Case 5:10-cv MWB Document 62-2 Filed 07/01/11 Page 1 of 6 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF IOWA WESTERN DIVISION

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Case 5:10-cv-04018-MWB Document 62-2 Filed 07/01/11 Page 1 of 6 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF IOWA WESTERN DIVISION FARM-TO-CONSUMER LEGAL DEFENSE FUND, et al., Plaintiffs, v. No. C 10-4018-MWB KATHLEEN SEBELIUS, Secretary, United States Department of Health and Human Services, et al., Defendants. DEFENDANTS STATEMENT OF ADDITIONAL MATERIAL FACTS The United States Department of Health and Human Services ( HHS, Kathleen Sebelius, Secretary of HHS, and Margaret Hamburg, Commissioner of Food and Drugs, United States Food and Drug Administration ( FDA, in their official capacities, (collectively, defendants submit the following as their Statement of Additional Material Facts. 1. FDA promulgated the Milk Standard of Identity Regulation, 21 C.F.R. 131.110, on October 10, 1973. 38 Fed. Reg. 27924 (Oct. 10, 1973. Defs. App. 39. 2. FDA promulgated their Requirements Affecting Raw Milk for Human Consumption in Interstate Commerce, 21 C.F.R. 1240.61, ( The PHSA Regulation on August 10, 1987. 52 Fed. Reg. 29509 (Aug. 10, 1987. Defs. App. 41. 3. Plaintiffs filed the instant action, Civ. No. 10-04018 (N.D. Iowa, on February 20, 2010. Defs. App. 43.

Case 5:10-cv-04018-MWB Document 62-2 Filed 07/01/11 Page 2 of 6 4. On Thursday, October 15, 2009, an investigator for the Georgia Department of Agriculture ( GDA arrived at Athens Free Market, a farmer s market in Athens, Georgia to investigate the allegation of illegal meat sales. Defs. App. 32, 2-3. 5. While conducting this investigation, the GDA inspector noticed Eric Wagoner unloading gallon jugs of milk from coolers that were on Mr. Wagoner s truck. Defs. App. 32, 3. 6. The investigator inspected the milk jugs, and determined that they contained unpasteurized milk from South Carolina. Defs. App. 32, 3; cf. Defs. App. 25, 6. 7. All of the unpasteurized milk (the Embargoed Milk on Mr. Wagoner s truck, (totaling 110 gallons was placed under a Stop Sale Order (embargo and the GDA investigator advised Mr. Wagoner it is illegal under Georgia law to sell unpasteurized milk for human consumption in the State of Georgia. Defs. App. 32, 4; cf. Defs. App. 25, 8. 8. At the time the Embargoed Milk was placed under embargo, the GDA investigator gave a Stop Sale notice to Mr. Wagoner and placed tags on each cooler. Defs. App. 32, 6; see also Defs. App. 35, 37 (photographs of cooler and Stop Sale notices. 9. Mr. Wagoner agreed to voluntarily destroy the Embargoed Milk. Defs. App. 32, 5. 10. Because a place to destroy the Embargoed Milk could not be found, Mr. Wagoner asked that he be allowed to transport it to his home for destruction on the 2

Case 5:10-cv-04018-MWB Document 62-2 Filed 07/01/11 Page 3 of 6 following Monday. This permission was granted by GDA. Defs. App. 32, 5; cf. Defs. App. 25, 9. 11. On Friday, October 16th, 2009, FDA received a telephone call from Peggy Gates, Director for the Dairy Division at GDA. Defs. App. 28, 3. 12. Ms. Gates informed FDA that a meat compliance officer from GDA had placed an embargo on 110 gallons of raw milk intended for human consumption at the Athens Free Market. Defs. App. 28, 3. 13. At no time on Friday or over the following weekend did anyone from FDA have contact with Mr. Wagoner, who had possession of the embargoed the raw milk. Defs. App. 28, 4. 14. At no time on Friday or over the following weekend did anyone from FDA have any contact with anyone else associated with Mr. Wagoner or Athens Locally Grown. Defs. App. 28, 4. 15. On Monday, October 19, 2009, Ms. Gates and a GDA investigator drove to Mr. Wagoner s residence. Defs. App. 32, 7. 16. Marybeth Willis, a Regional Milk Specialist in FDA s Southeast Regional Office, in Atlanta, Georgia, met Ms. Gates and her colleague at approximately 1:00 pm on October 19th, and the three then proceeded to Mr. Wagoner s home. Defs. App. 28, 1; 29, 6; see Defs. App. 32, 7. 17. Ms. Willis accompanied the GDA officials to Mr. Wagoner s residence to observe and collect information on behalf of FDA. Defs. App. 29, 6; Defs. App. 32, 7. 3

Case 5:10-cv-04018-MWB Document 62-2 Filed 07/01/11 Page 4 of 6 18. After Ms. Gates, the GDA investigator, and Ms. Willis arrived at Mr. Wagoner s residence, Mr. Wagoner voluntarily dumped the Embargoed Milk on the ground. Defs. App. 32, 7; Defs. App. 29, 8; cf. Defs. App. 26, 12-13 (youtube videos of Mr. Wagoner and his associates dumping the Embargoed Milk onto the ground. 19. At no time did Ms. Willis, or anyone else from FDA, order or otherwise direct Mr. Wagoner to destroy the Embargoed Milk or take any other action. Defs. App. 29, 9; cf. Defs. App. 26, 12-13 (youtube videos of Mr. Wagoner and his associates dumping the Embargoed Milk onto the ground. 20. While at Mr. Wagoner s residence Ms. Willis answered questions that were directed to her by those congregated on Mr. Wagoner s property. If asked about the requirements of federal law with respect to raw milk, Ms. Willis would have responded that federal regulations prohibit the delivery of raw milk into interstate commerce. Defs. App. 29, 9; cf. Defs. App. 26, 15-16. 21. Ms. Willis did not, however, issue any order or direction to anyone on this or any other basis. Defs. App. 29, 9. 22. Mr. Wagoner did not challenge the embargo in court, as was his right under Georgia law. Defs. App. 33, 8; Defs. App. 29, 8. 23. The embargo described above was carried out entirely by GDA under the authority of Georgia law. Defs. App. 33, 8; Defs. App. 33, 9 (citing GEORGIA CODE. ANN. 26-2-242 (prohibiting the sale of unpasteurized milk for human consumption in the State of Georgia and GEORGIA CODE. ANN. 26-2-244(a (prohibiting the shipment unpasteurized milk for human consumption into Georgia from another state. 4

Case 5:10-cv-04018-MWB Document 62-2 Filed 07/01/11 Page 5 of 6 24. FDA played no role in the embargo of the Embargoed Milk and/or the discussions with Mr. Wagoner leading up to his decision to voluntarily destroy the Embargoed Milk. Defs. App. 28, 4; Defs. App. 33, 8-9; see Defs. App. 29, 9-10; cf. Defs. App. 25, 8. Respectfully submitted, STEPHANIE M. ROSE United States Attorney LAWRENCE D. KUDEJ Assistant United States Attorney 401 First St. SE, Suite 400 Cedar Rapids, IA 52401-1825 319-363-6333 319-363-1990 (fax Larry.Kudej@usdoj.gov Of Counsel: By: /s/ Roger Gural ROGER GURAL Trial Attorney Office of Consumer Protection Litigation Department of Justice Civil Division P.O. Box 386 Washington, D.C. 20044 202-307-0174 202-514-8742 (fax roger.gural@usdoj.gov WILLIAM B. SHULTZ Acting General Counsel RALPH S. TYLER Chief Counsel Food and Drug Division ERIC M. BLUMBERG Deputy Chief Counsel, Litigation 5

Case 5:10-cv-04018-MWB Document 62-2 Filed 07/01/11 Page 6 of 6 THOMAS J. COSGROVE Associate Chief Counsel United States Department of Health and Human Services Office of the General Counsel 10903 New Hampshire Avenue Building 32, Room 4330 Silver Spring, MD 20993-0002 (301 796-8613 CERTIFICATE OF SERVICE I certify that I electronically served a copy of the foregoing document to which this certificate is attached to the parties or attorneys of record, shown below, on July 1, 2011. UNITED STATES ATTORNEY BY: s/ Roger Gural COPIES TO: David G. Cox (OH Sup. Ct. No. 0042724 4240 Kendale Road Columbus, OH 43220 Wallace L. Taylor 118 3rd Avenue, S.E. Cedar Rapids, IA 52401-1210 6