Briseno v. ConAgra Foods

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Plaintiffs are consumers who purchased Wesson-brand cooking oil products labeled “100% Natural.” On appeal, ConAgra seeks to reverse the district court's certification of the class, arguing that the district court failed to require plaintiffs to proffer a reliable way to identify members of the certified classes. The court concluded that it has never interpreted Federal Rule of Civil Procedure 23 to require such a showing, and the court joined the Sixth, Seventh, and Eighth Circuits and declined to do so. The court explained that the language of Rule 23 neither provides nor implies that demonstrating an administratively feasible way to identify class members is a prerequisite to class certification, and the policy concerns that have motivated the Third Circuit to adopt a separately articulated requirement are already addressed by the Rule. Accordingly, the court affirmed the judgment. View "Briseno v. ConAgra Foods" on Justia Law