Simpson sued Kroger and Challenge Dairy for selling
allegedly mislabeled products combining butter with canola oil or olive oil. Simpson argued that the products couldn’t
lawfully be labeled “spreadable butter with” the other oils, at least without
making the other oils more prominent.
The court found that California’s butter labeling law wasn’t identical
to federal labeling requirements and was therefore preempted. (As it turns out, Congress barred the FDA
from establishing a standard of identity for butter, and specified how it
wanted butter defined—once again, the history of the regulatory state could be
told through the lens of dairy regulation.
There’s no standard of identity for butter combined with canola or olive
oil, leaving this product governed by the general regulations that require
foods to bear their common names/the common names of their ingredients.) The court rejected Simpson’s argument that a
state law that was “substantially” identical to federal law wasn’t
preempted. Only identical laws survive
preemption.
Though Simpson’s Sherman Law claims weren’t preempted, that
didn’t help her, because as a matter of law no reasonable consumer would’ve
been misled by the labels.
The court included various images of the products at issue, e.g.:
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