Tricia Vineyard, individually and on behalf of all others similarly situated v. La Terra Fina USA, LLC

CourtDistrict Court, S.D. Illinois
DecidedFebruary 27, 2026
Docket3:24-cv-00704
StatusUnknown

This text of Tricia Vineyard, individually and on behalf of all others similarly situated v. La Terra Fina USA, LLC (Tricia Vineyard, individually and on behalf of all others similarly situated v. La Terra Fina USA, LLC) is published on Counsel Stack Legal Research, covering District Court, S.D. Illinois primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

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Tricia Vineyard, individually and on behalf of all others similarly situated v. La Terra Fina USA, LLC, (S.D. Ill. 2026).

Opinion

IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF ILLINOIS

TRICIA VINEYARD, individually and on behalf of all others similarly situated,

Plaintiff,

v. Case No. 3:24-CV-00704-NJR

LA TERRA FINA USA, LLC,

Defendant.

MEMORANDUM AND ORDER

ROSENSTENGEL, District Judge: Welcome to Round Two of Defendant La Terra Fina USA, LLC’s (“La Terra”) effort to dismiss this putative class action. This case presents a familiar fact pattern: a consumer alleging a food product label tricked her into buying or paying an inflated price for the product, even though the product did not conform to the label’s specifications. Here, Plaintiff Tricia Vineyard (“Vineyard”) on behalf of herself and others similarly situated alleges that La Terra coaxed her into buying an Everything But The Bagel (“EBB”) Dip & Spread when the lid marketed “NO ARTIFICIAL FLAVORS, COLORS OR PRESERVATIVES” (hereinafter “no artificial preservatives”). A closer look at the ingredient list, however, revealed citric acid—an alleged artificial preservative, commonly used in commercial food production. The Court dismissed Vineyard’s initial complaint on March 31, 2025, but granted her leave to amend. (Doc. 37) (the “First Dismissal Order”). Vineyard filed an amended complaint (Doc. 42), and La Terra responded by filing another motion to dismiss. (Doc. 43). This motion is now fully briefed. BACKGROUND

Vineyard purchased the EBB dip at Schnucks in Swansea, Illinois, for $3.99. (Am. Compl. ¶ 9 (Doc. 42)). She was drawn to the product by its claim that it contained “no artificial preservatives.” (Id.). This claim, according to Vineyard, is false, deceptive, and misleading because the EBB dip contains citric acid, a “mass-produced” food “preservative.” (Id. ¶ 3). And the EBB dip is not alone. Vineyard alleges that the following

La Terra dips also falsely claim to have “no artificial preservatives” even though they contain citric acid: Artichoke & Jalapeno Dip & Spread, Cheesy Artichoke Dip & Spread, Chili Con Queso Dip, Greek Yogurt Spinach & Parmesan Dip & Spread, Greek Yogurt Spinach Artichoke & Parmesan Dip & Spread, Green Chile & Cheese Dip & Spread, Mexicali Dip & Spread, Spinach Artichoke & Parmesan Dip & Spread, and Sriracha Three

Cheese Dip & Spread (collectively “the Dips”). (Id. ¶ 1). The EBB dip’s packaging looks like this:1

1 Vineyard’s amended complaint did not include images of the packaging, but La Terra provided these images as an exhibit to its first motion to dismiss. (Doc. 19, pp. 5-7). Throughout the amended complaint, Vineyard references the packaging, and it is central to her claims for deceptive consumer practices and breach of warranty. As such, the Court may consider these images at the motion to dismiss stage. See Levenstein v. Salafsky, 164 F.3d 345, 347 (7th Cir. 1998) (describing narrow exception permitting courts to consider documents attached to a motion to dismiss if they are referred to in the complaint and are central to plaintiff’s claim). DIP& SPREAD ~—_ a er = a)

Vineyard claims that citric acid in La Terra’s products is derived from a “commercial, microbial/chemical manufacturing process,” which produces a “white powder” that “does not occur in nature.” (Id.). This “industrial process” ferments a fungus called Aspergillus niger and “chemically convert[s]” it into “citrate salt.” (Id.). The citrate salt is then reduced to its final white powder form through “reagents like sulfuric acid.” (Id.). Vineyard claims that 99% of the global production of citric acid occurs through this or similar fermentation processes. (Id. {| 4). Seventy percent of the world’s citric acid that is produced this way, moreover, “is used in [the] food and beverage industry as an additive.” (Id.). It is cheaper for food companies to manufacture citric acid than to extract it from citrus fruits directly. ([d.). That is why, according to Vineyard, “the vast majority of citric acid used in food and beverages is manufactured.” (Id.). And, based on these purported industry statistics and practices, Vineyard claims it is “highly probable” that La Terra

uses manufactured citric acid in its Dips, like “virtually all” other food companies.

Page 3 of 16

(Id. ¶ 5). With this, Vineyard concludes that La Terra’s “no artificial preservatives” claim is false and misleading. (Id. ¶ 6).

Vineyard alleges that she paid a premium price for the EBB dip based on its alleged misrepresentation that it contained “no artificial preservatives.” (Id. ¶ 8). If she had known that it did contain artificial preservatives, she would have either paid less for it or not purchased it at all. (Id.). La Terra’s claim that the Dips contain “no artificial preservatives,” moreover, leverages consumers’ desire to eat healthy and to “avoid highly processed foods and chemical additives.” (Id. ¶¶ 16, 51-54).

Citric acid is “artificial,” according to Vineyard, because it is derived from “an industrial-scale manufacturing process.” (Id. ¶ 33). She avers, on information and belief, that the citric acid that La Terra uses in the Dips was produced in a manner consistent with such a process. (Id. ¶ 35). This is so, she claims, because “[e]conomic, practical and technical” considerations demand the scale and efficiency that industrial

production offers. (Id. ¶ 36). Moreover, the high demand for citric acid in various food products allegedly far outstrips the available supply of citrus fruits, thus necessitating a separate production process. (Id. ¶¶ 37-38). And this production process, in addition to satisfying the global demand for citric acid, is also “significantly more cost effective” for companies like La Terra compared to direct extraction from citrus fruits. (Id. ¶ 39).

Fermentation-based citric acid production also offers the benefit of year-round availability, whereas citrus fruit production requires a specific climate and environmental conditions that may vary based on location and time of year. (Id. ¶ 41). Thus, Vineyard draws the following conclusion: “strictly as a statistical matter, it is far more likely than not that La Terra uses manufactured citric acid in [the] Dips.” (Id. ¶ 43). She also believes that, while she paid a “premium” price for the EBB dip, La Terra must have used artificial

citric acid to produce it because she did not pay an “ultra-premium” price—which would have been necessary if La Terra had used “natural” citric acid. (Id. ¶ 44). Vineyard’s amended complaint asserts claims for deceptive and unfair practices in violation of the Illinois Consumer Fraud and Deceptive Business Practices Act (“ICFA”) (Counts I and II), breach of express warranty (Count III), and unjust enrichment (Count IV). (Doc. 42 ¶¶ 68-103). She seeks to represent the following nationwide class of

consumers: All persons who purchased “la terra fina” brand Dips during the five-year period prior to the original filing of this lawsuit on January 25, 2024, through the date of preliminary approval (the “Class Period”). The Dips are: Artichoke & Jalapeño Dip & Spread, Cheesy Artichoke Dip & Spread, Chili Con Queso Dip, Everything But The Bagel Dip & Spread, Greek Yogurt Spinach & Parmesan Dip & Spread, Greek Yogurt Spinach Artichoke & Parmesan Dip & Spread, Green Chile & Cheese Dip & Spread, Mexicali Dip & Spread, Spinach Artichoke & Parmesan Dip & Spread and/or Sriracha Three Cheese Dip & Spread. (Id. ¶ 59).

While she appears to assert claims under the ICFA on behalf of herself and other Illinois- based consumers, Vineyard also seeks to represent the nationwide class by bringing claims under “all other state consumer protection statutes” on the putative class members’ behalf. (Id. ¶¶ 68-89).

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