Opinion · Court of Appeals for the Third Circuit

Johnson & Johnson-Merck Consumer Pharmaceuticals Company v. Rhone-Poulenc Rorer Pharmaceuticals, Inc

Johnson & Johnson-Merck Consumer Pharms. Co. v. Rhone-Poulenc Rorer Pharms., Inc, 19 F.3d 125 (3d Cir. 1994)

Type
Opinion
Court
Court of Appeals for the Third Circuit
Jurisdiction
Federal
Date
1994-03-15
Topic
litigation

noting that a Lanham Act plaintiff asserting an implied falsehood claim must establish that "the advertising tends to deceive or mislead a substantial portion of the intended audience" (internal quotation marks omitted) | explaining that when an advertisement is not “literally false,” a plaintiff must rely on “[p]ublic reaction” to show it is misleading under the Lanham Act | noting that a Lanham Act plaintiff asserting an implied falsehood claim must establish that “the advertising tends to deceive or mislead a substantial portion of the intended audience” (internal quotation marks omitted) | stating that the issue is “whether the public was, in fact, misled” | finding a showing that 7.5% of advertising recipients were deceived insufficient under Lanham Act | adopting presumption, but also requiring showing of "clear and egregious conduct" in addition to intent | finding a showing that 7.5% of advertising recipients were deceived insufficient under Lanham Act | describing materiality as “deception . . . that is likely to influence purchasing decisions” | “the probative value of a consumer survey is a highly fact-specific determination and a court may place such weight on survey evidence as it deems appropriate” | where a plaintiff is unable to show literal falsity, a false advertising claim may be established by proving that consumers were actually misled | “A survey is not credible if it relies on leading questions which are inherently suggestive . . . .” (citation and quotation marks omitted) | “If a 7 plaintiff proves a challenged claim is literally false, a court may grant relief 8 without considering whether the buying public was misled.” | Third Circuit discussed in vitro and in vivo testing and noted that information derived from in vivo studies are “more useful to consumers than the results of laboratory studies____” | “A determination of literal falsity rests on an analysis of the message in context.” | “A determination of literal falsity rests on an analysis of the message in context.” | “A survey is not credible if it relies on leading questions which are inherently suggestive and invite guessing by those who did not get any clear message at all.” (cleaned up) | “[E]ven a single 20 inconsistency might preclude an alien from showing that an IJ 21 was compelled to find him credible. Multiple inconsistencies 5 1 would so preclude even more forcefully.” | “If a plaintiff proves a challenged claim is literally false, a court may grant relief without considering whether the buying public was misled. A determination of literal falsity rests on an analysis of the message in context.” | “Both the earlier Mylanta advertising and the Maalox advertising have tried to exploit the consumer confusion the FDA feared between the results of ANC tests and symptom relief. The advertisements tout the ANC strength, promise symptom relief, and invite consumers to make the connection”

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