Mirza v. Doe 1

District Court, S.D. New York·Decided October 6, 2021·No. 1:20-cv-09877·Unknown

Opinion

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK DR. MUHAMMAD MIRZA and ALLIED MEDICAL AND DIAGNOSTIC SERVICES, LLC,

Plaintiffs,

CIVIL ACTION NO.: 20 Civ. 9877 (PGG) (SLC) -v-

OPINION AND ORDER

JOHN DOE #1 a/k/a John D., a Yelp.com user, JOHN DOE #2 a/k/a Elizabeth M., a Yelp.com user, JOHN DOE #3 a/k/a Robert R. a Yelp.com user, JOHN DOE #4 a/k/a Zoe C., a Yelp.com user, JOHN DOE #5 a/k/a Caroline P., a Yelp.com user, JOHN DOE #6 a/k/a Yelena P., a Yelp.com user, JOHN DOE #7 a/k/a Lana W., a Yelp.com user, JOHN DOE #8 a/k/a Zin N., a Yelp.com user, JOHN DOE #9 a/k/a Carly D., a Yelp.com user,

Defendants. SARAH L. CAVE, United States Magistrate Judge.

I. INTRODUCTION Before the Court is the motion of Plaintiffs Dr. Muhammad Mirza (“Dr. Mirza”) and Allied Medical and Diagnostic Services, LLC (“AMDS”) (together, “Plaintiffs”) pursuant to Federal Rule of Civil Procedure 26 requesting leave to serve a third-party subpoena (the “Subpoena”) on Yelp.com (“Yelp”) to ascertain the identities of the John Doe Defendants (the “Motion”). (ECF Nos. 18; 19 at 1; 23 at 1). Plaintiffs argue in their supporting Memorandum of Law (the “Memorandum”) that this discovery is necessary to “identify Defendants and prevent them from continuing their defamatory and harmful activity” and to advance the litigation of this action. (ECF No. 19 at 4, 14). For the reasons that follow, Plaintiffs’ Motion is GRANTED. II. BACKGROUND A. Factual Background Plaintiffs allege the following facts in their Complaint. (ECF No. 1; see also ECF No. 19).

Dr. Mirza is a medical doctor, board-certified in internal medicine, and licensed in New York and New Jersey. (ECF No. 1 ¶ 4; see also ECF No. 19 at 2). Dr. Mirza “is not a public official and not a public figure,” id., but he does own and operate the AMDS medical practice. (ECF No. 1 ¶ 10; see also ECF No. 19 at 2). “As part of Dr. Mirza’s medical practice, he offers injections of Botulinum toxin A, commonly known as ‘Botox,’ manufactured by Allergen PLC, along with

cosmetic treatments using other products.” (ECF No. 1 ¶ 14; see also ECF No. 19 at 2). Some unsatisfied “patients who have undergone cosmetic procedures have chosen to voice [allegedly] false and defamatory accusations on Yelp,” which the Court collectively refers to as the “Reviews.” (ECF No. 1 ¶ 17; see also ECF No. 19 at 3). As set forth in the Memorandum, Yelp is: a local business review and social networking site. The site has pages devoted to individual locations, such as restaurants, stores, and service providers, where Yelp [users] . . . submit reviews [for] the businesses using a one to five star [sic] rating scale. . . .Yelp[] collects name, email address, password, and zip code when a user sign[s] up for an account. The sign-up process does not require verifying a user’s name or address with any identity information. . . . Users on Yelp[] can use pseudonyms . . . [and] Yelp[] does not verify the names[.] . . . Thus, it is often impossible to know who wrote a particular review based solely on publicly displayed information. . . [In addition,] Yelp[] does not display users’ email addresses or other contact information for public consumption. However, Yelp[] tracks and stores mechanical information about users’ activity, including IP address and geolocation information. . . . Based on Plaintiffs’ and their counsel’s prior experiences with Yelp[], Yelp[] refuses to provide this information to third parties without a subpoena.

(ECF No. 19 at 3–4) (internal citations omitted); Privacy Policy, Yelp, https://terms.yelp.com/privacy/en_us/20200101_en_us/#Information-We-Collect-and-How- We-Use-It (“When you create a Yelp account, we store and use the information you provide during that process, such as the first and last name you enter, email address, zip code, physical address, and any other information you may provide during the account creation process, such

as a gender, phone number, or birth date.”). On November 21, 2019, Defendant “John Doe #1,” whose Yelp pseudonym is “John D.” and whose account is based in “Day, FL” (“Defendant #1”) wrote that Dr. Mirza is: “[p]retty terrible, rude and he's very ugly also he's a scam and a troll artist I think he may also be autistic and a little crazy in the head[.]”1 (ECF No. 1 ¶ 18).

On December 26, 2019, Defendant “John Doe #2” whose Yelp pseudonym is “Elizabeth M.” and whose account is based in “Lancaster, PA” (“Defendant #2”) also wrote a negative review making such statements as: “Dr. Mirza was extremely unprofessional and unsanitary;” “[he] crammed all of us in a tiny meeting room;” “Dr. Mirza's assistant . . . was extremely rude;” and “he g[a]ve me the wrong product, [and] I paid 500$ worth of botox to maybe get 50$ worth injected.”2 (ECF No. 1 ¶ 25).

On January 22, 2020, Defendant “John Doe #3” whose Yelp pseudonym is “Robert R.” and whose account is based in “Jessup, MD” (“Defendant #3”) wrote, in relevant part: “Mirza is a hack. Works out of gym bags in some back end storage room that was sketchy and dirty. . . .

1 Mirza Aesthetics, John D., Yelp, https://www.yelp.com/biz/mirza-aesthetics-new-york- 9?hrid=DGAHH0Lccny5Q6xdL25qaA&utm_campaign=www_review_share_popup&utm_medium=copy_l ink&utm_source=(direct) (last visited Sept. 28, 2021). 2 Mirza Aesthetics, Elizabeth M., Yelp, https://www.yelp.com/biz/mirza-aesthetics-new-york-6?hrid=GX- Eoln36Lr9RbgOBjfEfQ&utm_campaign=www_review_share_popup&utm_medium=copy_link&utm_sour ce=(direct) (last visited Sept. 28, 2021). [Y]our botox is fake. Stop scamming people. And PS, fillers and other aesthetic products need to be refrigerated, not kept in your son's basketball duffel collection.”3 (ECF No. 1 ¶ 33). On February 28, 2020, Defendant “John Doe #4” whose Yelp pseudonym is “Zoe C.” and

whose account is based in “Manhattan, NY” (“Defendant #4”) wrote a review claiming that Dr. Mirza’s “filler is diluted” and that when she “[w]ent to [him] paid $400 (even tho it was advertise[d] at $350) and within 3 weeks the filler had dissolved.”45 (ECF No. 1 ¶ 40). On March 20, 2020, Defendant “John Doe #5” whose Yelp pseudonym is “Caroline P.” and

whose account is based in “Lake in the Hills, IL” (“Defendant #5”) wrote that Dr. Mirza is an “imposter of a doctor” who “is posting ads on Instagram to lure clients in for 50% Botox.”6 (ECF No. 1 ¶ 47). On August 6, 2020, Defendant “John Doe #6” whose Yelp pseudonym is “Yelena P.” and whose account is based in “New York, NY” (“Defendant #6”) wrote that Dr. Mirza is a “[p]op-up

quack doctor who will gladly botch up your face and have you pay for it.” She added that patients

3 Mirza Aesthetics, Robert R., Yelp, https://www.yelp.com/biz/mirza-aesthetics-new-york- 9?hrid=N3xJVECus6h- oBxRHDQmzA&utm_campaign=www_review_share_popup&utm_medium=copy_link (last visited Sept. 29, 2021). 4 Botox Juvederm Doctor, Zoe C., Yelp, https://www.yelp.com/biz/botox-juvederm-doctor-new- york?hrid=pDQvIc_0pZ4LGgU_- vt8DA&utm_campaign=www_review_share_popup&utm_medium=copy_link&utm_source=(di (last visited Sept. 29, 2021). 5 Defendant #4 is a Yelp “Elite” member. Zoe C., Yelp, https://www.yelp.com/user_details?userid=7n1NsVA2s7JhEuEmhQGyCw (last visited Sept. 29, 2021). 6 Mirza Aesthetics, Caroline P., Yelp, https://www.yelp.com/biz/mirza-aesthetics-new-york- 9?hrid=lZyk8iz4r8aNO6LXTXPlNg&utm_campaign=www_review_share_popup&utm_medium=copy_link &utm_source=(direct) (last visited Sept. 29, 2021). “might be getting pumped full of windex . . .So if you enjoy looking disfigured, you found your perfect ‘doctor.’"7 (ECF No. 1 ¶ 54). On June 23, 2020 Defendant “John Doe #7” whose Yelp pseudonym is “Lana W.” and

whose account is based in “Bethesda, MD” (“Defendant #7”) wrote that Dr.

Free access — add to your briefcase to read the full text and ask questions with AI

Mirza v. Doe 1, (S.D.N.Y. 2021).

Mirza v. Doe 1 (Mirza v. Doe 1) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Kirch v. Liberty Media Corp.
449 F.3d 388 (Second Circuit, 2006)
Davis v. Costa-Gavras
580 F. Supp. 1082 (S.D. New York, 1984)
Singer v. Beach Trading Co., Inc.
876 A.2d 885 (New Jersey Superior Court App Division, 2005)
Condit v. Dunne
317 F. Supp. 2d 344 (S.D. New York, 2004)
Sony Music Entertainment Inc. v. Does 1-40
326 F. Supp. 2d 556 (S.D. New York, 2004)
Idema v. Wager
120 F. Supp. 2d 361 (S.D. New York, 2000)
Kavanagh v. Zwilling
578 F. App'x 24 (Second Circuit, 2014)
Torati v. Hodak
2017 NY Slip Op 1160 (Appellate Division of the Supreme Court of New York, 2017)
Adelson v. Harris
876 F.3d 413 (Second Circuit, 2017)
TransUnion LLC v. Ramirez
594 U.S. 413 (Supreme Court, 2021)
Idema v. Wager
29 F. App'x 676 (Second Circuit, 2002)
Catalanello v. Kramer
18 F. Supp. 3d 504 (S.D. New York, 2014)
Bellavia Blatt & Crossett, P.C. v. Kel & Partners LLC
151 F. Supp. 3d 287 (E.D. New York, 2015)
Adelson v. Harris
973 F. Supp. 2d 467 (S.D. New York, 2013)
Kavanagh v. Zwilling
997 F. Supp. 2d 241 (S.D. New York, 2014)
Ayyash v. Bank Al-Madina
233 F.R.D. 325 (S.D. New York, 2005)
Stern v. Cosby
246 F.R.D. 453 (S.D. New York, 2007)
Digital Sin, Inc. v. Does 1-176
279 F.R.D. 239 (S.D. New York, 2012)