WHITESIDE V. KIMBERLY CLARK CORP., No. 23-55581 (9th Cir. 2024)
Annotate this Case
The case involves a putative class action brought by the plaintiff against Kimberly Clark Corp., alleging that the labeling of the defendant's baby wipes was misleading under California's false advertising laws. The plaintiff claimed that the terms "plant-based wipes" and "natural care®" on the front label, along with nature-themed imagery, suggested that the wipes contained only natural ingredients without chemical modifications. However, the wipes contained synthetic ingredients.
The United States District Court for the Central District of California separated the product labels into two categories: those with an asterisk and a qualifying statement ("Asterisked Products") and those without ("Unasterisked Products"). The district court dismissed the plaintiff's claims, concluding that both categories were not misleading as a matter of law. The court reasoned that the asterisk and qualifying statement on the Asterisked Products clarified that the wipes were not entirely plant-based, and the back label's disclaimer about synthetic ingredients dispelled any potential misrepresentation for both categories.
The United States Court of Appeals for the Ninth Circuit reviewed the case. The court reversed the district court's dismissal of the plaintiff's claims regarding the Unasterisked Products, holding that the front label could plausibly mislead a reasonable consumer to believe the wipes contained only natural ingredients, precluding reliance on the back label at the pleadings stage. However, the court affirmed the dismissal of claims regarding the Asterisked Products, finding that the asterisk and qualifying statement, along with the back label, made it impossible for the plaintiff to prove that a reasonable consumer would be deceived. The court also rejected the defendant's argument that the complaint failed to meet the particularity requirements of Rule 9(b). The case was remanded for further proceedings consistent with the court's opinion.
Court Description: Product Labels The panel affirmed in part and reversed in part the district court’s dismissal of a putative class action brought against Kimberly Clark Corp., alleging that the label of Defendant’s baby wipes was misleading in violation of California’s false advertising laws.
Plaintiff claimed that the words “plant-based wipes” and “natural care®” on the front label, together with nature- themed imagery on the packaging, suggested that Defendant’s baby wipes contain only natural ingredients with no chemical modifications or processing. The baby wipes contain synthetic ingredients. The district court separated the label designs into two categories: (1) labels where an asterisk was placed after “plant-based wipes*” with a corresponding qualifying statement elsewhere on the front label (“Asterisked Products”); and (2) labels on which no asterisk or qualifying statement appeared on the front label (“Unasterisked Products”). The district court concluded that both the Asterisked Products and Unasterisked Products were not misleading as a matter of law.
California’s Unfair Competition Law, False Advertising Law, and Consumer Legal Remedies Act prohibit advertising that has a capacity to mislead a reasonable consumer. If a product’s front label is plausibly misleading to a reasonable consumer, then the court does not consider the back label at the pleadings stage, but the back label may be considered if the front label is ambiguous. The panel agreed with Plaintiff that a front label can be unambiguous for Fed. R. Civ. Pro. 12(b)(6) purposes even if it may have two possible meanings, so long as the plaintiff has plausibly alleged that a reasonable consumer would view the label as having one unambiguous (and deceptive) meaning.
The panel reversed the district court’s dismissal of Plaintiff’s claims as to the Unasterisked Products. The panel rejected Defendant’s contention that the Unasterisked Products’ front label was ambiguous, such that the district court correctly considered the back label. Plaintiff plausibly alleged that a reasonable consumer could interpret the front label as unambiguously representing that the Products do not contain synthetic ingredients, precluding Defendant’s reliance on the back-label ingredients list.
The panel affirmed the district court’s dismissal of Plaintiff’s claims as to the Asterisked Products. The asterisk and qualifying statements on the Asterisked Products, paired with the back label ingredients, make it impossible for the plaintiff to prove that a reasonable consumer was likely to be deceived.
The panel rejected Defendant’s claim that Fed. R. Civ.
P. 9(b) provided an alternative basis for dismissal because Plaintiff’s complaint sufficiently alleged the particular label she herself saw.
Some case metadata and case summaries were written with the help of AI, which can produce inaccuracies. You should read the full case before relying on it for legal research purposes.
This site is protected by reCAPTCHA and the Google Privacy Policy and Terms of Service apply.