McKinney v. Bayer Corp.

744 F. Supp. 2d 733, 84 A.L.R. 6th 613, 2010 U.S. Dist. LEXIS 103516, 2010 WL 3834327
CourtDistrict Court, N.D. Ohio
DecidedSeptember 30, 2010
Docket1:10-cr-00224
StatusPublished
Cited by48 cases

This text of 744 F. Supp. 2d 733 (McKinney v. Bayer Corp.) is published on Counsel Stack Legal Research, covering District Court, N.D. Ohio primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

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McKinney v. Bayer Corp., 744 F. Supp. 2d 733, 84 A.L.R. 6th 613, 2010 U.S. Dist. LEXIS 103516, 2010 WL 3834327 (N.D. Ohio 2010).

Opinion

MEMORANDUM & ORDER

KATHLEEN McDONALD O’MALLEY, District Judge.

Before the Court is Defendants’ Motion to Dismiss Plaintiffs Complaint. (Doc. 6.) This Motion has been fully briefed and is ripe for adjudication. For the reasons set forth below, Defendants’ Motion to Dismiss is GRANTED in part and DENIED in part. The Motion is granted as to the class claim under the Ohio Consumer Sales Practice Act, O.R.C. § 1345.01, et seq. (“OCSPA”), and as to Count IV. The Court denies the Motion as to Counts II, III, and as to McKinney’s individual claim under the OCSPA, but will certify to the Ohio Supreme Court the question of whether a consumer has standing under the Ohio De *738 ceptive Trade Practices Act, O.R.C. § 4165.01, et seq.

I. BACKGROUND

A. Factual Background 1

Defendants Bayer Corporation and Bayer Healthcare, LLC (collectively referred to as “Bayer”) produce, market, and sell the “One-A-Day” line of vitamins, including the two products at issue in this case: One-A-Day Men’s Health Formula and One-A-Day Men’s 50 + Advantage vitamin products (referred to collectively as the “Vitamin Products”). According to Plaintiff George McKinney (“McKinney”), Bayer falsely advertises that the Vitamin Products “promote prostate health” and “may reduce the risk of prostate cancer” (“the Prostate Claims”). To the contrary, McKinney alleges, one of the key ingredients in the Vitamin Products, which Bayer claims provides these health benefits — selenium — “actually poses serious health risks when taken in the amounts recommended by Bayer.” (Doc. 1 at ¶¶ 1-2.) 2

McKinney alleges that “Bayer does not possess a single proper scientific or clinical study” supporting the Prostate Claims. (Id. at ¶ 4.) He then cites to scientific studies to support his claims that selenium may, in some specific instances, actually increase the risk of aggressive prostate cancer. (Id. at ¶¶ 36-54.) In addition, McKinney points to studies suggesting that selenium may increase the risk of diabetes. (Id. at ¶¶ 38-39.)

McKinney contends that Bayer’s statements regarding the prostate health benefits of the Vitamin Products “were widely disseminated” and appeared on package labels, on its website, and in its commercial advertisements. (Id. at ¶¶ 2, 25.) With respect to the product packaging, McKinney points to language on the front label of One-A-Day Men’s Health Formula which states that it “Supports Prostate Health,” and the back label which provides, in part, that “emerging research suggests Selenium may reduce the risk of prostate cancer.” (Id. at ¶¶ 27-28.) The back of the package further states that:

One A Day Men’s Health Formula is a complete multivitamin plus key nutrients including Selenium to support a healthy prostate. * Selenium may reduce the risk of certain cancers. Some scientific evidence suggests that consumption of Selenium may reduce the risk of certain forms of cancer. However, FDA has determined that this evidence is limited and not conclusive.

(Doc. 1 at ¶ 28; Doc. 7 at 11-12; Doc. 9-1 at 1.) Similarly, the back of the product packaging for One-A-Day Men’s 50 + Advantage states that it contains “nearly *739 twice the Selenium in Centrum Silver to support prostate health.” (Doc. 1 at ¶ 29.)

With respect to commercial advertisements, McKinney alleges that, since 2008, “Bayer has run at least eleven versions of television advertisements and at least nine versions of radio advertisements repeating the same misrepresentations.” (Id. at ¶ 25.) Specifically, McKinney alleges, and Bayer does not dispute, that Bayer ran the following television and radio commercials advertising the Vitamin Products:

• Radio Advertisement:

“Prostate cancer. It’s an important subject. Did you know that there are more new cases of prostate cancer each year than any other cancer? And here’s something else you should know. Now, there’s something you can do that may help reduce your risk. Along with your regular doctor checkups, switch to One A Day Men’s. A complete multivitamin plus selenium, which emerging research suggests may help reduce the risk of prostate cancer. One A Day Men’s. Because staying healthy is serious business.”

• Television Advertisement:

“Did you know one in three men will face prostate issues? One in three, really? That’s why One A Day Men’s is a complete multivitamin with selenium which emerging research suggests can help prostate health. One A Day Men’s.”
“To stay on top of my game after 50,1 switched to a complete multivitamin with more. Only One A Day Men’s 50 + Advantage has gingko for memory and concentration plus support for prostate and heart health. Safe. That’s a great call. One A Day Men’s.”

(Doc. 1 at ¶¶ 30-32.) Finally, McKinney points to Bayer’s website, which repeats the Prostate Claims: “Did you know that 1 in 6 men will face prostate issues? Prostate cancer is the most frequently diagnosed non-skin cancer in men, and emerging research suggests Selenium may reduce the risk of prostate cancer.” (Id. at ¶ 33.)

McKinney alleges that he saw and heard Bayer’s television and radio commercial advertisements and purchased both Vitamin Products in reliance on the Prostate Claims contained therein. (Id. at ¶¶ 34, 78.) The Complaint does not specify which of the advertisements McKinney allegedly saw or relied upon in making his purchases. Nor does it contain any allegations regarding when he purchased the products, the purchase price, or whether McKinney actually consumed the Vitamin Products at issue. McKinney does not allege that he suffered any physical harm from ingesting the Vitamin Products.

B. Procedural History

On February 2, 2010, McKinney filed a putative class action against Bayer alleging that its advertisements for the Vitamin Products, including the product packaging, “are unlawful, unfair, fraudulent, and unconscionable,” because they falsely claim that the Vitamin Products promote prostate health and reduce the risk of prostate cancer. (Doc. 1 at ¶¶ 1-3.) Specifically, McKinney’s Complaint asserts the following four (4) claims for relief stemming from Bayer’s promotion, advertisement, and labeling of the Vitamin Products: (1) violation of the Ohio Consumer Sales Practice Act, O.R.C. § 1345.01, et seq. (“OCS-PA”); (2) violation of the Ohio Deceptive Trade Practices Act, O.R.C. § 4165.01,

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744 F. Supp. 2d 733, 84 A.L.R. 6th 613, 2010 U.S. Dist. LEXIS 103516, 2010 WL 3834327, Counsel Stack Legal Research, https://law.counselstack.com/opinion/mckinney-v-bayer-corp-ohnd-2010.