Sisyphus Touring, Inc. v. TMZ Productions, Inc.

208 F. Supp. 3d 1105, 2016 U.S. Dist. LEXIS 130746, 2016 WL 5348550
CourtDistrict Court, C.D. California
DecidedSeptember 23, 2016
DocketCV No. 15-09512-RSWL-PJW
StatusPublished
Cited by1 cases

This text of 208 F. Supp. 3d 1105 (Sisyphus Touring, Inc. v. TMZ Productions, Inc.) 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
Sisyphus Touring, Inc. v. TMZ Productions, Inc., 208 F. Supp. 3d 1105, 2016 U.S. Dist. LEXIS 130746, 2016 WL 5348550 (C.D. Cal. 2016).

Opinion

ORDER Re: DEFENDANTS’ MOTION FOR SUMMARY JUDGMENT [473; PLAINTIFF’S MOTION FOR PARTIAL SUMMARY JUDGMENT [42]; DEFENDANTS’ MOTION PURSUANT TO RULE 56(d) TO DEFER CONSIDERATION OF PLAINTIFF’S MOTION FOR PARTIAL SUMMARY JUDGMENT [59]; DEFENDANTS’ MOTION FOR DEFAULT JUDGMENT [72]

HONORABLE RONALD S.W. LEW, Senior U.S. District Judge

I. INTRODUCTION

Currently before the Court is Defendant MBLC Productions Inc. (formerly known as TMZ Productions, Inc.), TMZ.com, EHM Productions, Inc., and Warner Bros. Entertainment Inc.’s (“Defendants”) Motion for Summary Judgment (“Mot. Summ. J.”), Plaintiff Sisyphus Touring, Inc.’s (“Plaintiff’) Motion for Partial Summary Judgment (“Mot. Partial Summ. J.”), Defendants’ Motion Pursuant to Rule 56(d) to Defer Consideration of Plaintiffs Motion for Partial Summary Judgment (“Mot.”), and Defendants’ Motion for Default Judgment Against Third-Party Defendant Naeem Munaf. The Court, having reviewed all papers and arguments submitted pertaining to this Motion, NOW FINDS AND RULES AS FOLLOWS: Defendants’ Motion for Summary Judgment [42] is GRANTED, Plaintiffs Motion [1108]*1108for Partial Summary Judgment [42] is DENIED as moot, Defendants’ Motion Pursuant to Rule 56(d) to Defer Consideration of Plaintiffs Motion for Partial Summary Judgment [59] is DENIED as moot, and Defendants’ Motion for Default Judgment against Third-Party Defendant Naeem Munaf [72] is DENIED as moot.

II. BACKGROUND

A. Findings of Fact

Plaintiff is a for-profit corporation co-owned by Jared Leto (“Leto”). Stipulated Facts 2:14-17. Leto is an actor, recording artist, and a member of the band Thirty Seconds to Mars. Id. at 2:18-19. MBLC Productions Inc. and EHM Productions, Inc. operate TMZ.com and are for-profit companies. Id. at 3:13-20. Warner Bros. Entertainment Inc. is the “indirect parent company” of MBLC Productions Inc. and EHM Productions, Inc. Id. at 3:15-16. TMZ.com reports on celebrity news through their website and earns revenue from advertisements on the website. Id. at 3:21-22.

Plaintiffs representative, Jared Rosenberg (“Rosenberg”), contacted Naeem Mu-naf (“Munaf’) about shooting a video of Leto on September 8, 2015. Id. at 2:20-22. Munaf had no relationship with Plaintiff prior to September 8, 2015. Id at 2:23-25. Munaf has never been an employee of Plaintiff. Id at 3:1-2. Munaf went to Leto’s home on September 8, 2015 and shot footage of him. Id at 3:3-5. Munaf used his own equipment and no one but Munaf operated his equipment during the video shoot. Id. at 3:6-7.

Plaintiff did not give Munaf any documents prior to the shoot indicating that the work would be a work made for hire. Id. at 3:8-12. Munaf did not sign any agreements prior to the shoot indicating that the work would be a work made for hire. Id.

Munaf, using a pseudonym, “Jake Miller” sent Defendants a message through “TMZ Ideas” on December 4, 2015 at 12:12 a.m. advising he had a clip of Leto talking about singer Taylor Swift. Id at 3:23-27. A representative of Defendants, Anthony Dominic (“Dominic”), contacted Munaf about the excerpt. Id. at 4:3-4. A second representative of Defendants, Nikki Hendry (“Hendry”), contacted Munaf on December 4, 2015 at 1:17 p.m. stating, “[P]er our conversation, both parties have agreed that TMZ will pay you $2,000.00 USD for the outright purchase of 1 video of Jared Leto talking about Taylor Swift. When you have a moment: can you please send me an email back stating T agree’ to the terms of the agreement. I have also attached the contract and W-9 forms. Please print and fill them out and either fax, or scan and email back to me OR take a good clear cell phone photo of the docs and email them back to me. A check will be sent to you in the next 2-3 weeks.” Id at 4:5-14. Munaf responded to the email on December 4, 2015 at 1:20 p.m., stating “I agree. Sending video to Anthony. I will send these forms back soon.” Id. at 4:18-20.

Munaf provided Defendants the weblink to the excerpt on December 4, 2015 showing Leto talking about Taylor Swift. Id. at 5:1-3. Hendry sent an email to TMZ’s news desk on December 4, 2015, with the subject line, “[w]e now OWN and can distribute video of Jared Leto talking about Taylor Swift.” Id at 5:4-8. Defendants advised Leto’s representatives on December 6, 2015 approximately at 4:00 p.m. that Defendants were going to publish an excerpt of Leto talking about Taylor Swift. Id at 5:9-11. Leto and his representatives told Defendants on December 6, 2015 that the video was stolen. Id. at 5:15-16. Rosenberg contacted Munaf on December 6, 2015 at [1109]*1109or after 10:47 p.m. asking he sign a nondisclosure agreement. Id. at 5:17-18. Leto’s representative sent Defendants an email on December 7, 2015 at 12:12 a.m. stating that Leto owned the copyright to the video. Id. at 5:23-25. Munaf sent Plaintiff a scanned copy of the nondisclosure agreement on December 7, 2015 at 12:15 a.m. Id. at 5:27-28. Defendants published one minute and ten seconds of the video on TMZ.com on December 7, 2015 at 1:00 a.m. along with an article written by TMZ staff. Id. at 5:5-7.

Munaf sent Dominic an email on December 7, 2015 at 1:14 a.m. stating, “do not post the footage. I do not own it. I do not have permission. I will not be signing any w-9 or agree to get paid forms.” Id. at 6:19-21. Munaf sent Defendants a message on December 7, 2015 at 4:20 a.m. stating, “REMOVE JARED LETO POST NOW. MY CONTACT AT TMZ IS ANTHONY DOMINIC. I DID NOT OWN THAT FOOTAGE NOR HAVE PERMISSION. REMOVE NOW. I AM NOT FILLING OUT ANY W-9 AGREE TO GET PAID FORMS.” Id. at 6:27-28; 7:1-3. Munaf did not return the contract or W-9 form to Defendants and Defendants have not paid Munaf any of the $2,000. Id. at 7:6-9.

Munaf sent Rosenberg an email on December 7, 2015 at 8:47 p.m. stating, “Miter agreeing to give TMZ the footage for a financial gain of $2,000, I don’t begin to describe how guilty I felt and stressed from that moment and that no amount of money would be worth the humiliation that I know I have caused for jared and you, JR.. .Whatever I thought my intent was, I did not sign the agreement that TMZ provided nor fill out the W-9, because after my decision I felt I could not agree to take the money.” Id. at 7:11-17.

Munaf signed a second non-disclosure agreement provided by Rosenberg on December 7, 2015 at 11:16 a.m. The agreement was “acknowledged and agreed as of this date: 9/8/15, 2015.” Id. at 7:21-24. Mu-naf sent the entire video he shot to Plaintiff on December 7, 2015. Id. at 8:3-4. On December 7, 2015, Plaintiff registered four excerpts of the video with the United States Copyright Office totaling twelve minutes and eight seconds. Id. at 8:5-8. The excerpts contain the footage that was published by Defendants. Id. at 8:13-14. Besides being published by Defendants, no other excerpts of the footage given to the Copyright Office have been published. Id. at 8:27.

The excerpt published by Defendants lasts one minute and fourteen seconds. Id. at 9:1-2. There is also an article and a caption in the upper left hand corner of the excerpt image stating “Jared Leto: Screw Taylor Swift But I’d Love One of Her Songs: TMZ.com.” Id. at 9:7-9. The TMZ logo is in the upper right hand corner of the excerpt image, and the excerpt begins and ends with a two second animation of a TMZ logo with music. Id. at 9:11-14. The excerpt and article were published on December 7, 2015, and are still published as of today. Id at 9:15-17.

B. Procedural Background

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Bluebook (online)
208 F. Supp. 3d 1105, 2016 U.S. Dist. LEXIS 130746, 2016 WL 5348550, Counsel Stack Legal Research, https://law.counselstack.com/opinion/sisyphus-touring-inc-v-tmz-productions-inc-cacd-2016.