Dice Corp. v. Bold Technologies

913 F. Supp. 2d 389, 2012 WL 5292920, 2012 U.S. Dist. LEXIS 153234
CourtDistrict Court, E.D. Michigan
DecidedOctober 25, 2012
DocketCase No. 11-13578
StatusPublished

This text of 913 F. Supp. 2d 389 (Dice Corp. v. Bold Technologies) is published on Counsel Stack Legal Research, covering District Court, E.D. Michigan primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Dice Corp. v. Bold Technologies, 913 F. Supp. 2d 389, 2012 WL 5292920, 2012 U.S. Dist. LEXIS 153234 (E.D. Mich. 2012).

Opinion

OPINION AND ORDER GRANTING DEFENDANT’S MOTION FOR SUMMARY JUDGMENT AND DISMISSING COMPLAINT WITH PREJUDICE

THOMAS L. LUDINGTON, District Judge.

In this intellectual property dispute, Plaintiff Dice Corporation alleges that Defendant Bold Technology accessed Plaintiffs servers and stole its software. Defendant denies that it did any such thing. Relying on deposition testimony, affidavits, [392]*392and other evidence showing that it neither accessed Plaintiffs servers nor its software, Defendant now moves for summary judgment. Plaintiff opposes the motion. The opposition, however, is based on conclusory assertions', not evidence. The Court will grant Defendant’s motion.

I

A

Plaintiff is a Michigan corporation with its principal place of business in Bay City, Michigan. Second Am. Compl. ¶ 1. It was founded in 1992 by Mr. Clifford Dice, who is its president, chief executive officer, and sole owner. Dice Dep. 7, Feb. 29, 2012, attached as Def.’s Mot. for Summ. J. Ex. A. Defendant is an Illinois corporation with its principal place of business in Colorado Springs, Colorado. Id. ¶ 2.

Competitors, Plaintiff and Defendant both provide software for companies in the alarm industry. Dice Dep. 8, 13; Coles Aff. ¶ 3, attached as Def.’s Mot. Ex. B. That is, Plaintiff and Defendant license software enabling alarm companies to monitor their customers’ alarms. Customers pay the alarm companies to monitor various types of alarms (such as burglar and fire alarms). Coles Aff. ¶ 3; see Dice Aff. ¶4, attached as Pl.’s Resp. to Def.’s Mot. for Summ. J. Ex. A. The alarms send signals to receivers located at the alarm companies. Coles Aff. ¶ 3. When an emergency signal is sent, the company contacts the appropriate authorities (such as police or fire departments). Id. Larger alarm companies have hundreds of thousands of customers. Id. ¶ 4. Companies like Plaintiff and Defendant create the software that monitors the signals. Id.

To operate their businesses, the alarm companies must also collect large amounts of data regarding their customers, including “names, addresses, contact information, billing information, [and] information regarding the type and location of alarms.” Id. The data is compiled in databases within software that the alarm companies license from companies like Plaintiff and Defendant. Id.

On a basic level, Plaintiffs and Defendant’s software thus performs the same functions: compiling information and monitoring signals for the alarm companies. Coles Aff. ¶ 3. On a technical level, however, the software is much different. Plaintiffs software operates on a Linux platform and is written in the Thoroughbred Basic computer language.1 Narowski Aff. ¶ 5, attached as Def.’s Mot. Ex. D. Defendant’s software operates on a Windows platform and is written in the Microsoft computer languages C++ and Visual Basic. Id. Plaintiff licenses its software simply as “Dice software”; Defendant licenses its software under the trade name “Manitou.” Coles Aff. ¶¶ 2-3.

B

One such alarm company, ESC Central, was one of Plaintiffs customers for a decade; it is now one of Defendant’s customers. See Jennings (formerly Harris) Dep. 13, attached as Def.’s Mot. Ex. F. The present litigation arises out of this transition.

ESC Central provides services to about 400 dealers and 50,000 customers. Jennings Dep. 7. Located in Birmingham, Alabama, it began licensing Dice software in 2001. Id. at 6,10.

[393]*393ESC Central’s operations manager is Kristi Jennings (formerly Harris). During the decade that ESC Central was one of Plaintiffs customers, Ms. Jennings was actively involved in Plaintiffs operations, chairing its “user group,” serving on its “chart committee,” and even selling software on Plaintiffs behalf.

The “user group” received suggested software changes to Plaintiffs software from customers. Id. at 12. The group would then meet and vote on which features to incorporate into future editions of Plaintiffs software. Id. Ms. Jennings chaired Plaintiffs user group from 2005 through 2010. Id. at 11.

Ms. Jennings was also a member of Plaintiffs “chart code committee.” Id. at 20. The alarms are programed to send signals to receivers located at the alarm companies’ offices. Signals include alerts for fire, flood, burglary, and other types of events. The “event codes,” however, vary from manufacturer (for example, one manufacture would code fire as “1” while another would code fire as “3”). Id.

Plaintiffs chart code committee compiled this manufacturer information to update Plaintiffs “ALSCHART” file. Id. This file, Plaintiffs user manual explains, is a data file containing information regarding “incoming signals from zones and other information about processing.” Dice Knowledge Base Article 3-1.2 (Sept. 12, 2003), attached as Def.’s Mot. Ex. G. Discussing the chart committee’s responsibility, Ms. Jennings explained in her deposition: “Our task was to chart codes from manufacturers and submit them to Dice.” Jennings Dep. 20. She was then asked:

Q: So how would you go about doing that?
A: We would contact the manufacturers and ask them....
Q: So what did Dice do with the chart codes that were submitted by the committee?
A: They would take it and update it inside Dice software.
Q: And where in the Dice software would we go to find this listing of all the codes?
A: Within their chart codes.
Q: Where is that? What is the name of that file?
A: The ALS[CHART] codes.
Q: ALS[CHART]?
A: Yes....
Q: And just to be clear, they were— these codes were simply the manufacturers’ codes that had been assigned by the various manufacturers for these various types of signals, and then these codes were all accumulated within this file called ALS[CHART] which was part of the Dice software?
A: Yes.

Jennings Dep. 20-22. See also Dice Knowledge Base Article (Sept. 12, 2003). And Ms. Jennings also sold software on Plaintiffs behalf. Id. at 13. In her deposition, she was asked:

Q: Well, to be able to do that, did you have any particular training or knowledge on the software that would allow you to effectively sell the software for Dice?
A: The best sales tool to me is the fact that I used it every day, and I knew the in’s and out’s of the software and how it worked.
Q: Would you consider yourself to be extremely knowledgeable on the Dice software?
A: Yes.
[394]*394Q: So how many times do you think you actually did sales demos for Dice?
A: I don’t know an exact number. If I was to estimate, I would say at least 20 times.

Jennings Dep. 13-14.

C

Before the Dice user group meeting in August 2010, Ms.

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Bluebook (online)
913 F. Supp. 2d 389, 2012 WL 5292920, 2012 U.S. Dist. LEXIS 153234, Counsel Stack Legal Research, https://law.counselstack.com/opinion/dice-corp-v-bold-technologies-mied-2012.