VFD Consulting, Inc. v. 21ST SERVICES

425 F. Supp. 2d 1037, 2006 U.S. Dist. LEXIS 10511, 2006 WL 680554
CourtDistrict Court, N.D. California
DecidedMarch 15, 2006
DocketC 04-2161 SBA, C 04-2162 SBA
StatusPublished
Cited by4 cases

This text of 425 F. Supp. 2d 1037 (VFD Consulting, Inc. v. 21ST SERVICES) is published on Counsel Stack Legal Research, covering District Court, N.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
VFD Consulting, Inc. v. 21ST SERVICES, 425 F. Supp. 2d 1037, 2006 U.S. Dist. LEXIS 10511, 2006 WL 680554 (N.D. Cal. 2006).

Opinion

ORDER

ARMSTRONG, District Judge.

This matter comes before the Court on Defendants 21st Services, 21st Holdings, and Paul Kirkman’s (collectively, “Defendants”) Motion for Summary Judgment [Docket No. 96]. Having read and considered the arguments presented by the parties in the papers submitted to the Court, the Court finds this matter appropriate for resolution without a hearing. The Court hereby GRANTS Defendants’ Motion for Summary Judgment [Docket No. 96].

BACKGROUND

A. Factual Background

1. Parties

Plaintiff VFD Consulting, Inc. (‘VFD”) is a California corporation that conducts business in Mendocino County. Compl. at ¶ 2. 1 VFD is in the business of providing risk assessment research and product development to the life insurance and related industries. Id. at ¶ 7. Vera Dolan is the president and sole owner of VFD. Decl. of Vera Dolan (“Dolan Deck”) at ¶ 1.

Defendants 21st Services and 21st Holdings, LLC (collectively “21st Services”) are businesses operating out of Minnesota. Id. ¶¶ 2-3. Paul Kirkman (“Kirkman”) is the president of 21st Services. Id. ¶ 18; Deck of Paul Kirkman (“Kirkman Deck”) at ¶ 1. 21st Services is in the life insurance settlement (or “viatical”) business. 2 *1041 Compl. at ¶ 8. One of the services that 21st Services provides is life expectancy calculations through a product known as “Med-Diag.” Id. ¶ 7; 8. 21st Services’ direct competitors are EMSI, AVS, Fasano & Associates, and Amscot/Midwest. Kirk-man Deck at ¶ 4.

2. Allegations

In 1998, Kirkman joined with Bob Simon (“Simon”) and Steve Walker (“Walker”) to form 21st Services. Kirkman Deck at ¶ 5. Kirkman created the company in order to carry out his plan of developing an objective system to create life expectancy evaluations. Id. The idea arose out of Kirkman’s recognition of the fact that an objective system for life expectancy evaluations would be superior to the already existing method whereby a doctor or nurse would subjectively analyze a patient’s medical records. Id. at ¶¶ 3, 5. The computerized system that 21st Services developed to achieve the company’s plan is known as “MedDiag.” Id. at ¶¶ 2, 3.

In total, 21st Services retained four consultants to help the company develop Med-Diag: Tillinghast Towers Perrin (“Tillin-ghast”), VFD, Minneapolis Consulting Group, and Hank George (“George”). Id. at ¶ 6. Tillinghast, an actuarial firm, was to provide 21st Services with mortality tables. Id. VFD was to provide 21st Services with underwriting expertise and to research publiely-available reference materials for data allowing 21st Services to calculate debits from expected mortalities based upon health conditions and other related matters. Id. The Minneapolis Consulting Group was to create the computer program used to run MedDiag. Id. George, who was hired through VFD, was to provide data relating to the impact of certain pharmaceuticals upon expected mortality. Id.

After 21st Services was formed, at some point in the spring of 1998, Kirkman contacted Dolan by telephone and asked Do-lan whether VFD would be willing to be involved as a consultant in the creation of MedDiag. Kirkman Deck at ¶ 8. Kirkman told Dolan that 21st Service was starting a business that would offer administration services as well as life expectancy services. Dolan Deck at ¶ 3. Dolan recalls that Kirk-man asked VFD to write a manual for evaluating the life expectancy of elders. Id.; Deck of Robert Bodzin (“Bodzin Deck”) at Ex. A (Dolan Depo. at 44:25-45:25, 49:1-13). Dolan understood that VFD was expected to use proprietary mortality tables and actuarial data provided by Tillinghast. Bodzin Deck at Ex. A (Dolan Depo. at 48:10-15, 49:14-20). At the time Kirkman approached Dolan, he had already retained the Minneapolis Consulting Group to do the computer work on the project. Kirkman Deck at ¶ 7. However, with the exception of the mention of Tillin-ghast, during this initial telephone call, Dolan does not recall Kirkman mentioning that any other companies would be involved in the project. Bodzin Deck at Ex. A (Dolan Depo. at 49:25-50:10). Also, Do-lan does not recall Kirkman mentioning that 21st Services would be doing work involving computers or that it intended to create a computerized system. Dolan Deck at ¶ 3. Instead, Dolan recalls that, in a subsequent telephone conversation with Kirkman, Dolan suggested that 21st Services create a computerized system. Id. at ¶ 4. Dolan also recalls that Kirkman liked the idea. Id. at ¶ 4.

On June 5, 1998, Dolan sent Kirkman a facsimile stating:

*1042 Thank you so much for inquiring about my assistance with your extremely interesting project! I look forward to working with you on it.
As discussed, you will look over my credentials and references. I will then fax you my contract, which will include immediate deliverables and deadlines. After that point, I will commit to deliver within two weeks a list of appropriate data resources not to exceed 40 hours at $100/hr. We should also at that time set up a phone conference with Randy O’Connor to determine his needs and preferences. Afterwards, we should have a better idea of time, budget, and specific requirements in interpreting this data that would be sufficient for Randy to do his actuarial magic.

Bodzin Decl. at Ex. B.

On or about June 9, 1998, Kirkman asked Dolan to sign a Confidentiality and Non-Disclosure Agreement (“21st Services NDA”) to protect 21st Services’ business plan and intended computer processes. Id. at ¶ 8, Ex. 1. The 21st Services NDA stated in pertinent part:

A. Company [defined as 21st Services] has invested substantial time, energy, and resources developing its business plan, including its processes, products, and marketing strategy; and
B. Potential Client [VFD] wishes to receive confidential and proprietary information about [21st Services’] business and business plan ...; and
C. [21st Services] wishes to protect the confidential and proprietary nature of its business, including but not limited to its business plan, processes, products ... while allowing [VFD] the opportunity to evaluate the possibility of entering into a service agreement ...
1. “PROTECTED INFORMATION” DEFINED. [VFD] acknowledges that all information communicated to them ... that relates to [21st Services’] business, including but not limited to its business products, procedures, processes, concepts, ideas, methodology, pricing, ... and trade secrets shall be deemed confidential, proprietary information ...

Bodzin Decl. at Ex. 1.

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Bluebook (online)
425 F. Supp. 2d 1037, 2006 U.S. Dist. LEXIS 10511, 2006 WL 680554, Counsel Stack Legal Research, https://law.counselstack.com/opinion/vfd-consulting-inc-v-21st-services-cand-2006.