Sonate Corporation d/b/a Vegadelphia Foods v. Beyond Meat, Inc.

CourtDistrict Court, D. Massachusetts
DecidedOctober 29, 2025
Docket1:23-cv-10690
StatusUnknown

This text of Sonate Corporation d/b/a Vegadelphia Foods v. Beyond Meat, Inc. (Sonate Corporation d/b/a Vegadelphia Foods v. Beyond Meat, Inc.) is published on Counsel Stack Legal Research, covering District Court, D. Massachusetts primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Sonate Corporation d/b/a Vegadelphia Foods v. Beyond Meat, Inc., (D. Mass. 2025).

Opinion

UNITED STATES DISTRICT COURT DISTRICT OF MASSACHUSETTS

SONATE CORPORATION d/b/a * VEGADELPHIA FOODS, * Plaintiff, * * v. * Civil Action No. 1:23-cv-10690-IT * BEYOND MEAT, INC., a Delaware * corporation, * Defendant. *

MEMORANDUM & ORDER October 29, 2025 TALWANI, D.J. Pending before the court are Cross-Motions for Summary Judgment [Doc. Nos. 185, 202] and Motions to Strike [Doc. Nos. 190, 193, 196, 199] filed by Plaintiff Sonate Corporation d/b/a Vegadelphia Foods (“Vegadelphia”) and Defendant Beyond Meat, Inc. (“Beyond”). For the reasons explained below, the summary judgment motions are DENIED as to liability, except that Vegadelphia’s motion is GRANTED as unopposed as to the eligibility of its mark for trademark protection. Beyond’s Motion to Strike [Doc. No. 199] the expert report and testimony of Sidney Blum proffered by Vegadelphia in support of some of its claimed damages is GRANTED and Beyond’s Motion for Summary Judgment [Doc. No. 202] as to damages is GRANTED in part and DENIED in part. Vegadelphia’s Motion for Summary Judgment [Doc. No. 185] as to damages and three Motions to Strike [Doc. Nos. 190, 193, 196] remain under advisement. I. Factual Background Based on the Summary Judgment Record A. Vegadelphia’s Business and Trademark, WHERE GREAT TASTE IS PLANT- BASED In March 2014, Vegadelphia filed a trademark application for “WHERE GREAT TASTE IS PLANT-BASED” and, in March 2015, successfully registered the mark. Pl.’s Response to Def.’s Statement of Material Facts (“SOF”) ¶ 39 [Doc. No. 237]; Trademark Registration History [Doc. No. 205-7]. Vegadelphia used the mark to promote its packaged food products, which include shredded beef, shredded chicken, and crab cake substitutes. SOF ¶ 34 [Doc. No. 237]; Seth Shipon Dep. 46:18–19 [Doc. No. 235-3]. About half of Vegadelphia’s business is

conducted through distributors. Seth Shipon Dep. 46:12–24 [Doc. No. 235-3]. Vegadelphia also sells to restaurants. Id. at 73:7. Vegadelphia’s distribution channels include customers across multiple states, including at least Idaho, Virginia, Georgia, Pennsylvania, New Jersey, and New York. See, e.g., Chart of Buying Groups and Distributors [Doc. No. 235-95]; List of Locations Carrying Vegadelphia Product [Doc. No. 235-101]. Vegadelphia does not sell directly to individual consumers and is unaware of its distributors’ customers. Seth Shipon Dep. 79:5–19 [Doc. No. 235-3]. Vegadelphia’s trademark has appeared on its wholesale boxes for products sold to restaurants and restaurant distributors. SOF ¶ 35 [Doc. No. 237]. The mark has also appeared on Vegadelphia’s website, “on a pop-up, promo banners, T-shirts, flyers, [and] sales sheets.” Seth

Shipon Dep. 118:16–25 [Doc. No. 235-3]. It was also visible to individual customers at certain retailers around the register. Id. at 300:2–9. End consumers have reached out to Vegadelphia directly through its website. See, e.g., Email from June 2017 [Doc. No. 235-90], Emails from August 2016 [Doc. Nos. 235-91, 235-92]. Vegadelphia also conducted “dock demos” to introduce its products and pass out sales sheets and brochures to distributors. Seth Shipon Dep. 141:16–24 [Doc. No. 244-1]. Images of Vegadelphia’s trademark depict the mark either with the six words stacked in a six-line column or divided into a two-phrase column, with the word “is” in smaller font in both designs. Ex. A to May 28, 2020 Demand Letter [Doc. No. 205-8]. In the 2014–2015 timeframe, the U.S. Food and Drug Administration stopped imports of the “key main ingredient” for Vegadelphia; this had a “disastrous” impact on Vegadelphia’s business. Seth Shipon Dep. 137:17–138:7, 216:11–218:23 [Doc. No. 244-1]. This supply-chain issue caused Vegadelphia to “pull[] off the gas in terms of sales[.]” Id. at 138:13–20.

Vegadelphia stopped posting on its Facebook page around 2014. Id. at 150:2–15. It ceased performing demos by 2015. Id. at 141:16–142:10, 145:2–6, 149:6–150:1, 220:8–11. It last gave a presentation to chain accounts, distributors, or brokers, in approximately 2015. Id. at 166:4– 168:1. It did not use any pop-up displays after 2015. Id. at 221:15–17. It has not seen its brochure at any retail outlets since 2015. Id. at 310:8–21. Since 2015, fewer than fifty end consumers have reached out directly to Vegadelphia. Id. at 313:9–19. Vegadelphia’s business started coming back in 2018 and the company “regained confidence” in 2019. Id. at 138:13–20. Nonetheless, Vegadelphia spent “no real dollars” on marketing from 2018 to present, “but just maintain[ed] the accounts and relationships [it] did have.” Id. at 221:18–23.

B. Beyond’s Initial Use of PLANT-BASED GREAT TASTE and GREAT TASTE PLANT-BASED Beyond sells meat substitutes such as “burgers, dinner sausages, chicken, ground beef, breakfast sausages, steak, meatballs, jerky, meat crumbles, pepperoni, ground pork, dry blend, sauce, dumplings, and shredded beef.” SOF ¶ 12 [Doc. No. 237]. Beyond’s meat substitutes fall under the same International Class 29 trademark category as the meat substitutes sold by Vegadelphia. Def.’s Response to Pl.’s Add’l Statement of Material Facts (“ASOF”) ¶ 77 [Doc. No. 245]. According to its 2020 Annual Report, Beyond’s products are available “at approximately 122,000 retail and foodservice outlets in more than 80 countries worldwide[.]” Beyond 2020 Annual Report 1 [Doc. No. 203-1]. In March 2019, Beyond began using the tagline1 “PLANT-BASED GREAT TASTE.” SOF ¶ 9 [Doc. No. 237]; Jamie Grass Dep. 27:13–24 [Doc. No. 203-5]. Later in 2019, Beyond collaborated with Dunkin’ to offer Dunkin’s existing breakfast sandwich with the meat replaced by a Beyond meat substitute. SOF ¶¶ 14–15 [Doc. No. 237].

Beyond did not communicate its prior use of “PLANT-BASED GREAT TASTE” to Dunkin’. Beth Turenne Dep. 136:14–137:12 [Doc. No. 235-4]. On June 27, 2019, in an email with the subject line “Messaging Ideas,” Beyond suggested to Dunkin’ several taglines for marketing the sandwich. Email from Jamie Grass to Beth Turenne [Doc. No. 203-12]. The tagline “PLANT-BASED GREAT TASTE” was not on the list. See id. Beyond and Dunkin’ settled on “GREAT TASTE PLANT-BASED.” SOF ¶ 18 [Doc. No. 237]. C. Beyond Discovers Vegadelphia’s Trademark By July 11, 2019, Beyond’s senior brand manager and an in-house contract attorney for Beyond had discovered Vegadelphia’s trademark registration with the U.S. Patent and Trademark Office (“USPTO”). Beyond’s Second Am. Responses to Interrogatories 5–6 [Doc No. 235-107]; see ASOF ¶ 21 [Doc. No. 245]. Nonetheless, through May 28, 2020, Beyond did

not visit Vegadelphia’s website, attempt to contact Vegadelphia, or make any test purchases from Vegadelphia. Def.’s Response to Pl.’s Requests for Admission Nos. 3, 6, 7 [Doc. No. 235- 108]; Jamie Grass Dep. 154:15–155:24 [Doc. No. 235-1].

1 The parties use the terms “phrase,” “tagline,” and “slogan” interchangeably. To avoid confusion, the court refers to Beyond’s allegedly infringing taglines or slogans as “taglines” and the term “phrase” or “phrases” to refer to the taglines’ components—“Great Taste” and “Plant- Based.” D. The Beyond/Dunkin’ Collaboration Launches Nationally A press release, dated July 24, 2019, announced the launch of the Beyond/Dunkin’ collaboration in New York City with this headline: “Great Taste, Plant-Based: Dunkin’ Partners with Beyond Meat® to Introduce New Beyond Sausage® Breakfast Sandwich . . . .” July 2019 Press Release [Doc. No. 235-63].

A press release, dated October 21, 2019, announced the nationwide launch of the collaboration in November 2019. October 2019 Press Release [Doc. No. 203-10]. Based on an advertising agency report used by Dunkin’, the national advertising for the collaboration reached 751 million impressions. Beth Turenne Dep. 117:3–118:13 [Doc. No. 235-4]. E. Variations in the Taglines The uses of both allegedly infringing taglines vary in capitalization and punctuation. See, e.g., Pl.’s Demand Letter 21–24 [Doc. No.

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Sonate Corporation d/b/a Vegadelphia Foods v. Beyond Meat, Inc., Counsel Stack Legal Research, https://law.counselstack.com/opinion/sonate-corporation-dba-vegadelphia-foods-v-beyond-meat-inc-mad-2025.