ECM BioFilms, Inc. v. Federal Trade Commission

851 F.3d 599, 2017 FED App. 0060P, 2017 WL 1019064, 2017 U.S. App. LEXIS 4609
CourtCourt of Appeals for the Sixth Circuit
DecidedMarch 16, 2017
Docket15-4339
StatusPublished
Cited by7 cases

This text of 851 F.3d 599 (ECM BioFilms, Inc. v. Federal Trade Commission) is published on Counsel Stack Legal Research, covering Court of Appeals for the Sixth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
ECM BioFilms, Inc. v. Federal Trade Commission, 851 F.3d 599, 2017 FED App. 0060P, 2017 WL 1019064, 2017 U.S. App. LEXIS 4609 (6th Cir. 2017).

Opinion

OPINION

JANE B. STRANCH, Circuit Judge.

ECM BioFilms, Inc. manufactures an additive that it claims accelerates the rate at which plastic biodegrades. In October 2013, the Federal Trade Commission (FTC) filed an administrative complaint against ECM, which alleged that several of ECM’s biodegradability claims were deceptive. The full Commission ultimately found that three of ECM’s claims were false and misleading under § 5 of the FTC Act (15 U.S.C. § 45). ECM appeals the Commission’s decision with regard to only one of the claims, arguing that it was unsupported by substantial evidence. ECM also contends that the Commission violated its rights under the First Amendment, the Administrative Procedures Act (APA), and the Due Process Clause of the Fifth Amendment. We disagree and DENY the petition for review.

I. BACKGROUND

More than half of all plastic waste ends up in landfills, where it can take thousands of years to biodegrade. In recent years, some environmentally-conscious consumers have turned away from traditional *605 plastics in favor of products that biodegrade at a more rapid rate. In response to this trend, manufacturers of plastic products have begun to look for ways to increase the biodegradability of their products. ECM BioFilms sells an additive that it claims will accelerate the biodegradation of plastics manufactured with the additive (which we will refer to as “ECM plastic”).

A. ECM’s biodegradability claims

ECM’s claims regarding the biodegradability of ECM plastic have changed over the years. Before 2009, ECM did not market a specific time frame for biodegradation, but did represent that ECM plastic would biodegrade “in timeframes that would be similar to things like wood or pieces of sticks.” Responding to industry demands for specific time frames, in 2009 or 2010 ECM began advertising that ECM plastic would “fully biodegrade” in a “landfill” within nine months to five years. ECM placed this representation on its marketing materials and website. The administrative law judge (ALJ) overseeing this case concluded this claim was false and unsubstantiated. As the ALJ observed, “All of the experts in this case agreed that ECM Plastics do not fully biodegrade in 9 months to 5 years in a landfill.” The Commission also concluded that “the clear eon-sensus among both parties’ experts” was that “ECM lacks substantiation for its express and implied claims that ECM Plastics fully biodegrade in landfills within 5 years.” ECM no longer contends otherwise.

ECM also provided plastic manufacturers with material to market their products as biodegradable, including a logo marked “ECM Biodegradable” against a tree design. Millions of plastic products were manufactured with this representation or similar representations, including “plastic dinnerware, straws, and ‘clam shell’ carryout containers, restaurant and grocery bags, trash bags, and shampoo and conditioner bottles.” Some of ECM’s plastic-manufacturer customers also advertised that their plastics would biodegrade in nine months to five years in a landfill.

In 2012, the FTC revised its “Green Guides,” which are intended to “help marketers avoid making environmental marketing claims thát are unfair or deceptive under Section 5 of the FTC Act.” 16 C.F.R. § 260.1(a). The previous version of the Guides, issued in 1996, advised that an unqualified claim that a product is biodegradable “should be substantiated by competent and reliable scientific evidence that the entire product or package will completely break down and return to nature ... within a reasonably short period of time after customary disposal.” Guides for the Use of Environmental Marketing Claims, 61 Fed. Reg. 53311, 53318 (Oct. 11, 1996) (emphasis added). The 2012 Guides advised that “[i]t is deceptive to make an unqualified degradable claim for items entering the solid waste stream if the items do not completely decompose within one year after customary disposal.” (16 C.F.R. § 260.8(c) (emphasis added). Additionally, with regard to items customarily disposed of in landfills, the 2012 Guides advised that any unqualified biodegradable claim would be deceptive “because these locations do not present conditions in which complete decomposition will occur within one year.” Id.

After the FTC issued the 2012 Guides, ECM revised its marketing materials and logo. ECM placed an asterisk next to the word “biodegradable” and clarified that “[pjlastic products manufactured with [the ECM additive] will biodegrade in any biologically-active environment (including most landfills) in some period greater than a year.” However, ECM continued to make the “nine months to five years” claim on its *606 website until late 2013, and in direct communications with customers until January 2014.

B. Scientific tests of ECM plastic

Scientists disagree on the precise definition of the term “biodegradable.” Most commonly, scientists define biodegradable material as material that can be broken down by biological agents, such as bacteria or fungi. Biodegradability is a property of a material, similar to color, weight, or density. A material’s rate of biodegradation depends on the environment in which biod-egradation occurs. Because biodegradation occurs at different rates in different environments, in evaluating the biodegradability of a material, scientists focus on its “intrinsic biodegradability.” That is, they do not estimate the time for complete biodegradation, but instead evaluate the material’s rate of biodegradation in various environments, as well as how this rate compares with other biodegradable materials.

The most practical and widely-used scientific method for measuring the intrinsic biodegradability of a material is gas evolution testing. Of the available gas evolution tests, the D5511 protocol provides the best approximation of plastic biodegradation in landfill conditions. Landfills are predominantly anaerobic environments, and the D5511 method measures “the degree and rate of anaerobic biodegradation of plastic materials.” The D5511 protocol provides, however, that claims of performance are to be limited to the numerical result obtained in the test and are “not be used for unqualified ‘biodegradable’ claims.” It also provides that results are not to be extrapo-' lated past the actual duration of the test.

A number of different laboratories performed D5511 biodegradation tests on plastics manufactured with ECM’s additive. ECM points to nineteen laboratory tests that, it claims, demonstrate that ECM plastic biodegrades at a faster rate than traditional plastic. In one test, for instance, ECM plastic biodegraded 49.28% over 900 days, whereas traditional plastic biodegraded just 0.1152% over the same time. The FTC, in turn, points to thirteen tests that, it alleges, indicate that ECM’s additive does not accelerate biodegradation.

C. Consumer understanding of biodegradability claims

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Bluebook (online)
851 F.3d 599, 2017 FED App. 0060P, 2017 WL 1019064, 2017 U.S. App. LEXIS 4609, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ecm-biofilms-inc-v-federal-trade-commission-ca6-2017.