Just Puppies, Inc. v. Anthony Brown

123 F.4th 652
CourtCourt of Appeals for the Fourth Circuit
DecidedDecember 11, 2024
Docket21-2170
StatusPublished
Cited by11 cases

This text of 123 F.4th 652 (Just Puppies, Inc. v. Anthony Brown) is published on Counsel Stack Legal Research, covering Court of Appeals for the Fourth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Just Puppies, Inc. v. Anthony Brown, 123 F.4th 652 (4th Cir. 2024).

Opinion

USCA4 Appeal: 21-2170 Doc: 56 Filed: 12/11/2024 Pg: 1 of 27

PUBLISHED

UNITED STATES COURT OF APPEALS FOR THE FOURTH CIRCUIT

No. 21-2170

JUST PUPPIES, INC., d/b/a Just Puppies Towson; JUST PUPPIES OF MARYLAND INC., d/b/a Just Puppies Rockville; CHARM CITY PUPPIES, LLC, d/b/a Charm City Puppies & Boutique; SOBRAD, LLC, d/b/a Pinnacle Pet; TARA BAKER, d/b/a Valley View Kennel,

Plaintiffs – Appellants,

v.

ANTHONY G. BROWN,

Defendant – Appellee.

--------------------------

THE HUMANE SOCIETY OF THE UNITED STATES,

Amicus Supporting Appellee.

Appeal from the United States District Court for the District of Maryland, at Baltimore. Ellen Lipton Hollander, Senior District Judge. (1:21-cv-01281-ELH)

Argued: October 27, 2022 Decided: December 11, 2024

Before KING and RUSHING, Circuit Judges, and TRAXLER, Senior Circuit Judge.

Affirmed by published opinion. Judge Rushing wrote the opinion, in which Judge King and Senior Judge Traxler joined. USCA4 Appeal: 21-2170 Doc: 56 Filed: 12/11/2024 Pg: 2 of 27

ARGUED: Meagan Cooper Borgerson, KAGAN STERN MARINELLO & BEARD, LLC, Annapolis, Maryland, for Appellants. Ryan Robert Dietrich, OFFICE OF THE ATTORNEY GENERAL OF MARYLAND, Baltimore, Maryland, for Appellee. ON BRIEF: Jonathan P. Kagan, KAGAN STERN MARINELLO & BEARD, LLC, Annapolis, Maryland, for Appellants. Brian E. Frosh, Attorney General, OFFICE OF THE ATTORNEY GENERAL OF MARYLAND, Baltimore, Maryland, for Appellee. Ralph Henry, Jessica Meltzer, THE HUMANE SOCIETY OF THE UNITED STATES, Washington, D.C., for Amicus Curiae.

2 USCA4 Appeal: 21-2170 Doc: 56 Filed: 12/11/2024 Pg: 3 of 27

RUSHING, Circuit Judge:

The plaintiffs in this case want to sell dogs through physical retail stores in

Maryland. But a Maryland law restricts their ability to do so. The plaintiffs sued, alleging

the Maryland statute is preempted by the federal Animal Welfare Act and violates the

Commerce Clause of the United States Constitution. The district court dismissed plaintiffs’

complaint, concluding they failed to state plausible claims. We affirm.

I.

A.

Over the past twelve years, Maryland has passed an evolving series of laws designed

to stop the sale of dogs bred in so-called “puppy mills.” 1 The earliest laws required retail

pet stores to source the dogs they sold from breeders and brokers who were licensed by the

U.S. Department of Agriculture (USDA) and in compliance with applicable federal laws

and USDA regulations. Later iterations banned retail pet stores from selling dogs

altogether.

The law at issue here is Maryland’s 2021 retail pet store statute. See An Act

Concerning Domestic Animals – Retail Pet Stores & the Task Force to Study Canine

Breeding Facilities & Sourcing Standards, 2021 Md. Laws, Ch. 448 (2021) (codified at

Md. Code Ann., Bus. Reg. §§ 19-701–19-705) (hereinafter, Pet Store Statute). The Pet

1 According to plaintiffs, the accepted definition of a “puppy mill” is “a dog- breeding operation, which offers dogs for monetary compensation or remuneration, in which the physical, psychological and/or behavioral needs of the dogs are not being fulfilled due to inadequate housing, shelter, staffing, nutrition, socialization, sanitation, exercise, veterinary care, and/or inappropriate breeding.” J.A. 24. 3 USCA4 Appeal: 21-2170 Doc: 56 Filed: 12/11/2024 Pg: 4 of 27

Store Statute contains a straightforward prohibition: “A retail pet store may not sell or

otherwise transfer or dispose of cats or dogs.” 2 Md. Code Ann., Bus. Reg. § 19-703(a). A

“retail pet store” is “a for-profit establishment that sells or offers for sale domestic animals

to be kept as household pets” or “a broker.” Id. § 19-701(f)(1). A “broker” is any “person

who transfers dogs or cats for resale by another person.” Id. § 19-701(e). The Pet Store

Statute, however, essentially excludes breeders from its prohibitions, at least when breeders

sell animals at the location where they were born. The statute defines a breeder as “a person

who breeds or raises dogs or cats to sell, exchange, or otherwise transfer to the public.” Id.

§ 19-701(d). It then provides that the term “‘[r]etail pet store’ does not include an

establishment at which the animals sold at the establishment were born at the

establishment.” Id. § 19-701(f)(2).

Practically speaking, the Pet Store Statute allows breeders to sell dogs in Maryland,

both in person and over the internet, but prohibits retail pet stores and brokers from selling

dogs. According to plaintiffs, the law “effectively shift[s] the sale of puppies from

regulated retail pet stores (who source puppies from regulated out-of-state breeders and

2 The Pet Store Statute does not forbid “a retail pet store from collaborating with an animal welfare organization or animal control unit to offer space for these entities to showcase cats or dogs for adoption.” Md. Code Ann., Bus. Reg. § 19-703(b); see id. § 19- 702 (“This subtitle does not apply to an animal welfare organization or animal control unit operating within a retail pet store.”). An “animal welfare organization” is a 26 U.S.C. § 501(c)(3) nonprofit “whose mission and practice is the rescue of animals and the placement of those animals in permanent homes.” Id. § 19-701(c)(1). The term “does not include an organization that obtains animals from a breeder or broker in exchange for payment or compensation.” Id. § 19-701(c)(2). 4 USCA4 Appeal: 21-2170 Doc: 56 Filed: 12/11/2024 Pg: 5 of 27

brokers) to Maryland breeders and unregulated marketplaces, such as on the internet, and

[to] unregulated nonprofit animal welfare organizations, rescues, and shelters.” J.A. 39.

B.

Plaintiffs are parties affected by Maryland’s retail pet store laws. Just Puppies, Inc.,

Just Puppies of Maryland, Inc., and Charm City Puppies, LLC, are retail pet stores in

Maryland whose business models are premised primarily on offering dogs for sale to

Maryland consumers. Each of these businesses has historically derived more than ninety

percent of its gross revenue from dog sales and the remainder from selling pet accessories.

These businesses generated millions of dollars annually by buying high-end, pure-bred

puppies, primarily from out of state, and reselling them to Maryland consumers. Sobrad,

LLC, is a Missouri corporation and USDA-licensed dog broker that sources dogs for retail

pet stores, including for Charm City Puppies. Tara Baker is a USDA-licensed dog breeder

based in Missouri. In the past, she has sold nearly all her puppies to Just Puppies.

In May 2021, plaintiffs initiated this lawsuit challenging the Pet Store Statute. 3 As

relevant here, plaintiffs alleged that the Pet Store Statute is preempted by the federal

3 In an earlier lawsuit, the Just Puppies stores, Charm City Puppies, Sobrad, and a retail pet store and breeder not parties to this case sued to challenge a 2018 Maryland pet store statute. The district court dismissed the complaint and denied the plaintiffs’ motion for a preliminary injunction. See Just Puppies, Inc. v. Frosh, 438 F. Supp. 3d 448 (D. Md. 2020). The Maryland General Assembly enacted the 2021 Pet Store Statute while plaintiffs’ appeal from that dismissal was pending. On the parties’ motion, we vacated the district court’s judgment and remanded for further consideration in light of the amendments made in the 2021 statute. See Just Puppies, Inc. v. Frosh, No. 20-1631, 2021 WL 4452349 (4th Cir. Apr. 29, 2021).

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123 F.4th 652, Counsel Stack Legal Research, https://law.counselstack.com/opinion/just-puppies-inc-v-anthony-brown-ca4-2024.