Douglas J. Furlong, Varietal Beer Company, Vortex Brewing, Co., LLC v. The Hon. Anthony G. Brown, Attorney General of Maryland, Jeffrey A. Kelly, Executive Director, Maryland Alcohol, Tobacco, & Cannabis Commission

CourtDistrict Court, D. Maryland
DecidedNovember 10, 2025
Docket1:23-cv-02045
StatusUnknown

This text of Douglas J. Furlong, Varietal Beer Company, Vortex Brewing, Co., LLC v. The Hon. Anthony G. Brown, Attorney General of Maryland, Jeffrey A. Kelly, Executive Director, Maryland Alcohol, Tobacco, & Cannabis Commission (Douglas J. Furlong, Varietal Beer Company, Vortex Brewing, Co., LLC v. The Hon. Anthony G. Brown, Attorney General of Maryland, Jeffrey A. Kelly, Executive Director, Maryland Alcohol, Tobacco, & Cannabis Commission) is published on Counsel Stack Legal Research, covering District Court, D. Maryland primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Douglas J. Furlong, Varietal Beer Company, Vortex Brewing, Co., LLC v. The Hon. Anthony G. Brown, Attorney General of Maryland, Jeffrey A. Kelly, Executive Director, Maryland Alcohol, Tobacco, & Cannabis Commission, (D. Md. 2025).

Opinion

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MARYLAND

DOUGLAS J. FURLONG, * VARIETAL BEER COMPANY, VORTEX BREWING, CO., LLC *

Plaintiffs, *

v. * Civil Action No. RDB-23-2045

THE HON. ANTHONY G. BROWN, * Attorney General of Maryland, JEFFREY A. KELLY, * Executive Director, Maryland Alcohol, Tobacco, & Cannabis Commission *

Defendants. * * * * * * * * * * * * * * MEMORANDUM OPINION In this action for declaratory and injunctive relief under 42 U.S.C. § 1983, individual Maryland resident Douglas J. Furlong, and two out-of-state breweries, Varietal Beer Company (“Varietal”), and Vortex Brewing Company, LLC (“Vortex”) (collectively, “Plaintiffs”) challenge the constitutionality under the Commerce Clause of the United States Constitution, Art. I. § 8 cl. 3, of Maryland laws that limit out-of-state breweries’ ability to deliver beer directly to consumers in Maryland. See generally MD. CODE ANN., ABC §§ 2-167–2-175; 2-208; § 2- 209; 2-210; § 2-211; § 2-308. Plaintiffs initiated this action on July 31, 2023, and, on June 27, 2024, filed the operative, two-Count Amended Complaint against Defendants Anthony G. Brown, in his official capacity as Attorney General of Maryland (“AG Brown”) and Jeffrey A. Kelly, in his official capacity as the executive director of the Maryland Alcohol, Tobacco, and Cannabis Commission (“Mr. Kelly”) (collectively, “Defendants”). See (ECF No. 35). In their Amended Complaint, Plaintiffs allege a Commerce Clause violation for discriminatory delivery privileges based on a provision of Maryland’s Direct Shipping Act of 2024 (“Direct Shipping Act”) that imposes residency requirements for direct-to-consumer beer delivery permits

(Count I); and a Commerce Clause violation for the discriminatory effect of the provision of the Direct Shipping Act that requires that direct-to-consumer delivery of beer occur via producers’ employees and not via common carrier (Count II). (Id.) By Memorandum Opinion and Order dated August 4, 2025, this Court denied the parties’ cross-motions for summary judgment. (ECF Nos. 64, 65.) This case is set for a bench trial beginning December 8, 2025. See (ECF No. 70).

Presently pending before this Court are two motions in limine filed by the parties: (1) Plaintiffs’ Amended Motion in Limine to Exclude Defendants’ Evidence (ECF No. 84) (“Plaintiffs’ Amended Motion”); and (2) Defendants’ Amended Motion in Limine to Exclude Certain Testimony of Plaintiffs’ Expert Jim Kuhr (ECF No. 78) (“Defendants’ Amended Motion”).1 Defendants have responded in Opposition (ECF No. 85) to Plaintiffs’ Amended Motion, and Plaintiffs have replied (ECF No. 87). Similarly, Plaintiffs have responded in

Opposition (ECF No. 82) to Defendants’ Amended Motion, and Defendants have replied (ECF No. 88). The parties’ submissions have been reviewed, and the Court heard oral argument from the parties at a motions hearing held November 7, 2025. For the reasons set

1 Also pending before this Court are Plaintiffs’ original Motion in Limine to Exclude Expert Testimony (ECF No. 75) and Defendants’ original Motion in Limine to Exclude Certain Testimony of Plaintiffs’ Expert Jim Kuhr (ECF No. 76). Both parties filed their Amended Motions in Limine by consent, and both Amended Motions are identical to the relevant original motion except as to the issue of timeliness of expert disclosures. Both parties agree, however, that their expert disclosures were timely pursuant to their written stipulation. Accordingly, the original Motions in Limine (ECF Nos. 75, 76) are denied as MOOT because they are superseded by the Amended Motions in Limine (ECF Nos. 78, 84) discussed herein. forth on the record and expounded further below, Plaintiffs’ Amended Motion in Limine (ECF No. 84) is GRANTED IN PART and DENIED IN PART, and Defendants’ Amended Motion in Limine (ECF No. 78) is GRANTED IN PART and DENIED IN PART.

BACKGROUND This Court has previously recounted the facts underlying this action, see (ECF No. 64), and only those facts necessary for the disposition of the pending motions in limine are included below.

I. Defendants’ Experts Defendants proffer William C. Kerr, Ph.D. (“Dr. Kerr”) as an expert witness and Defendant Jeffrey A. Kelly (“Mr. Kelly”) as a hybrid fact/expert witness.2 (ECF No. 75 Ex. A at 2.) Dr. Kerr’s expert report provides information regarding how “Maryland’s direct beer

delivery law promotes the health and safety of Maryland’s consumers and other legitimate state interests.” See generally (id. at 7–35.) Dr. Kerr is an economist who serves as Senior Scientist and Scientific Director of the Public Health Institute’s Alcohol Research Group. (Id. at 9 ¶ 1.) The Public Health Institute is a non-profit health, equity, and wellness organization that conducts research. (Id.) His report includes opinions regarding the purpose of Maryland’s

three-tier system, the purpose and scope of the challenged statutes, the economic impacts of

2 On the record at the motions hearing, Defendants conceded that Mr. Kelly is a fact witness only. Accordingly, for the reasons stated on the record and expounded below, Mr. Kelly is permitted to testify as a lay person except as to Paragraph 13 of his Declaration (ECF No. 62-1). He is not free to testify as to the opinions offered in Paragraph 13 of his Declaration and, as the Court cautioned Defendants on the record, Mr. Kelly is not free to opine regarding jurisdiction, other states’ inspection frameworks, or general legal analysis. the statutes and limited alcohol delivery, and the negative effects of direct delivery of beer by out-of-state manufacturers. (Id. at 10–13).

As to Mr. Kelly, Defendants note that he is currently Executive Director of the Maryland Alcohol, Tobacco, and Cannabis Commission (“ATCC”),3 between 2008 and 2021 served a similar function as Director of the Field Enforcement Division of the Office of the Maryland Comptroller (“Comptroller”), between 2002 and 2008 served in enforcement roles with the Comptroller, and before 2002, served for seventeen years as an Anne Arundel County

police officer. (Id. at 2–3.) Defendants disclose that Mr. Kelly will testify regarding (1) Maryland’s three-tier system of alcohol regulation and how it serves public health and safety and tax collection in Maryland; (2) the law enforcement and regulatory roles of the ATCC, Comptroller, and local alcohol beverage boards in regulating manufacturers, wholesalers, and retailers; (3) the importance of unannounced, warrantless inspections of manufacturers; (4) Maryland’s direct beer delivery laws; (5) the Comptroller’s 2010 Direct Wine Shipment Report

to the Maryland General Assembly, which conveyed that underage drinkers often choose beer and spirits over wine; and (6) the potential adverse consequences of allowing direct delivery by out-of-state beer manufacturers. (Id. at 2–3.) II. Plaintiffs’ Expert

Plaintiffs proffer expert testimony from Jim Kuhr (“Mr. Kuhr”), “owner of Catalyst Beverage Consulting, LLC, [located in Iowa]. . ., which offers brewing consulting services to the public and to breweries around the country.” (ECF No. 78 Ex. A at 16 ¶ 1.) Mr. Kuhr

3 Defendants represent that the ATCC was created in 2021 such that it did not exist prior to 2021. (ECF No. 75 Ex. A. at 2–3.) bases his testimony on his personal knowledge and experience, including experience in “industrial scale and craft beer, brewing, packaging, fermentation, blending, product development, quality assurance, food safety, occupational safety, sustainability, and project

management.” (Id.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Luce v. United States
469 U.S. 38 (Supreme Court, 1984)
United States v. Abel
469 U.S. 45 (Supreme Court, 1984)
Daubert v. Merrell Dow Pharmaceuticals, Inc.
509 U.S. 579 (Supreme Court, 1993)
Kumho Tire Co. v. Carmichael
526 U.S. 137 (Supreme Court, 1999)
Desert Palace, Inc. v. Costa
539 U.S. 90 (Supreme Court, 2003)
Sprint/United Management Co. v. Mendelsohn
552 U.S. 379 (Supreme Court, 2008)
Grunley Walsh U.S., LLC v. Raap
386 F. App'x 455 (Fourth Circuit, 2010)
United States v. Michael Barile
286 F.3d 749 (Fourth Circuit, 2002)
United States Cold Storage, Inc. v. City of Lumberton
34 F. App'x 429 (Fourth Circuit, 2002)
Adams v. NVR Homes, Inc.
141 F. Supp. 2d 554 (D. Maryland, 2001)
United States v. Vernon Wood
741 F.3d 417 (Fourth Circuit, 2013)
Brinkley v. Harbour Recreation Club
180 F.3d 598 (Fourth Circuit, 1999)
Oglesby v. General Motors Corp.
190 F.3d 244 (Fourth Circuit, 1999)
Cooper v. Smith & Nephew, Inc.
259 F.3d 194 (Fourth Circuit, 2001)

Cite This Page — Counsel Stack

Bluebook (online)
Douglas J. Furlong, Varietal Beer Company, Vortex Brewing, Co., LLC v. The Hon. Anthony G. Brown, Attorney General of Maryland, Jeffrey A. Kelly, Executive Director, Maryland Alcohol, Tobacco, & Cannabis Commission, Counsel Stack Legal Research, https://law.counselstack.com/opinion/douglas-j-furlong-varietal-beer-company-vortex-brewing-co-llc-v-the-mdd-2025.