CORNETTE v. GRAVER

CourtDistrict Court, W.D. Pennsylvania
DecidedApril 2, 2020
Docket3:19-cv-00219
StatusUnknown

This text of CORNETTE v. GRAVER (CORNETTE v. GRAVER) is published on Counsel Stack Legal Research, covering District Court, W.D. Pennsylvania primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
CORNETTE v. GRAVER, (W.D. Pa. 2020).

Opinion

IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF PENNSYLVANIA JAMES “JIM” CORNETTE, ) Case No. 3:19-cv-219 ) Plaintiff, ) ) JUDGE KIM R. GIBSON v. ) ) BRANDON GRAVER, WILLIAM J, yo MOLNAR, JR, individually and d/b/al ) THE INDY CONNECTION, THEINDY _) CONNECTION, INC., SHOPIFY, INC., _) and SHOPIFY (USA), INC. ) ) Defendants. ) MEMORANDUM OPINION I. Introduction James “Jim” Cornette (“Cornette”), a professional wrestling commentator and

personality, brought this trademark action against Defendants Brandon Graver

(“Graver”), William J. Molnar (“Molnar”), The Indy Connection, Inc. (the “The Indy Connection”), Shopify, Inc. (“Shopify”), and Shopify (USA), Inc. (“Shopify USA”).’ Cornette alleges that G-Raver and the Shopify Defendants have infringed his trademark

rights and right of publicity by selling disparaging t-shirts bearing his likeness. G-Raver

moved to dismiss, arguing that the First Amendment precludes Cornette’s claims because

G-Raver’s conduct was parodic and satirical and that its actions are unlikely to cause

confusion among consumers. The Shopify Defendants also moved to dismiss, arguing that this Court lacks personal jurisdiction over Shopify USA and that the Complaint fails

1 The Court will refer to Graver, Molnar, and The Indy Connection collectively as “G-Raver” and Shopify and Shopify USA as the “Shopify Defendants.”

to state a claim because Cornette failed to allege that the Shopify Defendants engaged in unlawful conduct. The Motions to Dismiss (ECF Nos. 21, 23, 25) are fully briefed (ECF Nos. 22, 24, 26, 33, 34)) and ripe for disposition. This Court DENIES G-Raver’s Motion to Dismiss, GRANTS the Shopify Defendants’ Motion to Dismiss, DENIES AS MOOT Shopify USA’s Motion to Dismiss

for Lack of Personal Jurisdiction, and holds that Cornette has stated Lanham Act, state

trademark, and right of publicity claims against G-Raver, that Cornette has failed to state

a claim against the Shopify Defendants, and that whether the Court has personal jurisdiction over Shopify USA is moot. II. Jurisdiction and Venue This Court has subject-matter jurisdiction over Cornette’s Lanham Act claims

because they arise under federal law. 28 U.S.C. §§ 1331, 1338. The Court has

supplemental jurisdiction over the remaining state law claims because they form part of

the same case or controversy as the federal claims. 28 U.S.C. § 1367. This Court also has

subject matter jurisdiction over the state law claims because the parties are citizens of

different states and the amount in controversy exceeds $75,000. 28 U.S.C. § 1332.

Shopify USA contests whether this Court has personal jurisdiction? and as

jurisdictional issues go to the power of the Court to resolve the issues before it, the Court

would ordinarily address Shopify USA’s jurisdictional argument first. However, as the

Court concludes that Cornette has failed to state a claim against the Shopify Defendants, it

need not consider the jurisdictional issues posed by Shopify USA’s Motion.

2 Shopify USA is the only party to contest this Court's personal jurisdiction.

Venue is proper because a substantial part of the events giving rise to this action occurred in the Western District of Pennsylvania. 28 U.S.C. § 1391. Ill. Factual Background This lawsuit centers around various personalities in, and types of, professional wrestling. The heart of the case involves the sale by G-Raver through the Shopify Defendants’ platform of t-shirts portraying Cornette’s likeness in a manner that allegedly interferes with Cornette’s trademarks. The Court draws the following facts, which it takes

as true for the purpose of deciding these Motion, from Cornette’s Amended Complaint. (ECF No. 18). A. Cornette and the Wrestling World Cornette, a Kentucky resident, is a lifelong fan of professional wrestling and has

worked in the field since the age of fourteen. (ECF No. 18 {{ 6-8.) Cornette began managing wrestling teams in 1982, and eventually became a wrestling personality on the

tv program World Championship Wrestling. (Id. 1] 11-12.) Cornette has also owned and

operated his own wrestling companies, as well as worked in high-level positions at

several other wrestling companies, including World Wrestling Entertainment (“WWE”) and the World Wrestling Federation (“WWF”). (Id. [J 13-14.) Cornette has commentated

on professional wrestling matches since the early 1990s and is recognized as an expert? on

the history of professional wrestling. (Id. {7 15-18.) He has also been extensively involved in developing professional wrestling talent. (Id. 1 19.)

3 The Amended Complaint does not specify who exactly regards Cornette as an expert, but the Court assumes that the Amended Complaint means the professional wrestling fandom.

As a result of his extensive experience in the wrestling arena, Cornette has formed opinions about professional wrestling and has also developed a professional persona. (Id. { 20.) Cornette currently hosts two podcasts, “The Jim Cornette Experience” and “Jim Cornette’s Drive-Thru,” which both focus on wrestling. (Id. J 21.) Cornette also has a website, www jimcornette.com, which offers merchandise including t-shirts, books, and memorabilia, and also has commentary, podcasts and other information related to wrestling. (Id. J 22.) B. Graver and Deathmatch Wrestling Graver, a professional wrestler who wrestles under the ring name of “G-Raver,” resides in Altoona, Pennsylvania; he began wrestling in 2007. (Id. 23-24.) Graver

engages in a type of wrestling known as “deathmatch” wrestling. (Id. 1 25.) Ina

deathmatch contest, the wrestlers, such as Graver, hit each other with improvised

weapons, such as tables, ladders, barbed wire, glass, and fluorescent light tubes; as a

result, deathmatch wrestlers are often injured and bloodied by the end of a match. (Id.) Cornette has been and is a vocal opponent of deathmatch wrestling. (Id.) C. Graver and Cornette Argue over Deathmatch Wrestling On August 31, 2019, a wrestling fan tweeted‘ Cornette a video of a recent

deathmatch involving Graver. (Id. 1 38.) In the video, Graver suffered a serious injury to

his arm from a broken fluorescent light tube. (Id.) Cornette re-tweeted the video, adding that Graver had taken “a nasty little nick” from the light, and that “if fans were lucky[, the

organizers] probably stopped the show so everyone could watch [Graver] bleed out.” (Id.

4i.e., used the social media platform Twitter to publicly contact Cornette.

{ 39.) Graver responded, telling Cornette “let me see you at a convention, I’ll spit in your fucking mouth. You’ve done nothing to me. Now you're an advocate for death?” (Id. T 40.) Cornette responded, stating that Graver and his opponent were both “stupid dumb fucks doing something stupid they shouldn’t have been doing,” and were doing something that “even a blind man could have seen was going to cause serious injury, all

to pretend to be ‘pro wrestlers’ in front of a handful of idiots.” (Id. J 41.) Graver again replied stating that when Cornette dies “from old age, I’ll be there to piss all over you. Can't wait.” (Id. { 42.) D. Graver, Molnar, and The Indy Connection use the Shopify Defendants’ Platform to Sell Cornette T-Shirts Molnar, a Pennsylvania resident, owns and operates The Indy Connection, an e-

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Bluebook (online)
CORNETTE v. GRAVER, Counsel Stack Legal Research, https://law.counselstack.com/opinion/cornette-v-graver-pawd-2020.