Justia Antitrust & Trade Regulation Opinion Summaries

Articles Posted in Personal Injury
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The case involved a manufacturer of conveyor pizza ovens, Wolfe Electric, its former employee, Terry Duckworth, and the competing business Duckworth helped form, Global Cooking Systems. Wolfe Electric brought suit against Duckworth and Global Cooking for misappropriation of secrets under the Kansas Uniform Trade Secrets Act. Wolfe Electric also separately alleged Duckworth breached his fiduciary duty and his employment contract while Global allegedly tortiously interfered with Duckworth's employment contract. A jury found for Wolfe Electric on all causes of action and awarded damages in a variety of categories. Both parties appealed. The Supreme Court reversed, holding that multiple erroneous jury instructions and a verdict that failed to specify which of the innumerable acts alleged actually caused which of the particular damages awarded required reversal. Remanded.View "Wolfe Elec., Inc. v. Duckworth" on Justia Law

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Plaintiff, American Diamond Exchange, brought an action against Defendant, Jurgita Karobikaite, and her husband, Scott Alpert, after Alpert, who was working as an estate buyer for Plaintiff, diverted Plaintiff's customers so that he could personally purchase their jewelry. Defendant shared in the profits. A judgment of default was entered against Alpert. The court found Defendant liable for tortious interference with a business relationship or expectancy and civil conspiracy and awarded Plaintiff $118,000 in damages. On appeal, the Appellate Court reversed the judgment of the trial court as to damages and remanded for a recalculation of damages based on the existing record. On remand, the trial court awarded $103,355 in damages to Plaintiff. Defendant appealed, claiming, inter alia, that Plaintiff failed to present sufficient evidence from which its lost profits could be determined with reasonable certainty. The Supreme Court reversed, holding (1) Defendant was not precluded from challenging the sufficiency of the evidence by failing to raise it in her direct appeal or because the appellate court decided the claim against her in the first appeal; and (2) the evidence was insufficient to support an award of damages.View "Am. Diamond Exch., Inc. v. Alpert" on Justia Law

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Meril Curtis's houseguest took his credit card and made over $7,000 in unauthorized charges. After acknowledging that the charges were unauthorized and that Curtis was not personally liable for the charges, Citibank referred the account to a collection agency called Professional Recovery Services (PRS). Curtis filed suit against Citibank, alleging libel and credit libel and violation of the Montana Consumer Protection Act (MCPA). The district court granted summary judgment to Citibank, finding that Curtis's claims were preempted by the federal Fair Credit Reporting Act (FCRA). The Supreme Court reversed, holding that the district court erred in finding that Curtis' state law claims were preempted by the FCRA because the FCRA does not regulate collection agencies such as PRS. Remanded.View "Curtis v. Citibank" on Justia Law

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Progressive Products, Inc. (PPI) filed a four-count complaint in district court against Defendants, former employees of PPI, on various theories alleging Defendants misappropriated protected trade secrets. The trade secrets at issue were a formula, computerized customer lists, and a computerized pricing program. The district court entered judgment for PPI, holding that Defendants misappropriated protected trade secrets possessed by PPI. The court then imposed a royalty injunction on Defendants. The court of appeals affirmed in part and reversed in part, holding (1) PPI owned protected trade secrets relating to the formula, (2) the price lists were not trade secrets as a matter of law, (3) no evidence supported a finding the customer lists were a trade secret, and (4) the royalty injunction was not supported by the district court's factual findings and did not comport with the available statutory remedies. The Supreme Court affirmed the court of appeals' judgment regarding the protected trade secrets but reversed the court of appeals' opinion reversing the remedy the district court ordered, holding that because the district court's findings were incomplete, they did not permit meaningful appellate review. Remanded.View "Progressive Products, Inc. v. Swartz" on Justia Law