King Cole Foods, Inc., et al v. SuperValu, Inc., et al, No. 11-3768 (8th Cir. 2013)
Annotate this CasePlaintiffs, five retail grocers, each attempting to bring class-action antitrust claims against one of two wholesale grocers, appealed the district court's grant of defendants' motion to dismiss plaintiffs claims from the putative class action. The court held that the non-signatory defendants could not use equitable estoppel to compel arbitration of plaintiffs' claims. Since the district court found the equitable estoppel issue dispositive, it did not address the successor-in-interest argument and therefore, the court remanded for the district court to consider this argument in the first instance. The court concluded that the remaining public policy arguments were moot or the court declined to issue an advisory opinion.
Court Description: Civil case - Antitrust. Non-signatory defendant wholesalers could not use equitable estoppel to compel the plaintiff retailers to arbitrate their antitrust claims; case remanded to the district court for further consideration of the wholesalers' argument regarding successors-in- interest. Judge Benton, dissenting.
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