BUSINESS AND PROPERTY COURTS
OF ENGLAND AND WALES
QUEEN'S BENCH DIVISION
COMMERCIAL COURT
Strand, London, WC2A 2LL |
||
B e f o r e :
____________________
New Balance Athletics, Inc |
Claimant |
|
- and - |
||
The Liverpool Football Club and Athletic Grounds Limited |
Defendant |
____________________
Guy Morpuss QC and Theo Barclay (instructed by Stobbs IP) for the Defendant
Hearing dates: 18, 21 and 22 October 2019
____________________
Crown Copyright ©
Mr. Justice Teare :
The matching right
"shall then have thirty (30) business days from the date of receipt of such third-party offer to Notify the Club in writing if it will enter into a new agreement with the Club on terms no less favourable to the Club that (i) the terms of this Agreement and/or (ii) the material, measureable and matchable terms of such third- party offer."
"the Club shall be obliged to enter into a new agreement containing such terms with the Sponsor".
Nike's offer
"Nike will produce/sell (including as to SKU ranger and distribution Licensed Products, and market LFC, in a manner that is consistent with Nike's other top tier UK football clubs eg Tottenham, Chelsea (subject to similar performance). Without limiting the foregoing Nike will:
. produce Licensed Products under at least 2 global Nike-controlled brands (eg Nike and Converse);
. produce Licensed Products in collaboration with third party brand(s), including in association with a major US sports team located in a major US market;
. market LFC and/or Licensed Products through marketing initiatives featuring not less than three (3) non-football global superstar athletes and influencers of the calibre of Lebron James, Serena Williams, Drake, etc with such initiatives being used to market certain Licensed Products produced for the start of Season 2020/2021 in Year 1 and for certain Licensed Product produced for each Season as applicable thereafter;
. sell Licensed Product throughout the Term (including, for the avoidance of doubt, Licensed Products produced for the start of the Season 2020/21 as follows: (i) in not less than 6000 stores worldwide, 500 of which shall be NIKE owned or controlled with the potential for sale of Licensed Product in as many as 13000 stores worldwide, and (ii) within not less than 51 countries online through NIKE.com. Nike warrants that, as of the date of this Contract, it can distribute Licensed Product in at least 6000 stores worldwide, 500 of which are Nike owned or controlled."
New Balance's response
"New Balance Athletics, Inc is happy to Notify the Club that it will enter into a new agreement with the Club as enclosed herewith on terms no less favourable to the Club than the material, measurable and matchable terms of the Nike Offer."
"NB will produce/sell (including as to SKU ranger and distribution Licensed Products, and market LFC, in a manner that is consistent with other top tier football clubs (subject to similar performance). Without limiting the foregoing NB will:
. produce Licensed Products under at least 2 global NB-controlled brands (eg New Balance and Warrior);
. produce Licensed Products in collaboration with third party brand(s), including in association with a major US sports team located in a major US market;
. market LFC and/or Licensed Products through marketing initiatives featuring not less than three (3) non-football global superstar athletes and influencers with such initiatives being used to market certain Licensed Products produced for the start of Season 2020/2021 in Year 1 and for certain Licensed Product produced for each Season as applicable thereafter;
. sell Licensed Product throughout the Term (including, for the avoidance of doubt, Licensed Products produced for the start of the Season 2020/21 as follows: (i) in not less than 6000 stores worldwide, 500 of which shall be NB owned or controlled with the potential for sale of Licensed Product in as many as 13000 stores worldwide, and (ii) within not less than 51 countries online through New Balance.com websites. NB warrants that, as of the date of this Contract, it can distribute Licensed Product in at least 6000 stores worldwide, 500 of which are NB owned or controlled."
Liverpool FC's reply
"The Club does not consider the NB offer to be a genuine one. This is both because of the contrived and unconsidered replication of the warranties and terms in the Nike offer, and because NB cannot deliver on those warranties and terms."
"As a result of the above matters, the Club does not consider the NB offer to be a bona fide attempt to match the terms of the Nike offer. It therefore does not meet the requirements of Clause 16.2 of the Agreement."
The oral evidence
The events leading up to Nike's offer
"As you know, addressing the issues regarding distribution of our product has always been critical to us and indeed has been an issue for us during our partnership to date. We have received various proposals that offer guarantee on a dramatic increase in the worldwide distribution of LFC licensed product."
" ..as if we are forced to do so we fear you will not be in a position to match each of the material, measurable and matchable terms of the same."
"I think at this point we will take the signed agreement and look to exceed the package during the matching period."
The actions taken by New Balance after 11 July
"We are in the process of matching the LFC negotiation, which is something that you have all expressed interest in renewing. A major point in the matching of the deal is distributing the LFC kit/product into 6000 doors globally and 500 New Balance stores. If we cannot reach 6000 doors globally, we cannot get the deal. Simply put this will be audited and under a microscope throughout the entirety of the contract.
In order to renew, we will need all of the regions to step up to the plate here and maximise the commercial value of this asset to propel the organisation forward in a lucrative, brand accretive manner.
What we need from you:
1. A distribution plan mapping out the maximum number of doors in your respective regions where we can place and sell LFC product/kit.
2. Aggressive volume growth by region with increased forecast of dollars and units to maximise the asset at hand.
Hope all that makes sense. This is pretty timely, so if we can return to Kenny with the number in the next few days that would be ideal. We will then put you plans into a singular document to provide visibility, opportunity and way forward."
"This is a result of Joe P requesting that we get commitment from the regions upfront prior to committing to the renewal.
Essentially he wants our top down (mid model) plan validating/level of comfort that markets will step up which is sensible, although comes with risks of keeping renewal process tight !"
"Door distribution: we are currently @ circa 2800 doors today, so need to get commitment on a further 3200 doors, which I see mainly coming from China/LATAM/NA/Japan."
"1. A distribution plan mapping out the maximum number of doors in your respective regions where we can place and sell LFC product/kit."
" . Every NB/NBL door globally
. An accelerated and wider wholesale distribution plan across: 3 tiers of Category Speciality /Athletic Speciality /Sporting Goods."
"2. Aggressive volume growth by region with increased forecast of dollars and units to maximise the asset at hand."
"Whilst we will continue to drive our LFC performance line growth (kit + training) we also have new incremental growth opportunities in Licensed Lifestyle apparel and Footwear. The latter of which we have seen great success on to date. The lifestyle opportunity is particularly relevant in ROW regions. "
"I don't think we can get to 6000 doors (especially in the short term) without a full commitment to be in all China NB doors. I think you said that you already had this discussion with Joe."
"As you say looks like Joe P is looking for some validation on our proposed model in order for him to support!"
The implied obligation of good faith
The distribution obligation
The first suggested error: Japan (250 doors)
The second suggested error: China (616 stores)
The third suggested error: Brazil (221 doors)
The fourth suggested error: North America (634 doors)
The fifth suggested error: Unit/doors ratio (575 doors)
The marketing obligation
"market LFC and/or Licensed Products through marketing initiatives featuring not less than three (3) non-football global superstar athletes and influencers with such initiatives being used to market certain Licensed Products produced for the start of Season 2020/2021 in Year 1 and for certain Licensed Product produced for each Season as applicable thereafter"
"of the calibre of Lebron James, Serena Williams, Drake, etc"
Two further points
Conclusion