Real World Media LLC v. Daily Caller, Inc.

CourtDistrict Court, District of Columbia
DecidedAugust 14, 2024
DocketCivil Action No. 2023-1654
StatusPublished

This text of Real World Media LLC v. Daily Caller, Inc. (Real World Media LLC v. Daily Caller, Inc.) is published on Counsel Stack Legal Research, covering District Court, District of Columbia primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Real World Media LLC v. Daily Caller, Inc., (D.D.C. 2024).

Opinion

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA

REAL WORLD MEDIA LLC, Plaintiff, v. Civil Action No. 23-1654 (JDB) THE DAILY CALLER, INC.; DOES 1–20, Defendants.

MEMORANDUM OPINION

In this copyright action, plaintiff Real World Media LLC (“RWM”) alleges that The Daily

Caller, Inc. and its employees (“Daily Caller”) copied portions of at least fourteen of RWM’s

YouTube news videos and posted them on its own channels. RWM asserts claims for copyright

infringement, 17 U.S.C. § 101 et seq., and for violations of the Digital Millenium Copyright Act

(“DMCA”), id. § 1201 et seq. Before the Court are Daily Caller’s motion to dismiss and motion

to refer RWM’s copyright registrations to the Register of Copyrights. For the reasons that follow,

the Court will deny both motions.

Background

I. Factual Background

The following information is drawn from the allegations in RWM’s complaint, documents

attached to the complaint or incorporated therein by reference, and matters of which the Court may

take judicial notice. Hurd v. D.C., Gov’t, 864 F.3d 671, 678 (D.C. Cir. 2017). The Court addresses

those materials that are appropriately considered in greater detail below.

RWM is an investigative journalism organization that produces and publishes news videos

related to law enforcement, crime, and transportation safety. Compl. [ECF No. 1] ¶ 8. It identifies

newsworthy events such as arrests and police chases and then obtains public-record videos (often

1 body-camera or dash-camera footage) of these events from police departments and other public

agencies. Id. ¶ 13; id. App. A.; see Notice of Lodging of Ex. 1 to Compl. [ECF No. 2] (“RWM

Ex. 1”). To obtain the videos, RWM uses public records requests, pays access fees, and—when

necessary—utilizes litigation. Compl. ¶ 13. RWM then stitches the videos together to tell the

story of the event. See id. Its “creative editorial process includes, among other things, the

selection, sequencing, editing, and arrangement of different videos and portions thereof”—for

example, “the amount of time to display each video and audio clip, which camera angle to use at

which time, and whether to crop the footage to focus on specific details.” Id. RWM’s news videos

are “frequently created from hundreds of such selections.” Id. RWM also includes a title sequence

and preview at the beginning of its videos. See, e.g., RWM Ex. 1. RWM generally registers

copyrights for its videos. See Compl. ¶¶ 14, 19.

RWM posts its news videos to two RWM YouTube channels that collectively have around

1,230 videos, 1.65 million subscribers, and 700 million video views. Id. ¶ 12. RWM’s work is

sustained by revenue generated based on the number of views its videos receive. Id. ¶ 8.

Daily Caller is a for-profit Washington, D.C.-based media company founded by Tucker

Carlson and Neil Patel. Id. ¶¶ 2, 9. It has a YouTube channel with around 7,200 videos and 380

million views. Id. ¶ 15. Daily Caller also posts videos on its Facebook Page. Id. Like RWM,

Daily Caller earns revenue from these video postings. Id. ¶ 16.

Daily Caller allegedly copied portions of at least fourteen of RWM’s copyrighted videos

without authorization and posted them on its YouTube channel and Facebook Page. Id. ¶¶ 14, 19,

26. For example, Daily Caller copied seventeen minutes of RWM’s twenty-six-minute video

“Florida Woman Arrested for Wrong Way Drunk Driving” and posted the copy on YouTube and

Facebook. Id. ¶ 18; see RWM Ex. 1. Other copied videos include features such as “155 MPH in

2 a 65 | Nevada’s Fastest Speeding Ticket of 2019” and “Man on Peyote Baptizes Himself, Hides

Under Garbage Can Lid.” Compl. App. A. Each of the original RWM videos included a RWM

title sequence, and most (or perhaps all) also included a RWM watermark. Compl. ¶ 21. In the

copies, Daily Caller removed RWM’s title sequence, removed the RWM watermark (in some

instances), and removed the original video title and other information. Id. ¶¶ 21, 34–35. Many of

Daily Caller’s copies have received millions of views. Id. ¶ 4.

RWM discovered the copies in April 2023 and sent takedown notices to YouTube. Id.

¶ 21. In response, Daily Caller sent counter notices requesting that YouTube reinstate the allegedly

infringing material. Id. Daily Caller did not remove the copies posted to its Facebook Page. Id.

II. Procedural History

RWM filed the present action against Daily Caller in June 2023. Id. at 13. Its complaint

asserts two counts: (1) copyright infringement and (2) violations of the Digital Millenium

Copyright Act. Id. ¶¶ 23–43. RWM seeks damages, attorney’s fees, and injunctive relief. Id. at

12–13. Attached to the complaint is a side-by-side comparison of RWM’s “Florida Woman

Arrested for Wrong Way Drunk Driving” video—one of the fourteen videos identified in the

complaint—and Daily Caller’s allegedly infringing video. See RWM Ex. 1. RWM believes that

Daily Caller has copied other of RWM’s copyrighted works beyond the fourteen identified and

seeks to identify such works through discovery. Compl. ¶ 19.

Daily Caller moved to dismiss RWM’s complaint and concurrently moved to refer RWM’s

copyrights to the Register of Copyrights pursuant to 17 U.S.C. § 411(b)(2). See Def.’s Mot. to

Dismiss Pl.’s Compl. [ECF No. 15]; Mem. in Supp. of Def.’s Mot. to Dismiss Compl. [ECF No.

15-1] (“MTD”); Def.’s Mot. to Refer Pl.’s Registrations to Register of Copyrights [ECF No. 16];

Mem. in Supp. of Def.’s Mot. to Refer Pl.’s Registrations to Register of Copyrights [ECF No. 16-

3 1] (“MTR”). Daily Caller attached extensive extra-record materials to both motions: over 330

pages of exhibits to its motion to dismiss, accompanied by a request for judicial notice, and over

1,280 pages of exhibits to its motion to refer. See Exs. A–E to MTD [ECF No. 15-3 to 15-7]; Exs.

A–N to MTR [ECF No. 16-3 to 16-16]. RWM opposed both motions, see Pl.’s Opp’n to MTD

[ECF No. 18] (“MTD Opp’n”); Pl.’s Opp’n to MTR [ECF No. 19] (“MTR Opp’n”), and Daily

Caller filed replies, see Reply Mem. in Supp. of Def.’s MTD [ECF No. 22] (“MTD Reply”); Reply

Mem. in Supp. of Def.’s MTR [ECF No. 23] (“MTR Reply”). Along with its replies, Daily Caller

submitted copies of all fourteen RWM videos and allegedly infringing Daily Caller videos at issue.

See Exs. 1–15 & A–J to MTD Reply [ECF No. 22-1 to 22-27] (“Video Exs.”). RWM filed a

response objecting to the inclusion of this new material for the first time at the reply stage. See

Pl.’s Evidentiary Objs. to Def.’s Evid. Submitted for First Time with Reply [ECF No. 24] (“Video

Objs.”). Several months later, RWM filed a notice of supplemental authority, see Notice of Suppl.

Auth. [ECF No. 26], Daily Caller filed a response along with its own notice of supplemental

authority, see Resp. to Pl.’s Notice of Suppl. Auth & Def.’s Notice of Suppl. Auth. [ECF No. 27]

(“Def.’s Suppl. Auth.”), and RWM filed a response to Daily Caller’s supplemental authority, see

Pl.’s Resp. to Def.’s Suppl. Auth. [ECF No. 29].

Both motions are now fully briefed and ripe for resolution. While Daily Caller requests an

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