DiBartolo v. Abbott Laboratories

914 F. Supp. 2d 601, 79 U.C.C. Rep. Serv. 2d (West) 305, 2012 WL 6681704, 2012 U.S. Dist. LEXIS 182326
CourtDistrict Court, S.D. New York
DecidedDecember 21, 2012
DocketNo. 12 Civ. 900(NRB)
StatusPublished
Cited by41 cases

This text of 914 F. Supp. 2d 601 (DiBartolo v. Abbott Laboratories) is published on Counsel Stack Legal Research, covering District Court, S.D. New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

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DiBartolo v. Abbott Laboratories, 914 F. Supp. 2d 601, 79 U.C.C. Rep. Serv. 2d (West) 305, 2012 WL 6681704, 2012 U.S. Dist. LEXIS 182326 (S.D.N.Y. 2012).

Opinion

MEMORANDUM AND ORDER

NAOMI REICE BUCHWALD, District Judge.

I. Introduction

Plaintiff Cynthia DiBartolo (“DiBartolo” or “plaintiff’) brings this action against defendant Abbott Laboratories (“Abbott” or “defendant”) to recover for injuries she alleqedly suffered as a result of her use of defendant’s drug Humira to treat psoriasis. After treatment with Humira for approximately six months, Am. Compl. ¶ 56, plaintiff was diagnosed with non-melanoma skin cancer (NMSC), specifically squamous cell carcinoma of the tongue, id. ¶¶ 33, 60, and underwent two surgeries that have allegedly left her with permanent disabilities, id. ¶¶ 65-69. In her First Amended Complaint (the “amended complaint”), filed on May 8, 2012, plaintiff asserted causes of action sounding in strict liability, negligence, and breach of warranty based on theories of design defect, failure to warn, and misrepresentation. Id. ¶¶ 78-80. Defendant filed a motion to dismiss plaintiffs amended complaint on May 25, 2012. Plaintiff filed her response to defendant’s motion to dismiss on June 15, 2012, and defendant filed its reply in support of its motion to dismiss plaintiffs amended complaint on June 29, 2012. For the reasons stated below, defendant’s motion to dismiss is granted in part and denied in part.

II. Background

A. Plaintiffs Pre-Treatment History

According to the amended complaint, DiBartolo, aged 49 as of the date the amended complaint was filed, is an attorney residing in New York City who has struggled with psoriasis periodically throughout her life. Am. Compl. ¶¶ 54-55, 69. Prior to her use of Humira, DiBartolo underwent various treatment regimes for her psoriasis, notably including PUVA therapy.1 Id. ¶ 55.

In late 2008, DiBartolo’s psoriasis symptoms worsened, possibly related to an increase in stress, and on or about November 5, 2008, DiBartolo sought treatment for the first time from Dr. James Cui, a dermatologist in New York City. Id. ¶ 56. During that visit, Dr. Cui prescribed DiBartolo Humira in a dose of 40 mg every other week. Id.

B. Humira

Humira is a drug manufactured by Abbott that was initially launched in 2003 to treat rheumatoid arthritis. Am. Compl. ¶ 8; see also Letter from Jay P. Siegel, Food and Drug Admin. (“FDA”), to Jeanne Fox, Abbott Labs. (Dec. 31, 2002), available at http://www.accessdata.fda.gov/ drugsatfdímdocs/appletter/2002/adalabbl 23102L.htm (approving Humira, whose generic name is “Adalimumab,” for treatment only of rheumatoid arthritis). As explained in the amended complaint, Humira belongs to a class of drugs known as “TNF-alpha blockers.” Am. Compl. ¶ 5. [607]*607These drugs operate by blocking the negative effects of Tumor Necrosis Factor (TNF), a protein that is naturally produced as part of the body’s immune system but which reaches excess levels in persons with certain diseases, including plague psoriasis. See Humira Medication Guide, attached to Humira Label, Feb. 2008, at 34, available at http://www. accessdata.fda.gov/drugsatfda_docsAabel/ 2008/125057sll41bl.pdf [hereinafter Humira Label], Humira is administered by subcutaneous injection, performed either by medical professionals or by patients themselves. Humira Label, at 1, 4-5.

Subsequent to Humira’s 2003 launch, Abbott obtained the FDA’s approval of several other indications for the drug. See Am. Compl. ¶ 8. In January 2008, the FDA approved Abbott’s application for a Humira indication for “the treatment of adult patients with moderate to severe chronic plaque psoriasis who are candidates for systemic therapy or phototherapy, and when other systemic therapies are medically less appropriate.” Letter from Susan J. Walker, FDA, to Meg Drew, Abbott Labs. (Jan. 18, 2008), available at http:// www.accessdata.fda.gov/drugsatfda_docs/ appletter/2008/125057s01101tr.pdf [hereinafter Letter from FDA to Abbott (Jan. 18, 2008) ]; see also Am. Compl. ¶ 26; Humira Label, Jan. 2008, available at http://www. accessdata.fda.gov/drugsatfda_docsAabel/ 2008/125057s01101bl.pdf. This is the indication under which Dr. Cui prescribed Humira to DiBartolo. See Am. Compl. ¶¶ 55-56.

As it would be required to do for any prescription drug, Abbott prepared a detailed label for Humira, which was approved by the FDA and which Abbott distributed to physicians to inform them about how Humira should be used and what risks were associated with its use.2 Humira Label, Jan. 2008, available at http://www.accessdata.fda.gov/drugsatfda^ docsAabel/2008/125057s01101bl.pdf; 21

C.F.R. pt. 201 (2012). According to the Humira label in place throughout the course of DiBartolo’s Humira treatment, patients taking Humira are at risk for a number of serious side effects. In particular, the label warned on the first page that “[m]alignancies [] are seen more often than in controls.” Humira Label, at 1. In the “Warnings and Precautions” section for “Malignancies,” the label elaborated:

In the controlled portions of clinical trials of some TNF-bloeking agents, including HUMIRA, more cases of malignancies have been observed among patients receiving those TNF blockers compared to control patients.... During the controlled portions of HUMI-RA rheumatoid arthritis, psoriatic arthritis, ankylosing spondylitis, Crohn’s disease, and plaque psoriasis trials, the rate (95% confidence interval) of non-melanoma (basal cell and squamous cell) skin cancers was 0.9 (0.57, 1.35)/ 100 patient-years among HUMIRAtreated patients and 0.3 (0.08, 0.80)/100 patient-years among control patients. The potential role of TNF blocking therapy in the development of malignancies is not known.

Id. at 6-7. In the “Warnings and Precautions” section for “Immunosuppression,” the label warned:

The possibility exists for TNF blocking agents, including HUMIRA, to affect host defenses against infections and malignancies since TNF mediates inflammation and modulates cellular immune responses .... The impact of treatment with HUMIRA on the development and course of malignancies, as well as active [608]*608and/or chronic infections, is not fully understood ....

Id. at 9. In the “Adverse Reactions” section, the label warned that “[t]he most serious adverse reactions” were serious infections, neurologic reactions, and malignancies. Id. With regard to malignancies, the label explained: “More cases of malignancy have been observed in HUMIRAtreated patients compared to control-treated patients in clinical trials ....” Id. at 10. With regard to “[o]ther [a]dverse [r]eaetions,” the label warned: “Other infrequent serious adverse reactions occurring at an incidence of less than 5% in rheumatoid arthritis patients treated with HUMI-RA were: ... Neoplasia: Adenoma, carcinomas such as breast, gastrointestinal, skin, urogenital, and others; lymphoma and melanoma.” Id. at 12-13. Given these significant risks associated with Humira, the label stated in the “Indications and Usage” section that “HUMIRA should only be administered to patients who will be closely monitored and have regular follow-up visits with a physician.” Id. at 3-4.

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914 F. Supp. 2d 601, 79 U.C.C. Rep. Serv. 2d (West) 305, 2012 WL 6681704, 2012 U.S. Dist. LEXIS 182326, Counsel Stack Legal Research, https://law.counselstack.com/opinion/dibartolo-v-abbott-laboratories-nysd-2012.