The economic loss rule does not bar a claim for fraudulent inducement to buy a car. Plaintiffs here alleged that Nissan fraudulently induced them to buy a Nissan Sentra by intentionally concealing facts about its defective transmission which caused dangerous gaps in power to the wheels. Under the reasoning of Robinson Helicopter Co. v. Dana Corp. (2004) 34 Cal.4th 979, claims for fraudulent inducement based on intentional concealment fall outside the scope of the economic loss rule. Nissan’s post-sale alleged violation of the Song-Beverly Warranty Act does not supplant plaintiff’s claim for pre-sale fraudulent concealment.