Progressive Products, Inc. v. Swartz

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Progressive Products, Inc. (PPI) filed a four-count complaint in district court against Defendants, former employees of PPI, on various theories alleging Defendants misappropriated protected trade secrets. The trade secrets at issue were a formula, computerized customer lists, and a computerized pricing program. The district court entered judgment for PPI, holding that Defendants misappropriated protected trade secrets possessed by PPI. The court then imposed a royalty injunction on Defendants. The court of appeals affirmed in part and reversed in part, holding (1) PPI owned protected trade secrets relating to the formula, (2) the price lists were not trade secrets as a matter of law, (3) no evidence supported a finding the customer lists were a trade secret, and (4) the royalty injunction was not supported by the district court's factual findings and did not comport with the available statutory remedies. The Supreme Court affirmed the court of appeals' judgment regarding the protected trade secrets but reversed the court of appeals' opinion reversing the remedy the district court ordered, holding that because the district court's findings were incomplete, they did not permit meaningful appellate review. Remanded.