Streamtech Engineering LLC v. Horcher

CourtDistrict Court, E.D. Missouri
DecidedMay 27, 2022
Docket4:22-cv-00550
StatusUnknown

This text of Streamtech Engineering LLC v. Horcher (Streamtech Engineering LLC v. Horcher) is published on Counsel Stack Legal Research, covering District Court, E.D. Missouri primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Streamtech Engineering LLC v. Horcher, (E.D. Mo. 2022).

Opinion

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF MISSOURI EASTERN DIVISION

STREAMTECH ENGINEERING, LLC, ) ) Plaintiff, ) ) vs. ) Case No. 4:22-cv-00550-AGF ) STEVEN A. HORCHER, et al., ) ) Defendants. )

MEMORANDUM AND ORDER

This matter is before the Court on the motion of Plaintiff StreamTech Engineering LLC (“StreamTech”) for a temporary restraining order (“TRO”). Plaintiff filed a motion styled as a motion for preliminary injunction on May 23, 2022, in which it requested an order enjoining Defendant Steven Horcher from working for Defendant Precision Warehouse Design, LLC (“PWD”) on or before June 1, 2022. On May 25, 2022, Plaintiff filed an amended motion clarifying that it is seeking a TRO rather than a preliminary injunction. (Doc. No. 18). Defendants Horcher, PWD, Marc DeWall, and Haynie Mayhew received notice of Plaintiff’s motion on May 23, 2022. Following a telephone status conference held with counsel on May 23, 2022, the Court set a hearing on the TRO for May 26, 2022, the date requested by StreamTech. StreamTech, PWD, Horcher, Dewall, and Mayhew appeared at the hearing through counsel. Upon review of the record, the motion for TRO is denied. BACKGROUND StreamTech alleged in its verified amended complaint and presented evidence by way of affidavits and exhibits at the hearing that it develops and sells solutions to complex problems in the material handling industry. (Verified Amended Compl. Doc. No. 17 at ¶

11). It has developed proprietary data, formulas, programs, devices, methods, techniques, and processes (the “Alleged Trade Secrets”). Id. at ¶ 12. Alan Miller, the President of StreamTech, explains that the company focuses on technology that can be integrated with PLC controls. It developed products that automate document printing and inserting for use in e-commerce. One such product is the Foldserter, which has been granted a patent. (Miller

Affidavit, Doc. No. 18-1, at ¶ 5). StreamTech explains that its products require formal research and development, and knowledge of customer requirements and enhancements. This information is not well known in the industry. Id. at ¶ 6. StreamTech protects the Alleged Trade Secrets, in particular its secure software repository, by restricting access to certain employees and requiring a small number of employees with access to sign

confidentiality agreements. Id. at ¶ 20. Horcher was StreamTech’s former Engineering Director until he left the company on May 20, 2022. Id. at ¶ 9. He is scheduled to begin employment with Defendant PWD on June 1, 2022. Horcher was in charge of the technical and execution aspects of StreamTech. Id. at ¶ 10. He managed the development of StreamTech’s Warehouse Control Software

product and created long term plans for the expansion of StreamTech’s software products. Id. at ¶ 11. He did not normally write software, but he was familiar with the software, plans for future products, and the application of StreamTech’s products. Id. at ¶¶ 12-13. Horcher had frequent contact with most or all of StreamTech’s customers. Id. at ¶ 17. Miller explains that because “PWD’s products are incorporated into custom systems built for private customers, it will be impossible to parse out how StreamTech’s proprietary information may have been used in their development.” Id. at ¶ 24.

StreamTech believes Horcher’s move to PWD will result in lower sales to PWD and increased competition from PWD in the materials handling industry. Id. at ¶ 18. StreamTech alleges that PWD is both a customer and a competitor of StreamTech. StreamTech identified one company, KGPCo., that is a customer of both StreamTech and PWD. (Spear Affidavit, Doc. No. 19, at ¶ 9).

DeWall and Mayhew are the General Manager and Principal of PWD, respectively, as well as its owners. For a few of its customers, PWD purchases automated sorting, insertion, and labeling equipment from StreamTech which it integrates into its own products and sells to end-use customers. (Verified Amended Compl. at ¶ 21). StreamTech claims the equipment is developed using its Alleged Trade Secrets. Id. at ¶ 22. Over the past

years, StreamTech alleges that PWD has begun to develop its own controls engineering capabilities. Id. at ¶ 36. As a result of this development, PWD reduced its reliance on StreamTech’s products. Id. at ¶ 37. StreamTech claims hiring Horcher would allow PWD to quickly develop controls engineering capabilities equivalent to its own, misappropriate StreamTech’s Alleged Trade Secrets, and compete with StreamTech. Id. at ¶¶ 41-42.

Horcher signed a Confidentiality and Non-Solicitation Agreement with StreamTech when he began his employment in May of 2012. (The “Confidentiality Agreement,” Doc. No. 4-1). The Confidentiality Agreement contains a number of covenants not to compete. Relevant to this motion, paragraph 5(b) of the Confidentiality Agreement states that for two years after the termination of his employment, Horcher: will not provide, sell or market, or endeavor to provide, sell or market any Competing Products/Services to any of [StreamTech]’s customers with whom [Horcher] had business contact on behalf of [StreamTech] . . . or otherwise solicit or communicate with any such customers for the purpose of selling or providing any Competing Products/Services.

(Confidentiality Agreement at 3). Paragraph 5(c) of the agreement provides that for two years after the termination of his employment with StreamTech, Horcher will not: be employed by, work for, or provide services to, any customer, supplier, or competitor of [StreamTech] in any capacity that is similar (or related in function) to that in which [Horcher] worked for [StreamTech] or in which [Horcher] will be providing services that are similar to the services that [Horcher] rendered for [StreamTech], if the likely effect of [Horcher]’s employment with or work for such customer would be to displace or diminish the customer’s need for [StreamTech] or its products and/or services.

Id. StreamTech asserts a claim of Breach of Contract (Count I) and Misappropriation of Trade Secrets (Count III) against Horcher; a claim of Tortious Interference with Contract (Count II) and Misappropriation of Trade Secrets (Count IV) against PWD; a claim of Civil Conspiracy against Horcher, DeWall, and Mayhew (Count V); and a claim for violation of the Defend Trade Secrets Act (“DTSA”) (Count VI)1 against both Horcher and PWD. Defendants presented, by way of affidavits, the following information. DeWall attests in his affidavit that PWD provides material handling solution and consulting services

1 StreamTech’s DTSA claim is labeled “Count V”, but it is the sixth claim in the Verified Amended Complaint. in the same industry as StreamTech. (DeWall Affidavit, Doc. No. 10, at ¶ 3). However, PWD and StreamTech are not in direct competition with each other, and he does not consider PWD to be a customer of StreamTech. Id. at ¶ 4. Instead, PWD is a limited reseller of StreamTech’s Foldserter product. Id. PWD subcontracts to StreamTech with

approximately four end-use customers because those customers use Foldserter in their systems. Id. at ¶¶ 4-5. PWD generally uses off the shelf or open-source products and prefers not to use proprietary coding. Id. at ¶ 6. Horcher attests in his affidavit that, with the exception of StreamTech’s Foldserter product, the Alleged Trade Secrets are not unique in the industry. (Horcher Affidavit, Doc.

No. 16 at ¶ 4). Horcher further explains that the code he has produced for StreamTech is open source and not hidden or kept confidential. Id. at ¶ 5. Horcher claims that StreamTech does not protect its Alleged Trade Secrets. The project files and information about StreamTech’s products are shared freely among StreamTech’s employees, the documents are not labeled confidential, and StreamTech does not inform its employees that this

information is confidential.

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