2016 - Lumos Labs, Inc
2016 - Lumos Labs, Inc
1 JONATHAN E. NUECHTERLEIN
General Counsel
2
MICHELLE RUSK, DC Bar No. 384850
3
ANNETTE SOBERATS, FL Bar No. 0093934
MARY JOHNSON, DC Bar No. 455345
4
Federal Trade Commission
5
600 Pennsylvania Avenue, NW
Mail Drop CC-10528
6
Washington, DC 20580
7
Email: [email protected]; [email protected]; [email protected]
8 Tel: (202) 326-3148, -2921, -3115
Fax: (202) 326-3259
9
Attorneys for Plaintiff
10 FEDERAL TRADE COMMISSION
11
UNITED STATES DISTRICT COURT
12 FOR THE NORTHERN DISTRICT OF CALIFORNIA
13 San Francisco Division
14
FEDERAL TRADE COMMISSION, Case No. ______
15
Plaintiff,
16
COMPLAINT FOR PERMANENT
17 INJUNCTION AND OTHER
v. EQUITABLE RELIEF
18
LUMOS LABS, INC., a corporation
19
d/b/a LUMOSITY
and
20
KUNAL SARKAR, and
MICHAEL SCANLON,
21 Individually and as officers of LUMOS
LABS, INC.,
22
23
Defendants.
24
25
Plaintiff, the Federal Trade Commission (“Commission” or “FTC”), for its Complaint
26
alleges:
27
28
COMPLAINT
Case 3:16-cv-00001 Document 1 Filed 01/04/16 Page 2 of 26
1 1. The FTC brings this action under Section 13(b) of the Federal Trade Commission
2
Act (“FTC Act”), 15 U.S.C. § 53(b), to obtain permanent injunctive relief, rescission or
3
reformation of contracts, restitution, the refund of monies paid, disgorgement of ill-gotten
4
5 monies, and other equitable relief for Defendants’ acts or practices, in violation of Sections 5(a)
6 and 12 of the FTC Act, 15 U.S.C. §§ 45(a) and 52, in connection with the labeling, advertising,
7
marketing, distribution, and sale of the “Lumosity Program,” an online subscription-based “brain
8
training” program that purports to: improve performance on everyday tasks; improve
9
10
performance in school, at work, and in athletics; delay age-related decline in memory and other
11 cognitive function; and reduce cognitive impairment associated with various health conditions.
12
JURISDICTION AND VENUE
13
2. This Court has subject matter jurisdiction pursuant to 28 U.S.C. §§ 1331, 1337(a),
14
and 1345, and 15 U.S.C. §§ 45(a) and 53(b).
15
21
by statute. 15 U.S.C. §§ 41-58. The FTC enforces Section 5(a) of the FTC Act, 15 U.S.C. §
22 45(a), which prohibits unfair or deceptive acts or practices in or affecting commerce. The FTC
23
also enforces Section 12 of the FTC Act, 15 U.S.C. § 52, which prohibits false advertisements
24
for food, drugs, devices, services, or cosmetics in or affecting commerce.
25
5. The FTC is authorized to initiate federal district court proceedings, by its own
26
27 attorneys, to enjoin violations of the FTC Act and to secure such equitable relief as may be
28
COMPLAINT PAGE 2
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1 appropriate in each case, including rescission or reformation of contracts, restitution, the refund
2
of monies paid, and the disgorgement of ill-gotten monies. 15 U.S.C. § 53(b).
3
DEFENDANTS
4
5 6. Defendant Lumos Labs, Inc. (“Lumos Labs”) is a Delaware corporation with its
6 principal place of business at 140 New Montgomery Street, San Francisco, California. Lumos
7
Labs transacts or has transacted business in this district and throughout the United States. At all
8
times material to this Complaint, acting alone or in concert with others, Lumos Labs has
9
10
advertised, marketed, distributed, or sold the Lumosity Program to consumers throughout the
11 United States.
12
7. Defendant Kunal Sarkar is the co-founder and Chief Executive Officer of Lumos
13
14
Labs. Sarkar is a member of the company’s Board of Directors and a shareholder. Sarkar
15
resides in this district and, in connection with the matters alleged herein, transacts or has
16
18
8. At all times material to this Complaint, acting alone or in concert with others,
19
20 Sarkar has formulated, directed, controlled, had the authority to control, or participated in the
21
acts and practices set forth in this Complaint. Among other things, he actively participated in
22
23 creating the overall marketing strategy for the Lumosity Program and developed specific plans to
24
market the Lumosity Program through television, radio, email, social media, Google AdWords,
25
26 and testimonials. Sarkar also oversaw the day-to-day marketing operations of Lumos Labs,
27
including aspects of marketing spend, media buying, and product messaging. Sarkar regularly
28
COMPLAINT PAGE 3
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1 consulted with members of Lumos Labs’ marketing and science teams to evaluate advertising
2
claims about the Lumosity Program’s benefits, including claims that form the basis of this
3
4
Complaint.
5
6
9. Defendant Michael Scanlon is the co-founder of Lumos Labs, and until August
7
2013, served as its Chief Scientific Officer. Scanlon is a member of the company’s Board of
8
9 Directors and a shareholder. Scanlon resides in this district and, in connection with the matters
10
alleged herein, transacts or has transacted business in this district and throughout the United
11
12 States.
13
10. At all times material to this Complaint, acting alone or in concert with others,
14
15 Scanlon has formulated, directed, controlled, had the authority to control, or participated in the
16
acts and practices set forth in this Complaint. As Lumos Labs’ co-founder, Scanlon oversaw
17
18 activities related to public relations, research and development, and business strategy. He led
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Lumos Labs’ research and development team until 2009. Since at least 2009, Scanlon has
20
21 controlled a variety of the company’s operations, including public relations and business
22
development. Among other things, he has actively participated in promoting the Lumosity
23
24 Program’s benefits to the public, including through blog posts and other marketing. Scanlon’s
25
duties have included reviewing and approving marketing and promotional materials for the
26
27
28
COMPLAINT PAGE 4
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1 Lumosity Program, including materials with claims about the Program’s benefits that form the
2
basis of this Complaint.
3
4
COMMERCE
5
6
11. At all times material to this Complaint, Defendants have maintained a substantial
7 course of trade in or affecting commerce, as “commerce” is defined in Section 4 of the FTC Act,
8
15 U.S.C. § 44.
9
DEFENDANTS’ BUSINESS ACTIVITIES
10
12. Since 2007, Defendants have labeled, advertised, marketed, distributed, and sold
11
12 the Lumosity Program directly to consumers via the Lumosity.com website, and as mobile apps
13 through app stores. Subscription options vary, including monthly ($14.95), yearly ($79.95), two-
14
year ($129.95), and lifetime ($299.95) subscriptions.
15
13. The Lumosity Program is intended for users of all ages and purportedly provides
16
17 “brain training” through video games. Defendants have represented that brain training with the
18 Lumosity Program will improve performance on everyday tasks; will improve school, work, and
19
athletic performance; will delay age-related decline in memory and protect against other age-
20
related conditions such as mild cognitive impairment, dementia, and Alzheimer’s disease; and
21
will reduce cognitive impairment associated with the side effects of chemotherapy, post-
22
23 traumatic stress disorder, traumatic brain injury, attention deficit hyperactivity disorder, Turner
24 syndrome, stroke, and other health conditions.
25
14. Each of the Lumosity Program’s more than 40 games purports to target a specific
26
brain area. Defendants recommend that users train with the Lumosity Program for
27
COMPLAINT PAGE 5
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1 15. After signing up for the Lumosity Program, users personalize their brain training
2
by selecting the specific aspects of each brain area that they seek to improve and the real-world
3
skills they hope to sharpen. For example, for memory, users can select to improve their ability to
4
5 learn new subjects quickly and accurately, remember names after the first introduction, and
6 recall the location of objects. For attention, they can choose to improve productivity and
7
precision at work or home and to maintain focus on important tasks all day. For flexibility, they
8
can select to communicate clearly, and for problem solving, they can indicate that they want to
9
10
be able to dissect complex arguments and calculate figures in their head.
11 16. Each training session typically involves playing five games that are either selected
12
by the user or generated by an algorithm based on the user’s training preferences and past
13
performance. Most of the Lumosity Program’s games are adaptive, growing increasingly
14
difficult as a user’s game performance improves. Users are able to track their performance on
15
16 the games and compare their scores against other Lumosity Program users using the Lumosity
17 Performance Index (“LPI”), formerly referred to as the Brain Performance Index (“BPI”).
18
17. Defendants have widely advertised the Lumosity Program through the
19
Lumosity.com website, mobile applications, short form television commercials, radio
20
21
advertisements, and magazines. Television advertisements have aired nationally on 44 broadcast
22 and cable networks, including CNN, Fox News, HGTV, and the History Channel. Defendants’
23
radio campaign includes sponsorship advertisements on NPR, spots on internet and satellite radio
24
services such as Pandora, Sirius XM, and Spotify, and endorsements on national radio shows and
25
in podcasts by celebrity hosts, including Colin Cowherd, Adam Carolla, and Dr. Drew.
26
27 Defendants have employed an extensive search engine campaign, including through Google
28 AdWords, and have purchased hundreds of keywords, including many variations of words
COMPLAINT PAGE 6
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1 related to memory, attention, intelligence, brain, cognition, dementia, and Alzheimer’s disease.
2
Defendants have also engaged in an extensive email marketing campaign to subscribers and free-
3
trial users.
4
5 Advertising Claims
10
depictions, among others:
11 A. Rowan TV ad (Exhibit A)
12
MALE SPEAKER: I can tell a big difference, decisions come quicker,
13 I’m more productive. It’s serious brain training, it just feels like games.
Well, Lumosity.com is based on neuroscience, so I figured if I want to get
14 smart, I have to start smart, you know.
15
VOICEOVER: No matter why you want a better brain, Lumosity.com can
16 help. It’s like a personal trainer for your brain, improving your
performance with the science of neuroplasticity, but in a way that just
17 feels like games. Start training with Lumosity.com right now and discover
what your brain can do.
18
24 ***
25
Scientifically designed games
26
Research shows that your brain creates new neural
27 circuitry when challenged—our scientists have
turned those challenges into cognitive games that
28 improve core cognitive functions.
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1 ***
2
Built on proven neuroscience research
3
Lumosity is based on the science of neuroplasticity—your brain’s ability to
4 strengthen and grow. Multiple research papers have been published on Lumosity’s
effectiveness—and with its ongoing research collaborations, Lumosity continues to
5
improve its ability to change your brain.
6
LEARN MORE ABOUT THE SCIENCE
7
15 ***
16
Build your Personalized Training Program
17
18 ***
19
1. Memory
20
Select all aspects of your memory that you want to train
21
[image of keys] Recalling the locations of objects
22 [image of contact icon] Remembering names after the first introduction
[image of books] Learning new subjects quickly and accurately
23
[image of checklist] Keeping track of several ideas at the same time
24
***
25
26 2. Attention
Select all aspects of your attention that you want to train
27
28
[image of business chart] Maintaining focus on important tasks all day
COMPLAINT PAGE 8
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7
Lumosity exercises are designed by
neuroscientists and continually
8 evaluated through independent research
studies at institutions such as Harvard,
9
Stanford, and UC Berkeley.
10
***
11
12
Completed Research behind Lumosity
13 ***
14
Lumosity can improve key skills that
affect quality of life
15
***
16
Lumosity game performance is linked
17 to when users train
18
***
19 Large-scale study on how students
20
can benefit from Lumosity
21 1204 students from 40 different schools participated in a semester-long study
of Lumosity in the classroom. Students who supplemented their regular
22
curricula with Lumosity training improved more than a control group on a
23 battery of cognitive assessments.
24 ***
25
Lumosity increases prefrontal cortex
activity in cancer survivors
26
A published study by Dr. Shelli Kesler of Stanford University Medical School
27
shows that Lumosity can improve cognition in childhood cancer survivors. 23
28 pediatric cancers survivors completed 40 sessions of Lumosity training to
combat “chemofog”—and they significantly increased processing speed,
COMPLAINT PAGE 9
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7 ***
Lumosity gives students a boost in
8
classrooms worldwide
9
1,392 students from 43 different schools took part in an investigation of
10
Lumosity’s effect on academic performance as part of the Lumosity
11 Education Access Program (LEAP). Students aged 6 to 18 took standardized
assessments of cognitive performance before and after Lumosity training to
12 measure baseline improvement. After several weeks, the trained group
improved significantly over the education-as-usual control group on these
13
standardized assessments. And the more training, the larger the
14 improvements. Read more
15 ***
16 Lumosity can enhance brain function
and math skills in girls with Turner
17
syndrome
18
Training with Lumosity can enhance cognitive function and change the way
19 the brain processes math, according to a study by Dr. Shelli Kesler. Kesler
20
worked with 18 girls with Turner syndrome--a genetic disorder known to
disrupt cognitive functioning and produce deficits in math ability. Participants
21 used special math-focused Lumosity training over the course of 6 weeks and
experienced clinically significant improvements in processing speed,
22
cognitive flexibility, visual attention, and math skills on tests. fMRI brain scans
23 revealed changes in brain activity in the frontal and parietal regions related to
executive control and attention. Read more
24
***
25
Lumosity improves sustained attention
26 in study of mild cognitive impairment
27
Researchers at the University of New South Wales in Sydney, Australia
28 published research showing that Lumosity training improved cognition in
older adults with mild cognitive impairment (MCI)--a disease linked to
COMPLAINT PAGE 10
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9 ***
10
Your brain is amazing.
11
Learn just how much
it can do.
12
24
***
COMPLAINT PAGE 11
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1 power of neuroplasticity to remember more, every aspect of life. The benefits may well be
2
think faster, and achieve your full potential in endless.
3 ***
4
Developed by neuroscientists
5
Lumosity’s groundbreaking program is based on extensive research
6 in the field of neuroplasticity. Our in-house R&D team works with
researchers from Berkeley, Columbia, and more to create the most
7 effective training possible.
8 Read more about the science >>
9
***
10
11
Proven benefits
Multiple studies have been published on Lumosity’s ability to
12 improve key abilities such as working memory, visual attention, fluid
13 intelligence, and executive function. No matter what your age,
improving these core cognitive abilities can improve real-life
14 abilities.
15 Read more about the proven benefits >>
16 ***
17
Collaborators
18 ***
19 Maurice Finn and Skye McDonald, PhD
University of New South Wales
20
Lumosity training to improve cognition in patients with mild cognitive
21 impairment (MCI)
22 ***
Shelli Kesler, PhD
23
Stanford University
24
Improving cognitive outcomes in cancer survivors and children with genetically
25 based learning disabilities
26 ***
Chris Johnson, PhD
27
University of California, San Diego
28
COMPLAINT PAGE 12
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3
***
4
C. Brain Trainer mobile app capture, April 8, 2013 (Exhibit C)
5
14 ***
18
Lumosity training has had positive results for several populations – and
the below Mensa Research Journal study shows that Lumosity can help
19 healthy adults improve too.
20
***
21
Lumosity Training Really
22
Transfers, New Study Says
23
***
24
25
Lumosity’s neuroscience team, in collaboration
with researchers from Stanford and San
26 Francisco State University, published an
important new study in Mensa Research Journal
27 in 2011. This was the first peer-reviewed,
28 controlled trial to demonstrate that web-based
cognitive training can enhance cognitive
COMPLAINT PAGE 13
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17 ***
So far, results are promising: LEAP students who trained with Lumosity
18 improved scores on standardized tests of cognitive ability.
19
The link between Lumosity and classroom learning
20
In any learning process, strong core cognitive abilities provide students of
21
all ages with the mental scaffolding to support more complex activities
22 such as formulating an argument, writing a creative story, and navigating
social situations. Researchers have found that core cognitive abilities such
23 as working memory and processing speed are factors for educational
24
achievement in math, science, and reading.
25 ***
26
How Lumosity impacted student performance
27 ***
28
COMPLAINT PAGE 14
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16
***
17 The best athletes don’t just have strong bodies. They also have strong
minds equipped with excellent attention, great memory for routines,
18
incredible flexibility for adapting to new situations, and reaction speeds
19 quick enough to handle any incoming ball, puck, or challenge. No matter
what kind of athlete you are, it’s possible to enhance these skills using
20 Lumosity!
21
Has Lumosity training helped YOU become a better athlete? Then enter
22 the Lumosity Athlete Testimonial Contest by sharing your story and a
photo of you engaged in an athletic pursuit!
23
24
***
25 G. “How Brain Training Can Improve Your Athletic Game” blog post,
August 30, 2011 (Exhibit G)
26
How Brain Training Can Improve Your Athletic Game
27
***
28
COMPLAINT PAGE 15
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1 With seasons starting for football, basketball, and other sports, we’ve
2
received many inquiries from our users about how cognitive training with
tools like Lumosity can help people become better athletes.
3
***
4
5 With athletes and coaches looking for every possible edge, it’s no surprise
that there are dozens of studies devoted to cognitive training and sports
6 performance that target everything from soccer and cricket to golf and
tennis.
7
8 ***
22 ***
26 So if a new job or promotion is on your wish list for 2012, why not put in
some training time with popular working memory exercises like Memory
27
Matrix or Playing Koi? And if you’ve found that Lumosity has given you
28 a boost in your job search or workplace performance, comment and tell us
your story!
COMPLAINT PAGE 16
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9
Benefits Everyone
10
In 2007, we learned that my mother had early
11 onset Alzheimer’s. I joined Lumosity at first for
my mother. I now use this site not only for her,
12 but for my brain as well.
13
K. “The Benefits of Cognitive Reserve” blog post, January 24, 2011 and
14 “Cognitive Reserve and the Effects of Aging” email to Lumosity users
(Exhibit K)
15
16
The Benefits of Cognitive Reserve
17 By Joe Hardy
18
Exercising your brain at a young age can protect your cognitive abilities as
19 you get older, a team of researchers at the University of California, San
Francisco recently reported in the Journal of American Medical
20
Association. Led by Dr. Kristine Yaffe, the researchers followed a group
21 of close to 1,000 individuals for nine years, measuring brain function and
taking blood samples along the way.
22
23
They found that levels of several compounds in the bloodstream – called
beta-amyloids – predicted subsequent cognitive decline. These
24 compounds are related to Alzheimer’s Disease, so this relationship is not
entirely surprising. The protective effects of brain exercise were more
25 interesting. The researchers found that people with high levels of
26 cognitive reserve – as measured by previous experiences with cognitively
stimulating activities like education – were relatively protected against
27 cognitive decline associated with these chemical changes. In other words,
if you take two people with the same levels of blood plasma beta-
28
COMPLAINT PAGE 17
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1 amyloids, the person with more cognitive reserve (built up through prior
2
brain exercise) is likely to have better cognitive fitness down the road.
9
Lumosity ADHD
10 SCIENTIFICALLY DESIGNED
11
• Specifically designed brain training for ADHD
12
• Develop sustained attention and focus
13
• Targets improvement of working memory
14
• Fun and easy: full workout in less than 10 minutes/day
15
16 Enroll
17
***
18
19 More courses
20
Lumosity TBI Lumosity Cancer Recovery II
21
Lumosity Cancer Recovery I Lumosity PTSD
22
28 ***
COMPLAINT PAGE 18
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11 M. “We Want To Hear Your Story!” blog post, September 28, 2009 (Exhibit
M)
12
18 ***
26 ***
27
The most common quality-of-life complaint from breast cancer survivors
28 is the cognitive effect of cancer treatments,” said Joe Hardy, Ph.D., VP of
Research & Development at Lumosity. “These results are interesting
COMPLAINT PAGE 19
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5 We’re committed to helping people from all walks of life improve their
core cognitive abilities, and we’re excited that this study has shown very
6 promising results for a real-world clinical application of cognitive training
for cancer survivors,” said Hardy. “We’ve created Lumosity to be an
7
accessible tool for anyone who wants to train their brain, as well as
8 researchers who want to study the effects of cognitive training on specific
populations.
9
10
***
16 Program, particularly improved school, work, and athletic performance. Forty-six of these
17 testimonials were not spontaneously generated by consumers but instead were solicited by
18
Defendants as part of contests where consumers received significant prizes such as an iPad, a trip
19
to San Francisco, and a lifetime subscription to the Lumosity Program. This fact was not
20
21
adequately disclosed to consumers and would materially affect the weight and credibility
27
28
COMPLAINT PAGE 20
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6 ***
11
Excerpt from the Lumosity.com website (Exhibit B)
12 Lumosity stories
13
John P. | FAIRFAX
14
***
15
When I saw the commercial for Lumosity, I joined right away. I had been slow in making
16
decisions, slow in adapting to changing situations in my everyday life, and forgetful. I’ve been
17 practicing mixed martial arts (thai boxing, muay thai, wrestling, jiu jitsu, grappling) since early
April and I’m not surprised that my most significant progress has been since early June, when I
18 started doing Lumosity.
19
***
20
Lumosity’s Speed and Attention games have helped things slow down for me when I’m fighting
21
an opponent. As soon as he moves, I can see what he’s doing and effectively react. The Memory
22 programs have helped me remember my combinations so I can be really loose and not try to
think so hard. The Flexibility programs (mainly Brain Shift) have challenged me the most
23 because I’ve had a problem with getting really tense and panicking as my brain “shifts,” but the
game has helped me to relax; so if I go from muay thai, to wrestling, to jiu jitsu, back to muay
24
thai, I can effectively react and use the right techniques.
25
***
26
Kade A. | BOISE
27
28 I play goalie, which requires fast reflexes in order to stop 80 mph balls coming at me. I’m
heading to college soon for lacrosse, most likely at Princeton. Lumosity has helped my reaction
COMPLAINT PAGE 21
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1 time, attention in class, and my test scores! Without Lumosity I wouldn’t be this successful! I’d
2
recommend it to anyone and everyone!
9 24. Section 12 of the FTC Act, 15 U.S.C. § 52, prohibits the dissemination of any
10
false advertisement in or affecting commerce for the purpose of inducing, or which is likely to
11
induce, the purchase of food, drugs, devices, services, or cosmetics.
12
13 25. For the purposes of Section 12 of the FTC Act, the Lumosity Program is a service
19 directly or indirectly, expressly or by implication, that training with the Lumosity Program
20 provides real-world benefits for users by:
21
A. Improving performance on everyday tasks;
22
B. Improving performance in school;
23
COMPLAINT PAGE 22
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5 COUNT II
10
delays age-related decline in memory and other cognitive function, including protecting against
16 constitutes a deceptive act or practice and the making of false advertisements, in or affecting
17 commerce, in violation of Sections 5(a) and 12 of the FTC Act, 15 U.S.C. §§ 45(a) and 52.
18
COUNT III
19
FALSE OR UNSUBSTANTIATED CLAIMS FOR OTHER HEALTH CONDITIONS
20
21
32. Through the means described in Paragraph 18, Defendants have represented,
22 directly or indirectly, expressly or by implication, that training with the Lumosity Program
23
reduces cognitive impairment associated with health conditions, including Turner syndrome,
24
post-traumatic stress disorder, attention deficit hyperactivity disorder, traumatic brain injury,
25
stroke, and side effects of chemotherapy.
26
27 33. The representations set forth in Paragraph 32 are false or were not substantiated at
COMPLAINT PAGE 23
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5 COUNT IV
10
the Lumosity Program will provide the following real-world benefits to users:
21
G. Reduction in cognitive side effects of chemotherapy.
27
28
COMPLAINT PAGE 24
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1 COUNT V
2
DECEPTIVE USE OF TESTIMONIALS
3
38. Through the means described in Paragraphs 19 through 21, Defendants have
4
6 featured on the Lumosity.com website and in other marketing represented the experiences of
7
users of the Lumosity Program.
8
39. Defendants failed to disclose, or disclose adequately, that they solicited the
9
10
testimonials as part of a contest with prizes including a free iPad, a lifetime subscription to the
17 CONSUMER INJURY
18
41. Consumers have suffered and will continue to suffer substantial injury as a result
19
of Defendants’ violations of the FTC Act. In addition, Defendants have been unjustly enriched
20
21
as a result of their unlawful acts or practices. Absent injunctive relief by this Court, Defendants
22 are likely to continue to injure consumers, reap unjust enrichment, and harm the public interest.
23
THIS COURT’S POWER TO GRANT RELIEF
24
42. Section 13(b) of the FTC Act, 15 U.S.C. § 53(b), empowers this Court to grant
25
injunctive and such other relief as the Court may deem appropriate to halt and redress violations
26
27 of any provision of law enforced by the FTC. The Court, in the exercise of its equitable
COMPLAINT PAGE 25
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1 restitution, the refund of monies paid, and the disgorgement of ill-gotten monies, to prevent and
2
remedy any violation of any provision of law enforced by the FTC.
3
PRAYER FOR RELIEF
4
5 Wherefore, Plaintiff FTC, pursuant to Section 13(b) of the FTC Act, 15 U.S.C. § 53(b),
6 and the Court’s own equitable powers, requests that the Court:
7
A. Enter a permanent injunction to prevent future violations of the FTC Act by
8
Defendants;
9
10
B. Award such relief as the Court finds necessary to redress injury to consumers
11 resulting from Defendants’ violations of the FTC Act, including, but not limited to, rescission or
12
reformation of contracts, restitution, the refund of monies paid, and the disgorgement of ill-
13
gotten monies; and
14
C. Award Plaintiff the costs of bringing this action, as well as such other and
15
17
18
Dated: January 4, 2016 Respectfully submitted,
19
JONATHAN E. NUECHTERLEIN
20 General Counsel
21
27
28
COMPLAINT PAGE 26