Federal Court of Appeal finds no Settlement Agreement between Allergan and Apotex
In Apotex v Allergan,1 the Federal Court of Appeal considered whether settlement discussions between the parties had actually resulted in a binding settlement agreement. The case involved a patent infringement action by Allergan against Apotex in relation to the drug gatifloxacin. The settlement contemplated that Allergan would discontinue its patent infringement action against Apotex in exchange for Apotex undertaking not to manufacture or sell the drug. However, the precise scope of the restrictions to be placed on Apotex was at issue between the parties, leading to 23 months of negotiations. Ultimately, counsel for Apotex agreed to "recommend to its client" that Apotex accept certain terms that had been proposed by Allergan. Counsel for Allergan responded by advising Apotex that "our clients agree to accept."2
Based on its understanding that the parties had actually reached an agreement, Allergan subsequently moved for an order in the Federal Court to enforce its terms. Justice Hughes granted Allergan's motion, finding that the parties had substantially agreed to the terms of settlement, and characterizing the 23 months of negotiation as lawyers' "fussing and wordsmithing."3
The Court of Appeal overturned that decision, and in doing so provided clear guidance to parties as to when settlement discussions cross the line from negotiations and become a binding agreement.
What You Need To Know
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1 Apotex Inc. v Allergan, Inc., 2016 FCA 155 [Allergan CA]
2 Ibid. at ¶ 74
3 Allergan, Inc. v. Apotex Inc., 2015 FC 367 at ¶ 45
4 Allergan CA at ¶ 21-22, 45-48, 60
5 Ibid. at ¶ 24
6 Ibid. at ¶ 52
7 Ibid. at ¶ 33, 69-71
8 Ibid. at ¶ 76, 80
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