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Case 2:10-cv-06318-GW -JEM Document 11 Filed 10/27/10 Page 1 of 6 Page ID #:63

1 ROBERT H. ROTSTEIN (SBN 72452)


rxr@msk.com JS-6
2 EMILY F. EVITT (SBN 261491)
efe@msk.com
3 MITCHELL SILBERBERG & KNUPP LLP
11377 West Olympic Boulevard
4 Los Angeles, California 90064-1683
Telephone: (310) 312-2000
5 Facsimile: (310) 312-3100
6 Attorneys for Plaintiffs
7
8 UNITED STATES DISTRICT COURT
9 CENTRAL DISTRICT OF CALIFORNIA
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11 WARNER BROS. ENTERTAINMENT CASE NO. CV 10-6318-GW (JEMx)
INC., a Delaware corporation; DISNEY
12 ENTERPRISES, INC., a Delaware The Honorable George H. Wu
corporation,
13 CONSENT JUDGMENT
Plaintiffs,
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v.
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TRITON MEDIA LLC, an Arizona
16 corporation,
17 Defendant.
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Mitchell
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Case 2:10-cv-06318-GW -JEM Document 11 Filed 10/27/10 Page 2 of 6 Page ID #:64

1 Plaintiffs Warner Bros. Entertainment, Inc. and Disney Enterprises, Inc.


2 (collectively, “Plaintiffs”), and Defendant Triton Media LLC (“Defendant”),
3 having entered into a Stipulation for Entry of Judgment and the Court having
4 entered an Order thereon,
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6 IT IS HEREBY ORDERED, ADJUDGED, AND DECREED:
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1. Plaintiffs allege that Defendant has engaged in contributory copyright
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infringement and inducement of copyright infringement by owning, operating,
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providing advertising consulting and referrals for, and/or providing other material
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assistance to the websites www.free-tv-video-online.info, supernovatube.com,
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donogo.com, watch-movies.net, watch-movies-online.tv, watch-movies-links.net,
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thepiratecity.org, and havenvideo.com (collectively the “Websites”) The Websites
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among other things, assist, enable, promote, facilitate, induce, and profit from the
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infringement of Plaintiffs’ copyrighted motion pictures and television programs by
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posting, organizing, and indexing links to infringing video content that is available
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on third-party websites and/or by hosting infringing content.
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2. Defendant denies any liability or wrongdoing.
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3. Defendant is liable for damages to Plaintiffs in the amount of Four
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Hundred Thousand Dollars ($400,000).
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4. Defendant and all persons acting by, through or in concert with
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Defendant (collectively, “Defendant”):
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A. shall immediately and permanently cease and desist from operating
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the Websites, except as otherwise provided for in Paragraph 6;
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B. shall immediately and permanently cease and desist from operating
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any website that is substantially similar to the Websites; and
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C. shall immediately and permanently cease and desist from (i) directly,
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Mitchell
indirectly, contributorily, or vicariously infringing in any manner, or (ii)
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Case 2:10-cv-06318-GW -JEM Document 11 Filed 10/27/10 Page 3 of 6 Page ID #:65

1 enabling, facilitating, permitting, assisting, soliciting, encouraging,


2 inducing, authorizing, aiding or abetting, materially contributing to, or
3 persuading anyone to infringe in any matter, any copyright in any motion
4 picture, television program, or other copyrighted work (or portions thereof),
5 whether now in existence or later created, in which any Plaintiff (including
6 its parents, subsidiaries, or affiliates) owns or controls an exclusive right
7 under either Section 106 of the United States Copyright Act (17 U.S.C. §
8 106) or the copyright laws of any other country or territory, or any exclusive
9 license thereto (the “Copyrighted Works”), including, but not limited to,
10 engaging in any of the following without express written authority or license
11 from the appropriate Plaintiff:
12 1. copying, reproducing, downloading, distributing, uploading, or
13 linking to, any of the Copyrighted Works;
14 2. transmitting, streaming, performing in public, or communicating
15 to the public by telecommunication, any of the Copyrighted
16 Works;
17 3. enabling, facilitating, permitting, assisting, soliciting,
18 encouraging, inducing, or persuading any person or entity to
19 copy, reproduce, download, distribute, upload, link to, transmit,
20 stream, perform in public, or communicate to the public by
21 telecommunication or publicly perform any of the Copyrighted
22 Works;
23 4. profiting or benefiting from the unauthorized copying,
24 reproduction, downloading, distribution, uploading, linking to,
25 transmission, or public performance of any of the Copyrighted
26 Works while declining to exercise a right to stop or limit such
27 unauthorized copying, reproduction, downloading, distribution,
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28 uploading, linking to, transmission, or streaming, performing in
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Case 2:10-cv-06318-GW -JEM Document 11 Filed 10/27/10 Page 4 of 6 Page ID #:66

1 public, or communicating to the public by telecommunication


2 any of the Copyrighted Works; and/or
3 5. Participating in any affiliate marketing or advertising program
4 regarding, or participating in any similar program designed to
5 drive or refer user traffic to or increase revenues to, including
6 but not limited to acting as an advertising broker for, any
7 Internet website that enables, facilitates, permits, assists,
8 solicits, encourages, abets, promotes, profits from, or induces
9 the copying, reproduction, downloading, distributing, uploading,
10 linking to, transmitting, or public performance of any of the
11 Copyrighted Works.
12 D. if necessary, shall cease to operate or assist in the operation of, and
13 will not profit or benefit from, any website known or suspected by
14 Defendant to be engaging in, authorizing, inducing, encouraging, aiding or
15 abetting, or materially contributing to infringement of any of the
16 Copyrighted Works;
17 E. shall not operate or, provide links to, assist or participate in any way
18 in the operation of, or in any way profit or benefit from, any website that
19 enables, facilitates, permits, assists, solicits, encourages, abets, or induces
20 the copying, reproduction, downloading, distributing, uploading, linking to,
21 transmitting, or public performance of any of the Copyrighted Works,
22 unless and until Defendant has obtained all necessary prior written authority
23 or license for such Copyrighted Works from the appropriate Plaintiff.
24 5. Any company or entity that Defendant owns or operates in the future
25 shall also comply with the provisions of this Consent Judgment.
26 6. This injunction shall not apply to any Copyrighted Works for which
27 Defendant has obtained an appropriate written license from the Plaintiff that owns
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28 or controls the rights to such work.
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Case 2:10-cv-06318-GW -JEM Document 11 Filed 10/27/10 Page 5 of 6 Page ID #:67

1 7. Defendant shall destroy all digital files representing any Copyrighted


2 Works that are currently in its possession, custody, or control, except for
3 Copyrighted Works for which Defendant has obtained an appropriate written
4 license from the Plaintiff that owns or controls the rights to such work, to the
5 extent such license remains in force and valid. Defendant shall provide Plaintiffs
6 with a sworn statement within five days after the entry of the Consent Judgment
7 certifying its compliance with this provision.
8 8. Absent the prior written consent of Plaintiffs or their designee,
9 Defendant shall not publicly release, distribute, sell, transfer or give away, for
10 consideration or otherwise, any software, source code, object code, technology,
11 domain name(s), trademark(s), brand(s), goodwill or any other property of any
12 kind, in whole or in part, which is in any way related to the Websites, including
13 without limitation, by posting such materials on an internet web page or by
14 offering such materials over any peer-to-peer or file-trading network or any other
15 medium.
16 9. Defendant irrevocably and fully waives notice of entry of the Consent
17 Judgment and notice and service of the entered Consent Judgment and
18 understands, confirms, and agrees that violation of the Consent Judgment will
19 expose Defendant to all penalties provided by law, including contempt of Court.
20 10. Defendant irrevocably and fully waives any and all rights to appeal
21 the Consent Judgment, to have it vacated or set aside, to seek or obtain a new trial
22 thereon, or otherwise to attack in any way, directly or collaterally, its validity or
23 enforceability.
24 11. The Court finds that the acts giving rise to the claims in Plaintiffs’
25 Complaint constitute willful and malicious injury to Plaintiffs and/or the property
26 of Plaintiffs within the meaning of 11 U.S.C. § 523(a)(6) and 17 U.S.C. §
27 504(c)(2). The Court further finds that the damages of Four Hundred Thousand
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28 Dollars ($400,000) awarded hereunder arise from the acts giving rise to the claims
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Case 2:10-cv-06318-GW -JEM Document 11 Filed 10/27/10 Page 6 of 6 Page ID #:68

1 asserted in the Complaint, and accordingly, the damages awarded hereunder are in
2 their entirety non-dischargeable as a debt arising from willful and malicious injury
3 within the meaning of 11 U.S.C. § 523(a)(6).
4 12. Nothing contained in the Consent Judgment shall limit the right of
5 Plaintiffs to seek relief, including without limitation, damages, for any and all
6 infringements by Defendant of the Copyrighted Works occurring after the date
7 Defendant executes the Stipulation for Entry of Judgment.
8 13. This Consent Judgment shall be deemed to have been served upon
9 Defendant at the time of its execution by the Court.
10 14. The Court finds there is no just reason for delay in entering this
11 Consent Judgment and, pursuant to Federal Rule of Civil Procedure 54(a), the
12 Court directs immediate entry of this Consent Judgment against Defendant.
13 15. The Court shall retain jurisdiction of this action to entertain such
14 further proceedings and to enter such further orders as may be necessary or
15 appropriate to implement and enforce the provisions of this Consent Judgment.
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Dated: October 27, 2010
19 The Honorable George H. Wu
United States District Judge
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Submitted by: ROBERT H. ROTSTEIN
23 EMILY F. EVITT
MITCHELL SILBERBERG & KNUPP LLP
24 DATED: October 19, 2010
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26 By: /s/ Robert H. Rotstein
Robert H. Rotstein
27 Attorneys for Plaintiffs
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