Meta Platforms, Inc. v. Judang Team LLC, et al.

CourtDistrict Court, N.D. California
DecidedJanuary 20, 2026
Docket3:25-cv-05156
StatusUnknown

This text of Meta Platforms, Inc. v. Judang Team LLC, et al. (Meta Platforms, Inc. v. Judang Team LLC, et al.) is published on Counsel Stack Legal Research, covering District Court, N.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Meta Platforms, Inc. v. Judang Team LLC, et al., (N.D. Cal. 2026).

Opinion

1 2 3 4 UNITED STATES DISTRICT COURT 5 NORTHERN DISTRICT OF CALIFORNIA 6 7 META PLATFORMS, INC., Case No. 25-cv-05156-TSH

8 Plaintiff, ORDER DENYING DEFENDANTS’ 9 v. MOTION TO DISMISS PURSUANT TO RULE 12(b)(6) 10 JUDANG TEAM LLC, et al., 11 Defendants. Re: Dkt. No. 33

12 13 I. INTRODUCTION 14 Plaintiff Meta Platforms, Inc. (“Meta”) brings this action against Defendants Judang Team 15 LLC, Perfeos LLC, Jot & Journeys, and Antonio Jose Liévano (collectively, “Defendants”), 16 alleging that Defendants operated a deceptive and misleading advertising scheme on Meta’s social 17 media platforms and improperly obtained advertising credit lines from Meta. ECF No. 1. Pending 18 before the Court is Defendants’ Motion to Dismiss pursuant to Rule 12(b)(6). ECF No. 33 19 (“Mot.”). The Court finds this matter suitable for disposition without oral argument pursuant to 20 Civil Local Rule 7-1(b) and VACATES the February 12, 2026, hearing. For the reasons stated 21 below, the Court DENIES the motion.1 22 II. BACKGROUND 23 A. Factual Background 24 Meta, a Delaware corporation with its principal place of business in California, owns and 25 operates multiple social media platforms—including Facebook, Instagram, and WhatsApp—and 26 various business and advertising services. Compl. ¶¶ 4, 15–18 (ECF No. 1). Facebook is “an 27 1 online service that is available on computers and mobile devices” used to “discover and connect to 2 interests.” Id. ¶ 15. Instagram is “a free photo and video sharing service and mobile application.” 3 Id. ¶ 16. And WhatsApp is “an encrypted communication service available on mobile devices and 4 desktop computers.” Id. ¶ 17. 5 Defendant Judang Team LLC (“Judang”), a Florida limited liability company, “promotes 6 itself as a social media manager” on its website, judangteam.com. Id. ¶ 5. Defendant Perfeos 7 LLC (“Perfeos”), a Florida limited liability company, “purports to sell various merchandise” on its 8 website, shopatmars.com. Id. ¶ 6. Defendant Jot & Journeys (“J&J”), an unincorporated Florida 9 business, “purports to sell various consumer goods including stationary products and energy 10 drinks” on its website, jotandjourney.com. Id. ¶ 7. Defendant Antonio Jose Liévano (“Liévano”), 11 a resident of Florida, is the founder and sole member of Judang and Perfeos and operates J&J. Id. 12 ¶ 8. Meta alleges Liévano acted individually and through his entities. Id. ¶ 1. 13 Overall, Meta alleges that Defendants (1) “used fraudulent financial documents to 14 improperly obtain more than $8 million in advertising credit lines from Meta for which they never 15 paid,” and (2) “used the fraudulently obtained advertising credit lines to purchase ads on Facebook 16 and Instagram” to facilitate Defendants’ “bait-and-switch” and “subscription fraud” schemes. Id. 17 ¶ 2. 18 1. Meta’s Services And Related Policies2 19 Meta offers various personal and business services through its social media platforms. 20 Individuals and businesses can create user accounts on Facebook and Instagram. Id. ¶¶ 19, 27, 32. 21 Any individual or business with a Facebook or Instagram account can create and place 22 advertisements on Facebook and Instagram. Id. ¶ 19. And any Facebook user can create or 23 manage a Facebook Page which is a public page designed for businesses, organizations, and 24 public figures. Id. ¶ 24. 25 2 As discussed below, Meta’s Complaint implicates six policies: Meta’s Terms of Service 26 (“Meta’s Terms”); Instagram’s Terms of Use (“Instagram’s Terms”); Meta’s Advertising Standards (“Meta’s Ad Standards”); Meta’s Commercial Terms (“Meta’s Commercial Terms”); 27 Meta’s Self-Service Advertising Terms (“Meta’s Self-Serve Ad Terms”); and Meta’s Facebook 1 a. User Accounts 2 Anyone who creates a Facebook account must agree to Meta’s Terms. Id. ¶¶ 3, 27. Meta’s 3 Terms prohibit users from (1) violating Meta’s Community Standards, Meta’s Ad Standards, or 4 Meta’s Commercial Terms; (2) doing or sharing anything “that is unlawful, misleading, 5 discriminatory or fraudulent (or assists someone else in using [Meta’s] Products in such a way”; 6 and (3) doing anything to “impair the proper working, integrity, operation, or appearance of 7 [Meta’s] services, systems, or Products.” Id. ¶¶ 3, 28–30. Under these Terms, users cannot use 8 Facebook if Meta has previously disabled the user’s account for violating any of Meta’s policies. 9 Id. ¶ 31. 10 Anyone who creates or uses an Instagram account must agree to Instagram’s Terms. Id. ¶¶ 11 3, 32. Instagram’s Terms prohibit users from doing (1) “anything unlawful, misleading, or 12 fraudulent or for an illegal or unauthorized purpose”; and (2) “anything to interfere with or impair 13 the intended operation of [Instagram].” Id. ¶¶ 33–34. Under these Terms, users cannot use 14 Instagram if Meta has previously disabled the user’s account for violating any of Meta’s policies. 15 Id. ¶ 35. 16 b. Commercial Services 17 Anyone who creates and publishes an ad on Facebook must agree to Meta’s Terms, Meta’s 18 Self-Serve Ad Terms, Meta’s Commercial Terms, and Meta’s Ad Standards. Id. ¶¶ 3, 20. These 19 Terms apply equally to activities Meta users perform on behalf of third parties. Id. ¶¶ 36, 39, 43. 20 Anyone who advertises on Instagram must additionally agree to Instagram’s Terms. Id. ¶¶ 3, 20. 21 Both groups are also subject to Meta’s Community Standards and Instagram’s Community 22 Guidelines. Id. ¶ 20. 23 Meta’s Commercial Terms require a user to ensure that any third party the user acts on 24 behalf of abides by applicable terms of use and require that “access or use of the Meta products for 25 business or commercial purposes complies with all applicable laws, rules, and regulations.” Id. ¶¶ 26 36–38. 27 Meta’s Ad Standards apply to ads on Facebook and Instagram and “prohibit ads promoting 1 meant to scam people out of money or personal information.” Id. ¶¶ 39–40. 2 Meta’s Self-Serve Ad Terms apply to use of ad interfaces and any order placed through the 3 ad interfaces (an “Order”). Id. ¶ 41. These Terms require that “ads must comply with all 4 applicable laws, regulations, and guidelines” and require payment of all amounts specified in each 5 Order placed. Id. ¶¶ 42–43. These Terms state that if an

6 account is past due, we may take additional steps to collect past due amounts. You will pay all expenses associated with such collection, 7 including reasonable attorneys’ fees. Past due amounts will accrue interest at 1% per month or the lawful maximum, whichever is less. 8

9 Id. ¶ 44. In addition, advertisers must agree to Meta’s Online Invoicing Terms for any Order

10 placed through Facebook’s online advertising portal for which Facebook agrees to invoice the

11 advertiser; under these Terms, advertisers must “make all payments within thirty (30) days of the

12 date of the applicable invoice.” Id. ¶ 45. 13 Meta reviews products sold through Facebook and Instagram ads by soliciting feedback 14 from customers who purchased products and employing shoppers to purchase and evaluate 15 products. Id. ¶ 22. If an advertiser violates any of Meta’s policies, Meta can ban their account 16 from running ads and disable all Facebook and Instagram accounts belonging to that advertiser. 17 Id. ¶ 23. 18 Certain businesses with accounts on Facebook or Instagram are eligible to apply for ad 19 credit lines. Id. ¶ 21. Once approved,

20 advertisers are provided a credit line for limited ad costs, which represents the maximum amount a business could spend on ads on a 21 monthly basis before payment is required. Monthly invoices are provided for any ads purchased using these credit lines and are 22 payable within 30 days of issuing. Businesses may seek modifications to their credit lines, for instance, to increase limits. 23

24 Id. 25 c. Facebook Pages 26 Facebook users with the role of administrator or moderator can manage a Facebook Page 27 and create and run ads on behalf of the Page.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Ellen Schaaf v. SmithKline Beecham Corporation
602 F. Supp. 3d 1236 (Eleventh Circuit, 2010)
Foman v. Davis
371 U.S. 178 (Supreme Court, 1962)
Erickson v. Pardus
551 U.S. 89 (Supreme Court, 2007)
Bell Atlantic Corp. v. Twombly
550 U.S. 544 (Supreme Court, 2007)
Watters v. Wachovia Bank, N. A.
550 U.S. 1 (Supreme Court, 2007)
Ashcroft v. Iqbal
556 U.S. 662 (Supreme Court, 2009)
Cook v. Brewer
637 F.3d 1002 (Ninth Circuit, 2011)
Mchenry v. Renne
84 F.3d 1172 (Ninth Circuit, 1996)
Vess v. Ciba-Geigy Corp. USA
317 F.3d 1097 (Ninth Circuit, 2003)
Oasis West Realty v. Goldman
250 P.3d 1115 (California Supreme Court, 2011)
Manzarek v. St. Paul Fire & Marine Insurance
519 F.3d 1025 (Ninth Circuit, 2008)
Kearns v. Ford Motor Co.
567 F.3d 1120 (Ninth Circuit, 2009)
Connor v. Great Western Savings & Loan Ass'n
447 P.2d 609 (California Supreme Court, 1968)
Frances T. v. Village Green Owners Assn.
723 P.2d 573 (California Supreme Court, 1986)
Troyk v. Farmers Group, Inc.
171 Cal. App. 4th 1305 (California Court of Appeal, 2009)
Harris v. Atlantic Richfield Co.
14 Cal. App. 4th 70 (California Court of Appeal, 1993)
WINDHAM AT CARMEL MTN. RANCH ASSOCIATION v. Superior Court
135 Cal. Rptr. 2d 834 (California Court of Appeal, 2003)
Locke v. Warner Bros., Inc.
57 Cal. App. 4th 354 (California Court of Appeal, 1997)
Competitive Technologies, Inc. v. Fujitsu Ltd.
333 F. Supp. 2d 858 (N.D. California, 2004)

Cite This Page — Counsel Stack

Bluebook (online)
Meta Platforms, Inc. v. Judang Team LLC, et al., Counsel Stack Legal Research, https://law.counselstack.com/opinion/meta-platforms-inc-v-judang-team-llc-et-al-cand-2026.