In Re Midwest Milk Monopolization Litigation

510 F. Supp. 381
CourtDistrict Court, W.D. Missouri
DecidedJanuary 29, 1981
DocketJPML Docket No. 83. Civ. No. 19191-1
StatusPublished
Cited by9 cases

This text of 510 F. Supp. 381 (In Re Midwest Milk Monopolization Litigation) is published on Counsel Stack Legal Research, covering District Court, W.D. Missouri primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
In Re Midwest Milk Monopolization Litigation, 510 F. Supp. 381 (W.D. Mo. 1981).

Opinion

510 F.Supp. 381 (1981)

In re MIDWEST MILK MONOPOLIZATION LITIGATION.
Robert B. ALEXANDER et al., Plaintiffs,
v.
The NATIONAL FARMERS ORGANIZATION, INC., et al., Defendants,
v.
ASSOCIATED MILK PRODUCERS, INC., et al., Counterclaim Defendants.

JPML Docket No. 83. Civ. No. 19191-1.

United States District Court, W. D. Missouri, W. D.

January 29, 1981.

*382 *383 *384 Harry P. Thomson, Jr., George E. Leonard, Shughart, Thomson & Kilroy, Kansas City, Mo., for Mid-Am.

Sydney Berde and Richard M. Hagstrom, Sydney Berde, P. A., St. Paul, Minn., for CMPC.

Donald M. Barnes, Arent, Fox, Kintner, Plotkin & Kahn, Washington, D. C., Colvin A. Peterson, Jr., Watson, Ess, Marshall & Enggas, Kansas City, Mo., for AMPI.

William A. Carey, Barnett, Alagia & Carey, Washington, D. C., for ARSPC.

Worth Rowley, Washington, D. C., for NFO.

MEMORANDUM OPINION, FINDINGS OF FACT AND CONCLUSIONS OF LAW OF PHASE I, PHASE II AND PHASE III AND ORDERS TO CLERK

VOLUME I OF TWO VOLUMES, containing:

Complete Table of Contents for both volumes Pages 385 to 462, inclusive.

           TABLE OF CONTENTS
              VOLUME I
              PHASE I
                                              PAGE
Introduction                                   385
PHASE I FINDINGS OF FACTS                      385
Ultimate Facts Regarding NFO Membership
    Contract as a Tying Arrangement            407
Ultimate Facts Regarding NFO's
    Unfair Trade Practices                     410
Robinson-Patman Factual Findings               414
Ultimate Facts Regarding NFO
    Violation of Missouri Law                  415
Ultimate Factual Findings in
    Support of the Plaintiff's Damages         416
PHASE I CONCLUSIONS OF LAW                     417
Discussion of NFO's Proposed Conclusions of
    Law Regarding its Alleged Antitrust
    Exemption                                  423
Conclusions of Law Regarding Alleged Illegal
    Boycott                                    426
Conclusions of Law Regarding NFO Membership
    Agreement as a Tying Arrangement           427
Conclusions of Law Regarding NFO's
    Alleged Unfair Trade Practices             429
Conclusions of Law in Regard to
    Mid-Am's Robinson-Patman Claim             431
Conclusions of Law in Regard to
    NFO's Alleged Violation of Missouri Law    432
Conclusions of Law in Regard to
    Plaintiff's Damages                        434
                 PHASE II                      PAGE
PHASE II FINDINGS OF FACT—Introduction        434
  I. The Case and the Parties                  436
 II. Trade and Commerce:
     Milk Marketing in General
     A. Grade A Milk                            436
     B. Supply and Assembly Patterns            437
     C. Federal Milk Marketing
        Regulations in General                  438
     D. Class II Pricing: The M-W Series        439
     E. Class I Prices                          439
     F. Blend Prices                            440
     G. Class I Utilization                     440
     H. The Pooling and the
        Producer-Settlement Fund                440
     I. Cooperative Qualification               441
     J. Geographic Marketing Areas              442
     K. Cooperatives and Premiums               443
III. Early Days of the Alleged Conspiracy
     A. The Formation, Scope and Purposes
        of Associated Dairymen, Inc.            443
     B. Mergers                                 444
     Percentages of Milk Pooled by AMPI
     and Mid-Am on Various Federal Orders       448
     C. ADI Establishes a Standby Pool          449
     D. AMPI/Mid-Am Alleged Agreements
        Not to Compete                          452
     E. Additional Merger Data                  453
     F. CACF                                    453
     G. Some Alleged Early Efforts Allegedly
        to Eliminate Outsiders                  453
 IV. NFO's Alleged Capability in Dairy
     A. NFO Formation and Purpose               454
     B. NFO's Recruiting Efforts                454
     C. NFO Membership Structure                454
     D. NFO Marketing Structure                 455
     E. Master Contracts                        455
     F. The Holding Action                      455
     G. NFO Revamps Dairy Department            455
     H. Supply Contracts                        456
     I. NFO Decides to Enter Direct
        Marketing of Milk                       456
     J. NFO Allegedly Calls Upon Experience
        Marketing Hogs, Cattle, Grain           457
     K. NFO Milk Allegedly Attractive
        to Handlers                             457
     L. NFO Focuses Grade A Dairy
        Program in Midwest                      457
     M. NFO Allegedly Preaches Gospel
        to Non-Members                          457
     N. Interest in NFO Grade A Milk
        Marketing Allegedly Grows               457
     O. NFO's Claims Regarding "Poisoning
        NFO's Well and Trying to Get It to
        Join the Club"                          458
     P. Conclusion                              458
  V. The Southwest
     A. Texas                                   458
     B. Oklahoma                                462
     C. Missouri                                467
 VI. Chicago                                    476
VII. Minnesota                                 487

*385
                                            PAGE
VIII. Nebraska                               494
 IX. Kansas and Northwest Missouri           496
  X. Alleged Suppression of Evidence         499
PHASE II CONCLUSIONS OF LAW                 501
PHASE III FINDINGS OF FACT
     A. Background and Parties               504
     B. NFO Programs and Policies
          Before 1969                        506
     C. 1969 Meetings Between NFO and
           Cooperative Leaders               508
     D. NFO's Alleged Efforts to Coerce or
            Destroy Regional Cooperatives    509
     E. Alleged Misrepresentation            517
     F. Alleged Misrepresentation to
            USDA and IRS                     518
     G. Alleged Bad Faith Counterclaim       524
     Discussion of NFO's Phase III
           Proposed Findings of Fact         525
PHASE III CONCLUSIONS OF LAW                 527
ORDERS TO THE CLERK IN REGARD TO
THE ENTRY OF JUDGMENTS                       528

JOHN W. OLIVER, Senior District Judge.

Introduction

For the convenience of the Court and counsel for the parties, the trial of this complex litigation was divided into three parts consistently referred to as Phase I, Phase II and Phase III. For further convenience the various parties were and are referred to as follows:

National Farmers' Organization, Inc., as "NFO."
Mid-America Dairymen, Inc., as "Mid-Am."
Associated Milk Producers, Inc., as "AMPI."
Central Milk Producers Cooperative as "CMPC."
Associated Reserve Standby Pool Cooperative as "ARSPC."

Phase I of this case involves Mid-Am's claim as plaintiff against NFO as defendant for alleged violations of Section 1 of the Sherman Act, Section 2(c) of the Robinson-Patman Act, and Section 274.260 R.S.Mo. 1969. Mid-Am claimed actual damages in the amount of $1,989,350.00, to be trebled, and its attorneys' fees and costs. In accordance with the findings of fact and conclusions of law separately made and stated in connection with Mid-Am's Phase I claim against NFO, an order will be entered directing that judgment be entered against Mid-Am on its Phase I claim and in favor of NFO.

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Related

Alexander v. National Farmers' Organization
614 F. Supp. 745 (W.D. Missouri, 1985)
Oberweis Dairy, Inc. v. Associated Milk Producers, Inc.
553 F. Supp. 962 (N.D. Illinois, 1982)
Alexander v. Associated Milk Producers, Inc.
687 F.2d 1173 (Eighth Circuit, 1982)
Illinois v. AMPI
529 F. Supp. 1326 (W.D. Missouri, 1982)
In Re Midwest Milk Monopolization Litigation
529 F. Supp. 1326 (W.D. Missouri, 1982)

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