In Re Forest Laboratories, Inc. Derivative Litigation

450 F. Supp. 2d 379, 2006 U.S. Dist. LEXIS 67558, 2006 WL 2670988
CourtDistrict Court, S.D. New York
DecidedSeptember 18, 2006
Docket05 cv. 3489(RJH)
StatusPublished
Cited by15 cases

This text of 450 F. Supp. 2d 379 (In Re Forest Laboratories, Inc. Derivative Litigation) 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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In Re Forest Laboratories, Inc. Derivative Litigation, 450 F. Supp. 2d 379, 2006 U.S. Dist. LEXIS 67558, 2006 WL 2670988 (S.D.N.Y. 2006).

Opinion

MEMORANDUM OPINION AND ORDER

HOLWELL, District Judge.

Plaintiffs Jeff Michelson and Eleanor Turberg, shareholders of Forest Laborato *381 ries, Inc. (“Forest” or the “Company”), bring this derivative action on behalf of Forest against its directors and officers alleging a breach of fiduciary duty arising out of defendants’ sale of the Company’s stock while allegedly misleading shareholders as to the future prospects of its key products, the antidepressants Celexa and Lexapro. Plaintiffs bring additional counts alleging breach of fiduciary duty, abuse of control, gross mismanagement, waste of corporate assets, and unjust enrichment.

Defendants now move to dismiss the Verified Consolidated Shareholder Derivative Complaint (the “Complaint”) pursuant to Rule 23.1 of the Federal Rules of Civil Procedure for failure to assert well-pled allegations showing that demand upon the Forest Board of Directors would have been futile. For the reasons set forth below, the Court grants defendants’ motion, thereby dismissing the Complaint in its entirety.

BACKGROUND

The following recitation of facts is drawn entirely from the complaint, except where otherwise indicated.

1. Defendants

a.Forest Labs

Nominal defendant Forest is incorporated under Delaware law. (ComplV 23.) Plaintiffs, shareholders of Forest, bring this suit on its behalf. (Id. ¶¶ 1, 15, 22.) Forest and its subsidiaries develop, manufacture, and sell ethical drug products which require a physician’s prescription, as well as nonprescription pharmaceutical products for over-the-counter sale. (Id. ¶ 23.)

b. Inside Director Defendants

Of the seven directors on Forest’s Board of Directors at the time this complaint was filed, two are inside directors. Individual director Howard Solomon (“Solomon”) was Forest’s Chief Executive Officer and Chairman of its Board (id. ¶ 24), and individual defendant Kenneth E. Goodman (“Goodman”) was Forest’s President and Chief Operating Officer, and a member of its board (id. ¶ 25) (collectively, the “Inside Directors”).

c. Outside Director Defendants

The remaining five members of Forest’s board are William J. Candee, III (“Candee”), George S. Cohan (“Cohan”), Daniel L. Goldwasser (“Goldwasser”), Lester B. Salans (“Salans”), and Phillip M. Satow (“Satow”) (collectively, the “Outside Directors”). None of the Outside Directors serve as officers in the Company.

d. Officer Defendants

Three defendants, John E. Eggers (id. ¶ 26), Elaine Hochberg (id. ¶ 27), and Lawrence S. Olanoff (id. ¶ 33), are officers of Forest, but not members of Forest’s Board of Directors. Allegations concerning them will therefore not be relevant to determining demand futility.

2. Allegations of Wrongdoing

Plaintiffs’ allegations of wrongdoing arise out of misrepresentations allegedly made (or allowed to be made) by defendants with respect to three lines of Forest pharmaceutical products, allegedly resulting in the artificial inflation of Forest’s stock price underlying plaintiffs’ breach of fiduciary and other claims.

a. Antidepressants: Celexa and Lexapro

The first, and most significant, is Forest’s antidepressant franchise, which con *382 sists of the selective serotonin reuptake inhibitors (“SSRIs”) Celexa (citalopram HBr) and its successor Lexapro (escitalopram oxalate). (See Compl. ¶ 7.) Plaintiffs allege that Forest made misrepresentations regarding the efficacy of Celexa for use in treating pediatric depression while in possession of a study which contradicted those representations. (Id. ¶1¶ 10-11, 13, 68-69, 74, 82, 111.)

To date, Celexa has only been approved for use in adults 18 years of age or older. (Id. ¶ 9.) 1 In 2001, Forest, in cooperation with its licensor, Lundbeck, funded a study on the use of Celexa in pediatric care. (Id. ¶ 67.) On December 13, 2001, Forest issued a press release “Results of Escitalopram and Celexa Studies Presented at Major Scientific Conference” which reported that the clinical study (the “Texas Study”) 2 showed that “Celexa may significantly reduce depression in adolescents and children” and that the “study is significant because few studies involving any antidepressant have shown efficacy compared to placebo in the treatment of depression in children and adolescents.” (Id. ¶ 69.) Early in 2002, following Forest’s release of its positive fiscal third quarter results for 2001, the media attributed Forest’s rise in profits to strong demand for Celexa, and reported that Forest hoped to leverage robust sales into developing Lexapro for depression and memantine for Alzheimer’s. (Id. ¶¶ 70-71.) In May 2002, the Texas Study was presented at an American Psychiatric Association conference. (Id. ¶ 74.) Through late 2002, medical-industry publications also reported the results of the Texas Study, as well as an additional Forest-sponsored study conducted in South Africa, both of which demonstrated that Celexa was well tolerated and efficacious in treating pediatric depression. (Id. ¶¶ 77, 82.) On July 17, 2002, Forest announced that the FDA granted Forest a six-month extension on marketing exclusivity for Celexa based on its review of Forest’s pediatric data, 3 extending the exclusivity period through January 2004. (Id. ¶ 75.) In addition to allowing Forest to receive an extension on market exclusivity, studies reflecting Ce *383 lexa’s efficacy in treating pediatric depression also can result in off-label prescriptions, which, in turn, leads to an increase in revenues for Forest. (Id. at ¶¶ 8-9.)

Around the same time, on August 15, 2002, Forest announced that Lexapro 4 had received FDA approval for the treatment of major depressive disorder in adults, based on efficacy and safety data from clinical trials on patients between the ages of 18 and 65 with moderate-to-severe depression. (Id. ¶ 76.) Forest commenced, and continued throughout 2003, a campaign to convert Celexa patients to Lexapro prior to the emergence of generic competition (expected in January 2004 absent FDA approval for label expansion). (Id. ¶¶ 79, 81.) This campaign to promote Lexapro relied on the emergence of new and favorable comparative clinical data (against Celexa and other antidepressants on the market, in particular Pfizer’s Zoloft). (Id.

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450 F. Supp. 2d 379, 2006 U.S. Dist. LEXIS 67558, 2006 WL 2670988, Counsel Stack Legal Research, https://law.counselstack.com/opinion/in-re-forest-laboratories-inc-derivative-litigation-nysd-2006.