc., Case No. 5:23-cv-01496-JWH-JDE (C.D. Cal) (the “Norris Case”). 2 Def. BSH Home Appliances Corporation’s Mot. to Dismiss Second Am. Compl. in the Hedrick Case [ECF No. 38] (the “Hedrick Motion”). 3 Second Am. Compl. in the Hedrick Case [ECF No. 36] (the “Hedrick Amended Complaint”). 4 Def. Whirlpool Corporation’s Mot. to Dismiss First Am. Compl. in the Goldstein Case [ECF No. 31] (the “Goldstein Motion”). 5 First Am. Compl. in the Goldstein Case [ECF No. 30] (the “Goldstein Amended Complaint”). 6 Def. Samsung Electronics America, Inc.’s Mot. to Dismiss First Am. Compl. in the Norris Case [ECF No. 34] (the “Norris Motion”). 7 First Am. Compl. in the Norris Case [ECF No. 30] (the “Norris Amended Complaint”). 8 The Court considered the documents of record in this action, including the following papers: (1) Hedrick Amended Complaint (including its attachments); (2) Hedrick Motion; (3) Pls.’ Opp’n to the Hedrick Motion (the “Hedrick Opposition”) [ECF No. 42] (including its attachment); (4) Def.’s Reply in Supp. of the Hedrick Motion (the “Hedrick Reply”) [ECF No. 49]; (5) Goldstein Amended Complaint (including its attachments); (6) Goldstein Motion (including its attachments); (7) Pl.’s Opp’n to the Goldstein Motion (the “Goldstein Opposition”) [ECF No. 36]; (8) Def.’s Reply in Supp. of the Goldstein Motion (the “Goldstein Reply”) [ECF No. 38]; (9) Norris Amended Complaint (including its attachment); (10) Norris I. BACKGROUND A. Procedural History In March 2023, Hedrick, individually and on behalf of all others similarly situated, commenced the Hedrick Case in this Court.9 Kalergis joined the Hedrick Case as a named plaintiff in October 2023.10 In June 2023, Goldstein, individually and on behalf of all others similarly situated, commenced the Goldstein Case in this Court.11 In July 2023, Norris and Stone, individually and on behalf of all others similarly situated, commenced the Norris Case in this Court.12 In October and November 2023, Defendants moved to dismiss the operative Amended Complaints in the Hedrick, Goldstein, and Norris Cases. In April 2024, the parties filed supplemental briefing with respect to the instant Motions. B. Factual Allegations In this section the Court summarizes the allegations set forth in the Hedrick, Goldstein, and Norris Cases. In connection with the instant Motions to dismiss, the Court expresses no view regarding the veracity of these allegations. See Am. Family Ass’n v. City & County of San Francisco, 277 F.3d 1114, 1120 (9th Cir. 2002). The Court refers to Hedrick, Kalergis, Goldstein, Norris, and Stone collectively as “Plaintiffs.” The Court refers to BSH, Whirlpool, and Samsung collectively as “Defendants.” In August or September 2017, Hedrick purchased a gas stove made by BSH in California.13 In October 2020, Kalergis purchased a gas stove made by BSH in Illinois.14 In September 2022, Goldstein purchased a gas stove made by Whirlpool in California.15

Motion (including its attachments); (11) Pls.’ Opp’n to the Norris Motion (the “Norris Opposition”) [ECF No. 36]; (12) Def.’s Reply in Supp. of the Norris Motion (the “Norris Reply”) [ECF No. 38]; (13) Pls.’ Supplemental Authority Brief (“Plaintiffs’ Supplemental Brief”) [ECF No. 61 in the Hedrick Case; ECF No. 56 in the Goldstein Case; and ECF No. 56 in the Norris Case]; and (14) Def.’s Supp. to the Motion (“Defendants’ Supplemental Brief”) [ECF No. 62 in the Hedrick Case; ECF No. 57 in the Goldstein Case; and ECF No. 57 in the Norris Case]. 9 Compl. [ECF No. 1] in the Hedrick Case. 10 Hedrick Amended Complaint. 11 Compl. [ECF No. 1] in the Goldstein Case. 12 Compl. [ECF No. 1] in the Norris Case. 13 Hedrick Amended Complaint ¶¶ 3 & 44. 14 Id. at ¶¶ 3 & 45. 15 Goldstein Amended Complaint ¶ 46. In December 2020, Norris purchased a gas stove made by Samsung in California.16 In January 2020, Stone purchased a gas stove made by Samsung in California.17 In the fall of 2022, Hedrick and Stone learned of the existence of risks of harmful pollutants emanating from gas stoves.18 In 2023, Kalergis, Goldstein, and Norris also learned of the existence of risks of harmful pollutants emanating from gas stoves.19 Each Amended Complaint contains allegations that gas stoves, including those made by Defendants, emit air pollutants that can be hazardous to human health.20 Defendants are aware that their respective products emit health-harming pollutants.21 The natural gas industry, of which Defendants are member-manufacturers, “has worried that the US Consumer Product Safety Commission would regulate gas stove emissions due to indoor air quality concerns” because studies “dating back decades” have shown the harmful effects from the chemicals released when one uses a gas cooking stove.22 Defendants monitor and keep track of research on the health effects of those pollutants.23 Therefore, Defendants would have been aware of potential and actual regulations of gas stoves due to the emissions of health-harming pollutants.24 Although safe alternative designs are available, Defendants have failed to use an alternative design to avoid those harms or to reduce the emission of harmful pollutants from gas stoves.25

16 Norris Amended Complaint ¶ 47. 17 Id. at ¶ 48. 18 Hedrick Amended Complaint ¶ 49; Norris Amended Complaint ¶ 56. 19 Hedrick Amended Complaint ¶ 52; Goldstein Amended Complaint ¶ 50; Norris Amended Complaint ¶ 52. 20 Hedrick Amended Complaint ¶¶ 1-22; Goldstein Amended Complaint ¶¶ 1-30; Norris Amended Complaint ¶¶ 1 & 3. 21 Hedrick Amended Complaint ¶ 23; Goldstein Amended Complaint ¶ 24; Norris Amended Complaint ¶ 23. 22 Hedrick Amended Complaint ¶¶ 23-27; Goldstein Amended Complaint ¶ 25; Norris Amended Complaint ¶ 24.

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Debra Goldstein v. Whirlpool Corporation, Counsel Stack Legal Research, https://law.counselstack.com/opinion/debra-goldstein-v-whirlpool-corporation-cacd-2024.