Global Cure Medicine LLC v. Alfa Pharma LLC

CourtDistrict Court, W.D. Washington
DecidedOctober 15, 2020
Docket2:19-cv-00588
StatusUnknown

This text of Global Cure Medicine LLC v. Alfa Pharma LLC (Global Cure Medicine LLC v. Alfa Pharma LLC) is published on Counsel Stack Legal Research, covering District Court, W.D. Washington primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Global Cure Medicine LLC v. Alfa Pharma LLC, (W.D. Wash. 2020).

Opinion

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6 7 UNITED STATES DISTRICT COURT 8 WESTERN DISTRICT OF WASHINGTON AT SEATTLE 9 10 GLOBAL CURE MEDICINE LLC, CASE NO. C19-588 MJP 11 Plaintiff, ORDER ON CROSS MOTIONS FOR SUMMARY JUDGMENT 12 v. 13 ALFA PHARMA LLC, and SULIMAN AL-FAYOUMI, 14 Defendants. 15

16 17 This matter comes before the Court on Plaintiff’s Motion for Summary Judgment (Dkt. 18 No. 37) and Defendants’ Motion for Judgment on the Pleadings/Summary Judgment (Dkt. No. 19 38). Having reviewed the Parties’ respective responses (Dkt. Nos. 42 & 44), replies (Dkt. Nos. 20 45 & 46), and all supporting documents filed in support and opposition to each Parties’ Motion, 21 the Court DENIES in part and GRANTs in part Plaintiff’s Motion and DENIES in part and 22 GRANTS in part Defendants’ Motion for the reasons set forth below. 23 24 1 BACKGROUND 2 Plaintiff Global Cure Medicine, LLC (“GCM”) seeks to recover damages stemming from 3 the purchase of pharmaceuticals from Defendants Alfa Pharma LLC (“AlfaPharma”) and 4 Suliman Al-Fayoumi. GCM is a pharmaceutical importer/exporter located in Oman. It sought to 5 purchase from AlfaPharama an injectable pharmaceutical, “Soliris (Eculizumab), manufactured

6 by Alexion Pharmaceuticals. It ultimately purchased 75 vials of the drug from AlfaPharma, 7 which is a pharmaceutical wholesaler/distributor located in Renton, Washington—wholly owned 8 and solely operated by Defendant Al-Fayoumi. GCM claims that the purchase did not conform to 9 the terms of the parties’ agreement and that it was misled and deceived by Defendants. GCM 10 pursues claims for breach of contract, breach of express and implied warranties, fraud, and 11 violation of the Washington Consumer Protection Act. 12 GCM commenced efforts to source Soliris in late 2016 to respond to a request for 13 proposal to supply the Royal Hospital of Oman with the drug. In November 2016, GCM received 14 a quotation from AlfaPharma for 150 vials of Soliris. The quotation was signed by “Sam Akers”1

15 of AlfaPharma. (Ex. 1 to Second Amended Complaint (“SAC”) (Dkt. No. 23-1 at 2).)2 GCM 16 attempted to get a lower price from AlfaPharma, but AlfaPharma refused. “Sam Akers” 17 explained in an email to GCM: 18 19

20 1 As Defendant Al-Fayoumi admits, Sam Akers was merely an alias that he used in conducting his solely-owned and operated business. (Dep. of Al-Fayoumi at 18-19, attached as Ex. C to 21 Simburg Decl. ISO GCM Mot. (Dkt. No. 37-6 at 3-4).) 2 GCM has filed a declaration of Mahmoud Hamouda in support of its Motion in which Mr. 22 Hamouda verifies that the documents attached to the Second Amended Complaint are “authentic and . . . true copes of the originals.” Decl. of M. Hamouda Verifying Second Amended 23 Complaint (Dkt. No. 37-1 at ¶ 3). For clarity, the Court cites to the SAC as it was filed on the docket (Dkt. No. 23), rather than the copy appended to the Hamouda Declaration. 24 1 Please also bear in mind that all our drug products from AlfaPharma come with CoA [Certificate of Analysis] and other relevant documentation, which would 2 typically justify higher offer prices. 3 (Ex. 3 to SAC at p.2 (Dkt. No. 23-1 at 8).) “Akers” stated further: “We have gone the extra mile 4 to supply the certificate of analysis along with other supporting documentation” and therefore 5 could not “provide any further discounts for any Soliris orders.” (Ex. G to Decl. of Def. Al- 6 Fayoumi in Support of Defs’ Mot. S.J. (Dkt. No. 39 at 33).) 7 The Parties eventually agreed to reduce the order to 75 vials of Soliris. AlfaPharma sent a 8 formal quotation for the 75 vials to GCM. The email accompanying that quote stated: 9 We guarantee delivery within 2-3 weeks of order confirmation as we currently have most of the order volume in stock (i.e., around 60 vials). We can’t 10 however continue to hold the stock for much longer without a firm order. 11 (Ex. B to the Declaration of Simburg in Support of Pl. Mot. S.J. at 46 (GCM000125) (Dkt. No. 12 37-5 at 46).) 13 In late February and early March of 2017, GCM transmitted two purchase orders to 14 AlfaPharma: the first for 38 vials of Soliris, the second for 37 vials of Soliris. Both purchase 15 orders specified “Mnf.: Alexion – USA” and “Expiry: Minimum 1 Year at the Time of 16 Delivery.” (Exs. C & D to Al-Fayoumi Decl. ISO Defs’ Mot. S.J. (Dkt. No. 39 at 25 & 27).) 17 Additionally, both purchase orders specified the following “Documents Required”: 18 1) Signed & Stamped Invoice and Packing List (3 copies) 19 2) Airway Bill/Bill of Ladding [sic] 20 3) Certificate of Origin Issued by Local of Chamber of Commerce [sic] 21 4) Certificate of Analysis 22 (Id.) 23 24 1 AlfaPharma responded on March 17 and March 20, 2017 with two invoices. (Exs. H & I 2 to Al-Fayoumi Decl. ISO Defs’ Mot. S.J. (Dkt. No. 39 at 35 & 37).) Both documents contained 3 the following language: 4 • EXPRY DATE: Min 1 year from delivery 5 • Original Certificates of Analysis & Certificates of Origin will be supplied

6 • Manufacturer: ALEXION Europe 7 (Id.) Additionally, the invoices listed the batch numbers and their specific production and 8 expiration dates. (Id.) The documents were signed by “Sam Akers.” (Id.) In response, GCM 9 transmitted a total of $366,250 ($353,850 for the Soliris and $12,400 for stainless steel 10 containers for the medication). (Defendants’ Answer to SAC at ¶ 10 (Dkt. No. 27 at 6).) 11 The first shipment of Soliris arrived in April 2017. Although the packing slip indicated 12 that the shipment contained 66 vials, in fact it only contained 64. (30(b)(6) Dep. of Mahmoud 13 Hamouda at 94, attached as Ex. D. to Simburg Decl. ISO Pl. Mot. S.J. (Dkt. No. 37-7 at 5).) The 14 final 11 vials arrived in May 2017. (Ex. A to Simburg Decl. at 19 (Dkt. No. 37-4 at 20).) The

15 packing lists of both shipments reflected batch numbers and expiration dates. (Id. at 5-6 (Dkt. 16 No. 37-4 at 6-7).) Of the six batches of Soliris which were sent, only four had accompanying 17 Certificates of Analysis (“COA”). (See Ex. D to Simburg Decl. at 4-5 (Rule 30(b)(6) Dep. of 18 GCM at pp.94-95) (Dkt. No. 37-7 at 5-6).) And GCM a received COO for the first shipment of 19 64 vials, but no COO for the final shipment. (Decl. of Hamouda ISO Pl. Opp. Defs’ Mot. S.J. at 20 ¶ 10 (Dkt. No. 44-1 at 4).) 21 The paperwork provided to GCM contain irregularities and inconsistencies. The four 22 COAs that were provided to GCM were fax copies purporting to be from ALMAC Pharma 23 Services in the United Kingdom. (Ex. A to Simburg Decl. at 11-14 (Dkt. No. 37-4 at 11-14).) 24 1 The March 17, 2017 invoice sent by AlfaPharma for Batches P0004906 and P0004907 listed the 2 production date as September 2016 and the Expiration Date as March 2019. (Ex. H to Al- 3 Fayoumi Decl. (Dkt. No. 39 at 35).) But the two COAs for those batches showed the date of 4 analysis as March 16, 2016, six months before the purported production date. (Ex. A to Simburg 5 Decl. at 10-13 (Dkt 37-4 at 11-14).) And the signature dates on both were March 14, 2016, two

6 days before the batches were supposedly analyzed. (Id.) The COAs for batches P0004907 and 7 P0004801 both had signature lines indicating that the analysis had been performed by “Trevor 8 Clarke.” (Id. at 13, 15 (Dkt. No. 37-4 at 14, 16).) But the signatures on the two lines are 9 completely different. Additionally, AlfaPharma provided GCM with two other COAs purported 10 to have been done on batch 4801. One is dated June 13, 2016. (Ex B. to Simburg Decl. at 42 11 (Dkt. No. 37-5 at 43).) The other is dated April 5, 2016. (Id. at 43 (Dkt. No. 37-5 at 44).) And 12 there are again two different signatures on the “Trevor Clarke” signature line. (Compare id. at 42 13 to id. at 43 (Dkt. No. 37-5 at 43 & 44).) AlfaPharma also sent a third COA for Batch 4801 that is 14 just the first page (with no second, signature page). (Id. at 44 (Dkt. No. 37-5 at 45).) The COA

15 for the second (11 vial) shipment contained further irregularities.

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Global Cure Medicine LLC v. Alfa Pharma LLC, Counsel Stack Legal Research, https://law.counselstack.com/opinion/global-cure-medicine-llc-v-alfa-pharma-llc-wawd-2020.