IN RE: CALIFORNIA PIZZA KITCHEN DATA BREACH LITIGATION, No. 23-55288 (9th Cir. 2025)
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A cyberattack on California Pizza Kitchen, Inc. (CPK) in September 2021 compromised the personal information of over 100,000 former and current employees. This led to multiple class action lawsuits against CPK, alleging negligence and other claims. The consolidated plaintiffs reached a settlement with CPK, offering cash payments and credit monitoring services to class members, with CPK required to make payments only to those who submitted valid claims. The settlement's monetary value was estimated at around $950,000, while the attorneys sought $800,000 in fees.
The United States District Court for the Central District of California approved the settlement but reserved judgment on the attorneys' fees until after the claims process concluded. The consolidated plaintiffs reported a final claims rate of 1.8%, with the maximum monetary value of the claims being around $950,000. Despite expressing concerns about the scope of attorneys' fees, the district court ultimately awarded the full $800,000 in fees and costs.
The United States Court of Appeals for the Ninth Circuit reviewed the case and affirmed the district court's approval of the class settlement, finding that the district court had properly applied the heightened standard to review the settlement for collusion and had not abused its discretion in finding the settlement fair, reasonable, and adequate. However, the Ninth Circuit reversed the fee award, noting that the district court had not adequately assessed the actual value of the settlement and compared it to the fees requested. The case was remanded for the district court to determine the settlement's actual value to class members and award reasonable and proportionate attorneys' fees.
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Court Description: Class Settlement / Attorneys’ Fees. The panel affirmed the district court’s approval of a class settlement, reversed the attorneys’ fee award, and remanded in a class action brought by California Pizza Kitchen, Inc.
(CPK) employees whose personal information was compromised by a cyberattack.
One group of plaintiffs’ lawyers struck a settlement with CPK. The monetary value of the class’s claims were (at most) around $950,000, yet the attorneys sought $800,000 in fees. The district court approved the settlement.
The panel held that district courts may approve claims- made settlements—even those that raise indicia of collusion—so long as they adhere to procedural requirements and find the settlement “fair, reasonable, and adequate” under Fed. R. Civ. P. 23(e). Although the district court’s preliminary and final approval orders were sparse and memorialized little of the district court’s rationale, the panel did not remand because the panel could reasonably infer the district court’s rationale from the record, which was unusually extensive. The panel held that the district court properly applied the In re Bluetooth Headset Prods. Liab. Litig., 654 F.3d 935 (9th Cir. 2011), heightened standard to review the settlement for collusion. The panel concluded that upon a review of the record, the district court neither procedurally erred nor abused its discretion in finding the settlement substantively acceptable. The panel thus affirmed the approval of the class settlement.
The panel reversed the fee award because the district court did not assess the actual value of the settlement and compare it to the fees requested. The panel remanded for the district court to determine the settlement’s actual value to class members and award reasonable and proportionate attorneys’ fees, consistent with this opinion.
Judge Collins concurred in the judgment to the extent that the majority reversed and remanded the district court’s approval of the fee award. He dissented from the majority’s decision to affirm the approval of the underlying settlement because, in approving the final settlement proposal before class certification, the district court provided little explanation as to why it approved this settlement and instead issued a series of perfunctory orders, despite the fact that (1) the final settlement triggers every Bluetooth factor; (2) the settlement’s final value ended up being nearly a fourth of the estimated “conservative” value presented at the preliminary approval hearing; and (3) the settlement’s proposed fee award comprises nearly 46% of the entire settlement.
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