Peterson v. Agri Stats, Inc. DO NOT DOCKET. ALL DOCUMENTS SHOULD BE FILED IN 20-cv-1319 JRT/HB .

CourtDistrict Court, D. Minnesota
DecidedSeptember 28, 2020
Docket0:19-cv-01129
StatusUnknown

This text of Peterson v. Agri Stats, Inc. DO NOT DOCKET. ALL DOCUMENTS SHOULD BE FILED IN 20-cv-1319 JRT/HB . (Peterson v. Agri Stats, Inc. DO NOT DOCKET. ALL DOCUMENTS SHOULD BE FILED IN 20-cv-1319 JRT/HB .) is published on Counsel Stack Legal Research, covering District Court, D. Minnesota primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

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Peterson v. Agri Stats, Inc. DO NOT DOCKET. ALL DOCUMENTS SHOULD BE FILED IN 20-cv-1319 JRT/HB ., (mnd 2020).

Opinion

NITED STATES DISTRICT COURT DISTRICT OF MINNESOTA

IN RE CATTLE ANTITRUST LITIGATION Civil No. 19-1222

This Document Relates To: All Actions. KENNETH PETERSON, RICHARD KIMBLE, WILLIAM GEE, BRENDA KING, ANDREW Civil No. 19-1129 (JRT/HB) COHEN, CHONG LOR, KAREN CARTER,

MARCELO LOPEZ, APRIL

O’CONNOR,CINDY ABERNATHY, TANYA

LEWS, BRENT, RASMUSSEN, CHARLIE

MORGAN, SHARON DAWSON-GREEN, KENT WINCHESTER, SHARON KILLMON, LISA MELEGARI, NICOLE GUTIERREZ, and MICHELLE OVERSEN, Plaintiffs,

v.

JBS USA FOOD COMPANY HOLDINGS, CARGILL, INC., NATIONAL BEEF PACKING COMPANY, and TYSON FOODS, INC.,

Defendants.

MEMORANDUM OPINION AND ORDER GRANTING DEFENDANTS’ MOTIONS TO DISMISS

Thomas J. Undlin, ROBINS KAPLAN LLP, 800 LaSalle Avenue, Suite 2800, Minneapolis, Minnesota 55402; Amanda F. Lawrence, SCOTT & SCOTT, ATTORNEYS AT LAW, LLP, 156 South Main Street, P.O. Box 192, Colchester, Connecticut 06415; Anthony F. Fata, CAFFERTY CLOBES MERIWETHER & SPRENGEL LLP, 150 South Wacker Drive, Suite 3000, Chicago, Illinois 60606 for Direct Purchaser Plaintiffs. Brian D. Clark and W. Joseph Bruckner, LOCKRIDGE GRINDAL NAUEN PLLP, 100 Washington Avenue South, Suite 2200, Minneapolis, Minnesota 55401; Steve W. Berman, HAGENS BERMAN SOBOL SHAPIRO LLP, 1301 2nd Avenue, Suite 2000, Seattle, Washington 98101; Shana Scarlett, HAGENS BERMAN SOBOL SHAPIRO LLP, 715 Hearst Avenue, Suite 202, Berkeley, California 94710, for Indirect Purchaser Plaintiffs. Kathryn N. Hibbard, GREENE ESPEL PLLP, 222 South Ninth Street, Suite 2200, Minneapolis, Minnesota 55402; Nicole A. Saharsky, MAYER BROWN LLP, 1999 K Street N.W., Washington, District of Columbia 20006, for Defendants Cargill, Inc., and Cargill Meat Solutions Corp. Benjamin L. Ellison, JONES DAY, 90 South Seventh Street, Suite 4950, Minneapolis, Minnesota 55402 for Defendant National Beef Packing Co., LLC. Jon B. Jacobs, PERKINS COIE, 700 13th Street N.W., Suite 600, Washington, District of Columbia, 20005 for Defendants Tyson Foods, Inc., and Tyson Fresh Meats, Inc. Sami H. Rashid, QUINN EMANUEL URQUHART & SULLIVAN LLP, 51 Madison Avenue, New York, New York 10010; Patrick E. Brookhouser, Jr., MCGRATH NORTH, 1601 Dodge Street, Suite 3700, Omaha, Nebraska 68102 for Defendants JBS S.A., JBS USA Food Company, Swift Beef Co., and JBS Packerland, Inc.

Plaintiffs allege that Defendants, the nation’s largest meat-packers, conspired to fix and suppress the price of fed cattle in violation of federal and state antitrust laws. Defendants now move to dismiss the claims against them. Because Plaintiffs have not pleaded their direct evidence with sufficient detail and because they have not pleaded parallel conduct sufficient to support an inference of a price-fixing conspiracy, the Court will grant Defendants’ Motions to Dismiss. The Court will also grant Plaintiffs leave to amend their Complaints.

BACKGROUND This case represents the consolidation of several separately filed putative class

actions.1 There are two sets of Plaintiffs. First, there are institutional/organizational plaintiffs (1) Ranchers Cattlemen Action Legal Fund United Stockgrowers of America (“R- CALF USA”), a Montana nonprofit public benefit corporation; and (2) Farmers Educational

and Cooperative Union of America (“Farmers Union” or “NFU”), a “national federation of state Farmers Union organizations existing under the laws of the State of Texas[.]” (Civil No. 19-1222, Second Cons. Am. Compl. (“SCAC”) ¶¶ 26–27, Oct. 4, 2019, Docket No. 125.) R-CALF USA and NFU seek “declaratory and injunctive relief in a representative capacity”

and “damages in their personal capacity,” because the alleged anticompetitive behavior “frustrated their respective missions . . . and diverted their resources to help their members mitigate damages and prevent further breaches of the law[.]” (Id. ¶ 28.)

1 The consolidated cases are all direct purchaser plaintiffs. In addition, the Court is hearing jointly the Motions to Dismiss in the as-of-yet unconsolidated case, Civil No. 19- 1129 Peterson et al. v. JBS USA Food Co. et al., in which the plaintiffs are indirect purchasers bringing an equitable claim under federal law and related state-law damage claims. Second, there are individual and business plaintiffs who “each sold fed cattle directly to one or more of the” four meat-packing Defendants.2 (Id. ¶ 36.)

Together, the four meat-packing Defendants purchase 83 percent of the slaughter- weight fed cattle in the United States. (Id. ¶¶ 5, 84, App’x 3.) After purchasing the cattle, Defendants process them into beef for sale to other processors, wholesalers, and retail outlets. (Id. ¶ 4.) Plaintiffs allege that from at least January 1, 2015 and continuing to the

present day, Defendants conspired to fix and suppress the price of fed cattle in the United States. (Id. ¶ 1.) This alleged conspiracy was facilitated in part by a significant shift in how

Defendants purchase fed cattle. In 2005, “almost all” fed-cattle purchases were cash sales, meaning that meat packers sent agents “to feedlots and auctions” and those agents paid a “price set each day at the dollar mark where supply and demand met.” (Id. ¶ 79.) Over the following decade the proportion of all fed-cattle purchases made by cash sale

dropped to approximately 21%. (Id. ¶ 80.) In 2015, more than 60% of all fed-cattle purchases were made via so-called formula contracts. (Id., fig. 7) Under formula contracts, fed-cattle producers agree to supply cattle to a packer once it reaches slaughter weight. (Id.) The contract price for the cattle is set by a formula

that is driven by average cash-sale prices prevailing at, or just before, delivery, as reported

2 Cargill, Inc., and Cargill Meat Solutions Corp., (together “Cargill”); JBS S.A., JBS USA Food Company, Swift Beef Company, JBS Packerland, Inc. (together, “JBS” ); National Beef Packing Co., LLC; and Tyson Foods, Inc., and Tyson Fresh Meats, Inc. (together, “Tyson”). by the USDA Agricultural Marketing Service’s (“AMS”) Livestock Mandatory Reporting (“LMR”).3 (Id. ¶ 81.) So, even though actual cash sales make up less than a quarter of

Defendants fed-cattle purchases, the average cash-sale price affects approximately 85% of those purchases. (Id.) Defendants’ profits are driven by the difference between the price paid for fed cattle and the price of beef—what is known as the “meat margin.” (Id. ¶ 83.) In

November 2014, fed-cattle prices peaked at $170 per hundredweight (“CWT”).4 (Id. ¶ 86.) Although Defendants “initially benefited from the rise” in fed-cattle prices “because wholesale beef prices rose in parallel,” the meat margin eventually “fell to a low

of approximately $50 in the months leading up to 2015” which sent Defendants’ “margins into the red.” (Id. ¶ 87.) Plaintiffs allege that Defendants engaged in a conspiracy to artificially drive down the price of fed cattle in order to maximize the meat margin. This goal was accomplished,

according to Plaintiffs, by an agreement to: (1) periodically restrain or reduce slaughter numbers so as to reduce demand for fed cattle; (2) curtail their purchases of cash cattle during these periods; (3) coordinate their procurement practices with respect to the cash cattle they did

3 The purchases made by the four Defendants “provide over 90% of reported transactions” in the AMS LMR. (SCAC ¶ 161.) 4 “A hundredweight (cwt) is a unit of measurement used in certain commodities trading contracts. . . . In the United States, a hundredweight is a unit of mass equal to 100 pounds.” James Chen, Hundredweight (Cwt), Investopedia, https://www.investopedia .com/terms/h/hundredweight.asp in fact purchase; (4) import foreign cattle to depress demand for cheaper domestic cattle; and (5) close or idle slaughter plants and refrain from expanding their remaining slaughtering capacity. (Id.

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