Northland Family Planning Clinic, Inc. v. Center for Bio-Ethical Reform

868 F. Supp. 2d 962, 40 Media L. Rep. (BNA) 2279, 103 U.S.P.Q. 2d (BNA) 1514, 2012 WL 2354350, 2012 U.S. Dist. LEXIS 83732
CourtDistrict Court, C.D. California
DecidedJune 15, 2012
DocketCase No. SACV 11-731 JYS (ANx)
StatusPublished
Cited by1 cases

This text of 868 F. Supp. 2d 962 (Northland Family Planning Clinic, Inc. v. Center for Bio-Ethical Reform) is published on Counsel Stack Legal Research, covering District Court, C.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Northland Family Planning Clinic, Inc. v. Center for Bio-Ethical Reform, 868 F. Supp. 2d 962, 40 Media L. Rep. (BNA) 2279, 103 U.S.P.Q. 2d (BNA) 1514, 2012 WL 2354350, 2012 U.S. Dist. LEXIS 83732 (C.D. Cal. 2012).

Opinion

[966]*966ORDER RE CROSS MOTIONS FOR SUMMARY JUDGMENT

JAMES V. SELNA, District Judge.

Plaintiff Northland Family Planning Clinic, Inc. (“Northland”) claims that Defendants Center for Bio-Ethical Reform (“CBR”), Gregg Lee Cunningham (“Cunningham”), Donald Cooper (“Cooper”), Seth Gruber (“Gruber”), Todd Bullís (“Bullís”), Reel to Real Ministries, Inc., doing business as The Apologetics Groups (“TAG”), and Eric Holmberg (“Holmberg”) (collectively, “Defendants”), infringed Northland’s copyrighted video, “Every Day, Good Women Choose Abortion” (the “Northland Video”), by creating three videos that feature excerpts of the Northland Video. Defendants claim fair use. The parties have brought cross motions for summary judgment. (Defs.’ Mot. Br., Docket No. 40; Pl.’s Mot. Br., Docket No. 44.) Northland seeks a partial judgment finding that Defendants infringed North-land’s copyright and cannot avail themselves of the fair use defense.1 Defendants move for summary judgment finding that certain individuals did not infringe Northland’s copyright, and that any use of the Northland Video is insulated by the fair use defense. For the following reasons, Northland’s Motion is DENIED and Defendants’ Motion is GRANTED.

I. Background

Northland runs family planning clinics in the greater Detroit area of Michigan. (Declaration of Sara G. Wilcox (“Wilcox Deck”), Ex. A, Deposition of Renee Chelian (“Chelian Dep.”) 19:6-7, 22:22-23:2, Docket No. 56.) Northland created the Northland Video in late 2009 to be used for outreach, counseling, and education in an effort to de-stigmatize abortion. (Id. at 57:20-58:7; Declaration of Rene Chelian (“Chelian Deck”) ¶2, Docket No. 57.) The message of the Northland Video is that abortion is not uncommon, and that women are good regardless of how they exercise their reproductive rights. (Id.; Notice of Filing of Exs., Chelian Dep., Ex. 8, Docket No. 50.) The Northland Video conveys that the clinic offers guidance to women who are struggling to feel good about themselves after having an abortion and women who are grappling with the decision whether to terminate their pregnancy. (Chelian Dep., Ex. 6.) Northland founder, Rene Chelian, and her employees spent significant time and creative effort writing and revising the script they used to create the Northland Video. (See id. at 83:2-25.) Northland registered a copyright for the Northland Video with the United States Copyright Office in 2009. (Wilcox Deck, Ex. D.) Northland posted the Northland Video on its website and on YouTube in November 2009. (First Amended Compl. (“FAC”) ¶ 22.)2

Beginning in early 2011, Defendants made a series of videos using unaltered segments of the Northland Video without Northland’s permission. TAG, acting through its director and sole employee, Eric Holmberg, created a 1 minute and 17 second video that uses several verbatim segments of the Northland Video (the “TAG Video”). (Ph’s Notice of Lodging, Ex. F, Deposition of Eric Holmberg [967]*967(“Holmberg Dep.”) 17:19-22, 20:11-16, 37:10-25, Docket No. 77.) The TAG Video alternates between images from the Northland Video and images depicting alleged abortions. (Id. at Ex. 39.) The narrative from the Northland Video continues while the screen shows graphic, up-close images of the surgical procedure of dismembering and removing fetuses, many of which have discernible limbs or appear to be nearly viable. (Id.) The TAG Video uses the segments of the Northland Video in the same order as they appear in the original; Northland’s logo and copyright mark remain as they did in the original. (Id.) The TAG Video closes with North-land’s name, telephone number, and the words “Your Dead baby at 10 to 12 weeks,” superimposed over a bloody, dismembered fetus. (Id.) Holmberg testified that he created the TAG Video to expose the “fallacies” of the Northland Video. (Id. at 39:1-8, 40:18-41:5.) He stated that he made the TAG Video “quickly,” and posted it on his private YouTube channel a “few hours” after viewing the Northland Video. (Id.) Holmberg then emailed the link to the TAG Video on YouTube to an unknown number of persons, including Cunningham. (Id. at 45:3-20; Wilcox Deck, Ex. I.) The TAG Video was posted to a high-traffic anti-abortion blog called JillStanek.com, (Wilcox Deck, Ex. J), and Cunningham, the director of CBR, instructed Cooper, CBR’s manager, to post the TAG Video on the CBR website with a credit to TAG, (Id. at Ex. K).

Then Cunningham decided to make his own video. Acting on behalf of CBR, Cunningham directed a contractor to create a video using segments from the Northland Video, the TAG Video, and clips of “the strongest abortion-in-progress shots” from other canned footage. (Id. at Ex. L.) Cunningham instructed the contractor to alternate between the Northland segments and the alleged abortion images, akin to the TAG Video. The resulting video (the “CBR I Video”) opens with a Biblical citation, then alternates between segments of the Northland Video, using both its audio and visual, and the abortion footage, which is accompanied by a foreboding song called “Natural One.” (Id.; Pk’s Notice of Lodging, Ex. A, Deposition of Tod Bullís (“Bullis Dep.”), Ex. 5.) Northland’s logo and copyright remain on the CBR I Video. (Bullís Dep., Ex. 5.) On behalf of CBR and at the direction of Cunningham and Cooper, Gruber posted the CBR I Video to Bullís’ website called Pro-LifeTube.com3 on January 25, 2011. (Wilcox Deck, Ex. R, Deposition of Seth Gruber (“Gruber Dep.”) 30:23-31:17.) Subsequently, Cunningham directed the contractor to add a quotation from George Orwell to the beginning of the CBR I Video, thereby creating the CBR II Video. (Wilcox Deck, Ex. S; Bullís Deck, Ex. 6.) Gruber, on behalf of CBR and at Cunningham’s direction, then posted the CBR II Video on Pro-Life-Tube.com. (Gruber Dep. 30:6-31:1.) Gruber also posted embedded links to the CBR II Video on the CBR website in at least three places, including a link where the Video could be downloaded. (Id. at 33:7-21, 92:9-16, 93:9-94:2.) The CBR Videos contain approximately 2 minutes and 22 seconds of the original 4 minute and 41 second Northland Video, or 43 percent of the original. (Wilcox Deck, Ex. U, Response to First Request for Admission No. 1.) The CBR Videos are each slightly more than four minutes long, and thus the Northland Video footage accounts for approximately half of the CBR Videos. (Id.) It is undisputed that no Defendants sought Northland’s permission to use the North-[968]*968land Video to create the TAG or CBR Videos. (Wilcox Decl., Ex. T, Response to Second Request for Admission No. 64.)

There is some evidence suggesting that CBR uses the CBR Videos for publicity and fundraising. Gruber testified that a button labeled “Donate” in bold appears on every page on which the CBR Videos were posted; however, Gruber also noted that this button appears on the top right corner of the site regardless of which page a user views. (Gruber Dep. 88:5-25.) Cunningham testified that he sent the CBR Videos to “everyone [he] could possibly think of,” and showed them at group meetings “every chance” he got, “everywhere” he went. (PL’s Notice of Lodging, Declaration of Gregg Lee Cunningham (“Cunningham Dep.”) 133:24-134:5.) Cunningham also testified that he shows the CBR Videos “every time” he does a fundraising pitch, but Cunningham claims he does not remember whether he used the CBR Videos in his pitches prior to this lawsuit. (Id.

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868 F. Supp. 2d 962, 40 Media L. Rep. (BNA) 2279, 103 U.S.P.Q. 2d (BNA) 1514, 2012 WL 2354350, 2012 U.S. Dist. LEXIS 83732, Counsel Stack Legal Research, https://law.counselstack.com/opinion/northland-family-planning-clinic-inc-v-center-for-bio-ethical-reform-cacd-2012.