Jill Hennessey v. The Gap, Inc., No. 22-3187 (8th Cir. 2023)
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Plaintiff, a retail customer, brought a putative class action under the Class Action Fairness Act against clothing retailers The Gap, Inc. and its wholly-owned subsidiary, Old Navy, LLC (“Defendants”). Plaintiff alleged that she purchased numerous products at Old Navy stores and online at discount prices that were deceptively advertised because Defendants did not sell a substantial quantity of these products at the advertised “regular” prices prior to selling them at the advertised “sale” prices. She sought class-wide compensatory damages under the Missouri Merchandising Practices Act (“MMPA”). The district court granted Defendants’ motion to dismiss Plaintiff’s Amended Complaint with prejudice, Plaintiff appealed, arguing that she plausibly pleaded ascertainable loss under Missouri’s benefit-of-the-bargain rule.
The Eighth Circuit affirmed. The court agreed with the district court’s decision to “join a growing number of courts in finding that complaints based solely on a plaintiff’s disappointment over not receiving an advertised discount at the time of purchase have not suffered an ascertainable loss.” Further, the court wrote that Plaintiff’s Amended Complaint also alleged that the actual fair market value of some of the products she purchased “may have even been less than the discounted prices that she paid.” This theory of ascertainable loss does not depend on Defendants’ comparison pricing for the value represented component of the benefit-of-the-bargain rule. Plausible allegations of such immediate injury would satisfy an MMPA plaintiff’s burden to show an ascertainable loss. However, these allegations are based solely on information and belief, which are generally insufficient under Rule 9(b).
Court Description: [Loken, Author, with Gruender and Benton, Circuit Judges] Civil case - Missouri Merchandising Practices Act. Plaintiff brought this putative class action alleging defendants deceptively advertised sale items because defendants did not sell a substantial quantity of the products at regular prices before selling them as sale items. The district court dismissed the action, and plaintiff appeals. With respect to Missouri Merchandising Practices Act benefit-of-the-bargain claims, these claims sounded in fraud, and plaintiff must meet the rigorous pleading requirements of Rule 9(b); under Missouri law, plaintiff failed plead ascertainable loss, and the district court did not err in dismissing her Missouri Merchandising Practices Act claim; with respect to plaintiff's unjust enrichment claims, plaintiff received what she intended to obtain and paid the advertised price; on these facts there is no unjust enrichment, and the district court did not err in dismissing the claim for failure to state a claim; the district court did not err in dismissing the claims with prejudice.
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