Pom Wonderful LLC v. COCA COLA CO.

727 F. Supp. 2d 849, 2010 U.S. Dist. LEXIS 55400, 2010 WL 2836269
CourtDistrict Court, C.D. California
DecidedMay 5, 2010
DocketCV 08-06237 SJO (FMOx)
StatusPublished
Cited by4 cases

This text of 727 F. Supp. 2d 849 (Pom Wonderful LLC v. COCA COLA CO.) is published on Counsel Stack Legal Research, covering District Court, C.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Pom Wonderful LLC v. COCA COLA CO., 727 F. Supp. 2d 849, 2010 U.S. Dist. LEXIS 55400, 2010 WL 2836269 (C.D. Cal. 2010).

Opinion

ORDER GRANTING IN PART, DENYING IN PART DEFENDANT’S MOTION FOR SUMMARY JUDGMENT PURSUANT TO FED. R. CIV. P. 56; DENYING PLAINTIFF’S MOTION FOR PARTIAL SUMMARY ADJUDICATION RE: DEFENDANT’S AFFIRMATIVE DEFENSES OF SAFE HARBOR AND COMPLIANCE WITH LAWS [Docket Nos. 149,150]

S. JAMES OTERO, District Judge.

This matter is before the Court on Defendant The Coca Cola Company’s (“Coca Cola” or “Defendant”) Motion for Summary Judgment Pursuant to Fed.R.Civ.P. 56, filed December 28, 2009, and Plaintiff Pom Wonderful LLC’s (“Pom” or “Plaintiff’) Motion for Partial Summary Adjudication Re: Defendant’s Affirmative Defenses of Safe Harbor and Compliance with Laws, also filed December 28, 2009. The parties filed Oppositions and Replies to the respective Motions. The Court found this matter suitable for disposition without oral argument and vacated the hearings set for January 25, 2010. See Fed.R.Civ.P. 78(b). For the following reasons, Coca Cola’s Motion is GRANTED IN PART and DENIED IN PART, and Pom’s Motion is DENIED.

I. BACKGROUND

Pom produces, markets, and sells POM WONDERFUL® brand bottled pomegranate juice and various pomegranate juice blends, including a pomegranate blueberry juice blend. (First Am. Compl. (“FAC”) ¶ 11; Pl.’s Statement of Genuine Issues of Fact and Proposed Conclusions of Law in Opp’n to Def.’s Mot. for Summ. J. (“PL’s SOF Opp’n”) ¶ 1.) Coca Cola, under the brand Minute Maid, is one of Pom’s primary competitors in the bottled pomegranate juice market. (FAC ¶ 17; PL’s SOF Opp’n ¶ 2.) In September 2007, Coca Cola announced a new product in its “Minute Maid Enhanced Juices” line, entitled “Minute Maid® Enhanced Pomegranate Blueberry Flavored 100% Juice Blend.” (FAC ¶ 18; PL’s SOF Opp’n ¶ 3.) The formal name of “Minute Maid® Enhanced Pomegranate Blueberry Flavored 100% Juice Blend” is “Pomegranate Blueberry Flavored Blend Of 5 Juices” (“the Juice”). (Def.’s Mot. for Summ. J. Pursuant to Fed.R.Civ.P. 56 (“Def.’s Mot.”) 3; PL’s SOF Opp’n ¶ 3; Decl. of Charles Torrey in Supp. of Def.’s Mot. for Summ. J. (“Torrey Decl.”) ¶ 3.) Specifically, in ranking the ingredients of the Juice by volume, apple ranks first, grape ranks second, pomegranate ranks third, blueberry ranks fourth, and raspberry ranks fifth. (FAC ¶ 22.)

A. The Juice’s Bottle

“The Juice has used the same bottle and label since it was first introduced.” (PL’s SOF Opp’n ¶ 8.) A “prominent banner or ‘flag’ (the “Banner”) on the Juice label *853 states ‘Omega-3/D HA HELP NOURISH YOUR BRAIN 5 Nutrients To Support Brain & Body.’ ” (Pl.’s SOF Opp’n ¶ 9.) Pom acknowledges that the Banner is prominent, but contends that “the text ‘Omega-3/DHA and ‘5 Nutrients To Support Brain & Body’ is not prominently displayed.” (Torrey Decl. Ex. 1, p. 9.) Above the Banner reads “100% Fruit Juice Blend,” and below the Banner appears a fruit vignette (the “Fruit Vignette”) that “depicts each of the five fruit ingredients in the Juice.” (Torrey Deck Ex. 1, p. 9; Pk’s SOF Opp’n ¶¶10, 11.) Specifically, the Fruit Vignette includes images of a half-cut pomegranate, a half-cut apple, and several blueberries, grapes, and raspberries. (Torrey Deck Ex. 1, p. 9.) Below the Fruit Vignette reads “Pomegranate Blueberry,” and below that, “Flavored Blend Of 5 Juices.” (Torrey Deck Ex. 1, p. 9.) “The back of the Juice bottle reads ‘Minute Maid Enhanced Pomegranate Blueberry Is Made With A Blend Of Apple, Grape, Pomegranate, Blueberry, And Raspberry Juices From Concentrate And Other Ingredients.’ ” (Torrey Deck Ex. 1, p. 9.) It is undisputed that “[t]he back of the bottle does not include other references to pomegranates or blueberries.” (Pk’s SOF Opp’n ¶ 16.)

B. The Juice’s Advertisements

Coca Cola advertises the Juice “through television and print advertisements], coupons, in-store promotions, and on the Minute Maid website.” (Pl.’s SOF Opp’n ¶ 17.) Coca Cola maintains that its “brain-nourishment” claims, which form the centerpiece of the Juice’s advertising and marketing campaign, “are based upon the unique combination of added nutrients, including not only Omega-3/DHA, but also choline, vitamin B-12, vitamin E, and vitamin C, all of which have been shown to contribute to brain development.” 1 (Def.’s Mot. 3.) Coca Cola, therefore, contends that its “help nourish your brain” claim is fully substantiated, and that in fact, the National Advertising Division of the Council of Better Business Bureaus (“NAD”) concluded that “[Coca Cola] ha[s] a reasonable basis for its claim that [the Juice] can ‘help nourish your brain.’ ” (Def.’s Mot. 3; Deck of Steven A. Zalesin in Supp. of Def.’s Mot. for Summ. J. (“Zalesin Deck”) Ex. 2.) “Pom does not contest the scientific accuracy of this claim.” (Def.’s Mot. 3.) As such, Coca Cola argues that its advertising and marketing, separate and apart from the naming and labeling of the Juice, focus on the Juice’s added nutrients and “brain nourishment,” not on the Juice’s pomegranate or blueberry content. (Def.’s Mot. 3.) Coca Cola further notes that its “[o]ther ads similarly emphasize that the Juice tastes great.” (Def.’s Mot. 3.)

1. Coupons

Coca Cola contends that its “coupons have included pictures of the Juice bottle, but have focused on savings, rather than the fruit ingredients in the product,” and that “in-store promotional materials describe the Juice as a ‘Pomegranate Blueberry Flavored 100% Juice Blend’ or ‘Po *854 megranate Blueberry Flavored Blend Of 5 Juices,’ and [have] pictured the bottle sometimes next to its fruit ingredients— but have made no other references to pomegranates or blueberries.” (Pl.’s SOF Opp’n ¶¶ 18, 20; Torrey Decl. Exs. 2, 8.) Pom, on the other hand, alleges that Coca Cola’s “coupons prominently feature, in large text, the name ‘POMEGRANATE BLUEBERRY,”’ and that “[t]he promotional materials further display images of pomegranates only — and no other fruit — which are heaped about the bottle.” (Pl.’s SOF Opp’n ¶¶ 18, 20; Pl.’s Statement of Additional Material Facts (“Pl.’s Addt’l SOF”) ¶¶ 39-40; Torrey Decl. Exs. 2, 3.)

2. Print Advertisements

Coca Cola’s print advertising has included campaigns entitled ‘Love it or it’s free!,’ ‘Helps nourish your brain and your sense of taste,’ ‘help nourish your brain,’ ‘OOPS Someone forgot to boost,’ and ‘You 2 .’ (Torrey Decl. Ex. 4; Pl.’s SOF Opp’n ¶¶22-23.) Coca Cola argues that these “print advertisements all featured] pictures of the [Juice] bottle with few other references to pomegranates.” (PL’s SOF Opp’n ¶ 22.) Coca Cola states that “[the Juice’s] print ads [have] focused on the nutritional benefits of the Omega-3D/DHA fortification and the product’s great taste rather than the Juice’s pomegranate juice content.” (PL’s SOF Opp’n ¶ 24.)

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Related

Lee v. Luxottica Retail North America, Inc.
California Court of Appeal, 2021
Stansfield v. Minute Maid Co.
124 F. Supp. 3d 1226 (N.D. Florida, 2015)
POM Wonderful LLC v. Coca-Cola Co.
134 S. Ct. 2228 (Supreme Court, 2014)
Law Offices of Mathew Higbee v. Expungement Assistance Services
214 Cal. App. 4th 544 (California Court of Appeal, 2013)

Cite This Page — Counsel Stack

Bluebook (online)
727 F. Supp. 2d 849, 2010 U.S. Dist. LEXIS 55400, 2010 WL 2836269, Counsel Stack Legal Research, https://law.counselstack.com/opinion/pom-wonderful-llc-v-coca-cola-co-cacd-2010.