Sony BMG Music Entertainment V. Tenenbaum
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''Sony BMG Music Entertainment v. Tenenbaum (1st Circuit Court)'' is the appeals lawsuit which followed the U.S. District Court case '' Sony BMG v. Tenenbaum'', No. 07cv11446-NG (D. Mass. Dec. 7, 2009). The initial district court decision awarded the plaintiffs $675,000 in statutory damages for Joel Tenenbaum's willful copyright infringement via peer-to-peer file-sharing of 30 songs. Tenenbaum then challenged the constitutionality of the damage award and asked for a retrial or a reduction of the award via common law
remittitur In United States law, remittitur (Latin: "it is sent back") is a ruling by a judge (usually upon motion to reduce or throw out a jury verdict) lowering the amount of damages granted by a jury in a civil case. The term is sometimes used where a jud ...
. The district court judge rejected Tenenbaum's arguments in favor of a retrial, and declined to invoke remittitur because, in this case, it would prompt a retrial which would broach the constitutional issues remittitur was intended to avoid. Asserting that the question of the award's constitutionality was unavoidable, the judge reduced the damages to $67,500 on constitutional grounds, reasoning that the damages were effectively punitive, as well as excessive and in violation of Tenenbaum's
Due Process Due process of law is application by state of all legal rules and principles pertaining to the case so all legal rights that are owed to the person are respected. Due process balances the power of law of the land and protects the individual pers ...
rights. Both parties then cross-appealed to the First Circuit Court of Appeals—Sony, et al., for full reinstatement of the original damages, and Tenenbaum challenging both liability and damages. The First Circuit rejected all of Tenenbaum's arguments, affirmed the denial of Tenenbaum's motion for a new trial, reversed the District Court's decision to reduce the damages, reinstated the original award, and remanded on the question of the common law remittitur.


Background

Defendant and cross-appellant Joel Tenenbaum was an undergraduate student studying physics and mathematics at Goucher College in Maryland 2005 prior to the original litigation in the Massachusetts District Court. During this period, Joel Tenenbaum downloaded and distributed, via a peer-to-peer file-sharing network, a number of songs owned by the plaintiffs. While the plaintiffs are listed collectively as Sony BMG Music Entertainment, the plaintiffs in both the district court case and the subsequent appeal actually included five record companies: * Sony BMG Music Entertainment * Arista Records, LLC, a subsidiary of Sony BMG * Warner Bros. Records, part of Warner Music Group *
Atlantic Recording Corporation Atlantic Recording Corporation (simply known as Atlantic Records) is an American record label founded in October 1947 by Ahmet Ertegun and Herb Abramson. Over its first 20 years of operation, Atlantic earned a reputation as one of the most i ...
, part of Warner Music Group *
UMG Recordings, Inc. Universal Music Group N.V. (often abbreviated as UMG and referred to as just Universal Music) is a Dutch–American multinational music corporation under Dutch law. UMG's corporate headquarters are located in Hilversum, Netherlands and its ...
, part of Universal Music Group As the plaintiffs are all members of the
Recording Industry Association of America The Recording Industry Association of America (RIAA) is a trade organization that represents the music recording industry in the United States. Its members consist of record labels and distributors that the RIAA says "create, manufacture, and/o ...
(RIAA), and it is the RIAA which makes public statements about the case, the case is sometimes informally referenced as ''RIAA v. Tenenbaum''. However, references more commonly use ''Sony'', ''Sony BMG'', ''Sony BMG Music Entertainment'', and the more precise ''Sony BMG Music Entertainment, et al.'' as the name of the plaintiffs. During a jury trial in the Massachusetts District Court, Tenenbaum admitted liability for infringing the plaintiffs' copyright for 30 songs he downloaded and distributed via file-sharing software. The judge issued a
directed verdict In law, a verdict is the formal finding of fact made by a jury on matters or questions submitted to the jury by a judge. In a bench trial, the judge's decision near the end of the trial is simply referred to as a finding. In England and Wales, ...
for the issue of liability, and the jury determined the infringement was "willful" and assessed statutory damages totaling $675,000. Tenenbaum then filed a motion claiming the damage award was unconstitutional, and requested either a new trial or a reduction of the damages by
remittitur In United States law, remittitur (Latin: "it is sent back") is a ruling by a judge (usually upon motion to reduce or throw out a jury verdict) lowering the amount of damages granted by a jury in a civil case. The term is sometimes used where a jud ...
. The Court granted the retrial request, in part, by considering the constitutionality and "punitive" nature of the damage award, weighing it against the standards established by the
Supreme Court A supreme court is the highest court within the hierarchy of courts in most legal jurisdictions. Other descriptions for such courts include court of last resort, apex court, and high (or final) court of appeal. Broadly speaking, the decisions of ...
in the cases ''
BMW of North America, Inc. v. Gore ''BMW of North America, Inc. v. Gore'', 517 U.S. 559 (1996), was a United States Supreme Court case limiting punitive damages under the Due Process Clause of the Fourteenth Amendment. Facts The plaintiff, Dr. Ira Gore, bought a new BMW, and lat ...
'' (referenced as ''BMW'' or ''Gore'', and favored by the defendant) and in ''St. Louis, I.M. & S. Ry. Co. v. Williams'' (referenced as ''Williams'', and favored by the plaintiffs and the U.S. Government). Citing these standards and other case law relating to statutory and punitive damages, the Court ordered the judgment in the case be amended to reduce the damage award by 90%, to $67,500. Remittitur would allow the plaintiffs to reject the remitted award and opt for a retrial, which they had indicated they would do, so the Court explicitly chose to reduce the award on constitutional grounds, because a retrial would put the Court in the position of confronting the constitutional issues that remittitur was intended to avoid. The plaintiffs and defendant collectively brought suit in the First District Court of Appeals to argue several matters: * statutory damages and injunctive relief under the Copyright Act, * constitutionality of the damages reduction * matters of fair use * a district court's ability to invoke constitutionality.


Facts

Appearing before Chief Judge Lynch, and Circuit Judges Torruella and Thompson, the facts of the case are as follows: The Massachusetts District Court entered judgement against Tenenbaum that he was liable for willful violation of the Copyright Act and summarily awarded Sony statutory damages of $22,500 for each infringed song. This reward is within the $750 to $150,000 per infringement that Congress established for willful infringement. Tenenbaum then motioned for a new trial or
remittitur In United States law, remittitur (Latin: "it is sent back") is a ruling by a judge (usually upon motion to reduce or throw out a jury verdict) lowering the amount of damages granted by a jury in a civil case. The term is sometimes used where a jud ...
. The district court skipped over the issue of the remittitur and instead reached a constitutional issue. Reasoning that the $675,000 fine is excessive and thus in violation of Tenenbaum's due process rights Both parties then cross-appealed.


Tenenbaum's argument

Joel Tenenbaum challenges the District Court's opinion that he is liable for copyright violation and he should owe Sony statutory damages. Tenenbaum challenges the constitutionality of the Copyright Act. In addition, he challenges the Copyright Act's statutory damages provision's applicability to his conduct. Tenenbaum also argues the district court committed various errors that require a new trial and that a further reduction of the damage award is required by the due process clause.


Sony BMG's argument

Sony argues the district court has erred in reducing the jury's award of damages and seeks to reinstate of the full award of $675,000 and in its defense of Tenenbaum's willful infringement and liability of infringement.


Court decision

Foremost in the circuit court ruling, the United States defended the constitutionality of the Copyright Act against Joel Tenenbaum's challenge. In addition, the United States contended the District Court of Massachusetts erred in bypassing the question of common law remittitur and thus should not have reduced Tenenbaum's punishment sum as a constitutional issue. The First Circuit court then moved to reject all of Tenenbaum's arguments. They point out that Tenenbaum has received multiple warnings from his parents, school, ISP, and the recording companies to cease and desist from his file-sharing and thus has willfully violated the Copyright Act and infringed the Copyrights of Sony et al. by using the peer-to-peer sharing platform Kazaa. In addition, the court affirmed the denial of Tenenbaum's motion for a new trial or remittitur on the claim that the Copyright Act is not applicable to his actions or trial. Lastly, the court reversed the District Court's supplemental decision to reduce the damages Tenenbaum owed Sony ''et al.'', and instead reinstated the original full value of $675,000. On February 13, 2012, Tenenbaum petitioned the United States Supreme Court to review the case. The court denied the petition on May 21.


Aftermath

Although the First Circuit Court, in its opinion, recommends Congress to reanalyze its copyright laws, the United States Supreme Court has yet to weigh in with its opinion. As such, the current legal precedents and legal situation for the states in the First District are as follows: * The Copyright Act is constitutional. * The Copyright Act is applicable for cases of peer-to-peer file sharing of copyrighted material by individuals. * Peer-to-peer file sharing of copyrighted works by individuals for the purpose of "enjoyment" is not fair use. * Skipping common law remittitur and instead applying for constitutional reasoning is erroneous. * Courts must practice constitutional avoidance: the practice of first arguing or reasoning a point based upon common law before turning to use the constitution.


Bibliography for (Sony BMG Music Entertainment v. Tenenbaum (1st Cir. 2011)

* Mass. District Court Opinion District court opinion 1
/ref> * Mass. District court opinion District court opinion 2
/ref> * Rhode Island district court memorandum Rhode Island district court opinion
/ref> * First district court of appeals opinion First district court opinion 1
/ref> * First district court of appeals supplement First district court opinion 2
/ref> * First district court of appeals documentation First district court opinion 3
* Collection of industry versus people files
/ref> * Random summary article on 1st district court decision News Article Summary
/ref> * US Court PDF 1st district
* DMCADMCA
/ref> * Joel Tenenbaum and lawyers website about page for Joel Tenenbaum
* Copyhype article analysis of the article and opinions
/ref> *Rights of copyright owner *Definitions *Damages{{USC, 17, 504


References

United States file sharing case law United States copyright case law 2011 in United States case law Sony litigation Sony BMG United States Court of Appeals for the First Circuit cases