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Intellectual Reserve, Inc. v. Utah Lighthouse Ministry, Inc.

Intellectual Reserve, Inc. v. Utah Lighthouse Ministry, Inc., 75 F. Supp. 2d 1290 (D. Utah 1999), was a United States district court decision on the subject of deep linking and contributory infringement of copyright.

Intellectual Reserve, Inc. v. Utah Lighthouse Ministry, Inc.
CourtUnited States District Court for the District of Utah
Full case nameIntellectual Reserve, Inc. v. Utah Lighthouse Ministry, Inc., Jerald Tanner, Sandra Tanner, et al., U.S. District Court, Utah[1]
DecidedNovember 30, 2000[2]
Docket nos.2:99-cv-808C
Citation(s)75 F. Supp. 2d 1290
Court membership
Judge(s) sittingTena Campbell

Background edit

The plaintiff, Intellectual Reserve, Inc., is a Salt Lake City, Utah-based corporation that owns the copyright and has the rights to other intellectual property assets used by the Church of Jesus Christ of Latter-day Saints. The defendants, Utah Lighthouse Ministries, Inc., operate a web site and publishes material critical of the Church.[1]

The LDS Church had printed a work of text called the Church Handbook of Instructions: Book 1, Stake Presidencies and Bishoprics. This work had not been published, and had been prepared only for use within the church. The defendants had obtained a copy of the work and published parts of it on their website without reproducing the Intellectual Reserve, Inc. copyright notice. The copyrighted text had also been disseminated to other websites who had published the material, to which the defendants' website linked.[1]

Arguments edit

The plaintiffs moved for a preliminary injunction and argued that:

  • they had a valid copyright to the material that the defendants had posted on their website,
  • that they were likely to establish at trial that those who had posted the material on the three websites had infringed the plaintiff's copyright,
  • that anyone who browsed the three websites was infringing the plaintiff's copyright by making a copy of the material and
  • that the defendants actively encouraged the infringement of the plaintiff's copyright.[3]

The plaintiffs also argued that

  • they had demonstrated a likelihood of success and that there was a presumption of injury, and
  • the plaintiffs would suffer "immediate and real irreparable harm" if the defendants were "permitted to post the copyrighted material or to knowingly induce, cause or materially contribute to the infringement of plaintiff's copyright by others".[3]

Court finding edit

The court originally granted a preliminary injunction for the plaintiff and ordered the defendant to remove from the website the material that allegedly infringed plaintiff's copyright, and to refrain from reproducing or distributing verbatim in a tangible medium any material that allegedly infringed the copyright.[3]

The court then issued a permanent injunction that "dissolved and vacated" the preliminary injunction, replacing it with an injunction based on a settlement between the parties.[2] In this injunction, the court forbade Utah Lighthouse Ministry from posting on the Internet, displaying, or reproducing the Church Handbook of Instructions. Lighthouse Ministry was further prohibited from posting on the Internet the URLs of any websites that hosted any materials from the Church Handbook of Instructions.

Impact edit

Preliminary impact edit

The defendants did not raise the issue of the doctrine of fair use in their defense.[1] The case did not affect situations where the material being linked to is posted by the copyright holder or with the permission of the copyright holder.[4] This case did not raise the issue of transitivity, i.e. it is irrelevant whether the site that is being linked to contains any other questionable publications or links not related directly to the referenced material. If the transitivity was assured, virtually no single website would be eligible for linking, as the copyright infringement can occur in user comments or user links. The preliminary finding was, as long as a link leads to a material legally published, the link should be considered valid.

Permanent impact edit

The permanent injunction "dissolved and vacated" the preliminary injunction's and temporary restraining order's legal effects on the defendants.[2] However, the court's order remains valid case law, and it has been cited by a few other courts.[note 1]

See also edit

Notes edit

  1. ^ See, for example, CoStar Realty Info., Inc. v. Field, 737 F. Supp. 2d 496, 507 (D. Md. 2010)

References edit

  1. ^ a b c d Summary of Intellectual Reserve v. Utah Lighthouse Ministries (LDS Copyright Case), Tech Law Journal, last updated on December 29, 1999, retrieved December 31, 2006.
  2. ^ a b c November 30, 2000 Permanent Injunction and Judgment and Settlement Stipulation
  3. ^ a b c Intellectual Reserve, Inc. v. Utah Lighthouse Ministry, Inc., 75 F. Supp. 2d 1290 (D. Utah 1999).
  4. ^ T. R. Halvorson (March 15, 2000). . LLRX. Law Library Resource Xchange. Archived from the original on August 16, 2000. Retrieved July 15, 2010.

External links edit

  • Text of Intellectual Reserve, Inc. v. Utah Lighthouse Ministry, Inc., 75 F. Supp. 2d 1290 (D. Utah 1999) is available from: Google Scholar  Justia  Supreme Court (slip opinion) 
  • Utah Lighthouse Ministry (defendants' website)
  • Utah Lighthouse Ministry news and court documents related to the case.

intellectual, reserve, utah, lighthouse, ministry, supp, 1290, utah, 1999, united, states, district, court, decision, subject, deep, linking, contributory, infringement, copyright, courtunited, states, district, court, district, utahfull, case, name, jerald, t. Intellectual Reserve Inc v Utah Lighthouse Ministry Inc 75 F Supp 2d 1290 D Utah 1999 was a United States district court decision on the subject of deep linking and contributory infringement of copyright Intellectual Reserve Inc v Utah Lighthouse Ministry Inc CourtUnited States District Court for the District of UtahFull case nameIntellectual Reserve Inc v Utah Lighthouse Ministry Inc Jerald Tanner Sandra Tanner et al U S District Court Utah 1 DecidedNovember 30 2000 2 Docket nos 2 99 cv 808CCitation s 75 F Supp 2d 1290Court membershipJudge s sittingTena Campbell Contents 1 Background 2 Arguments 3 Court finding 4 Impact 4 1 Preliminary impact 4 2 Permanent impact 5 See also 6 Notes 7 References 8 External linksBackground editThe plaintiff Intellectual Reserve Inc is a Salt Lake City Utah based corporation that owns the copyright and has the rights to other intellectual property assets used by the Church of Jesus Christ of Latter day Saints The defendants Utah Lighthouse Ministries Inc operate a web site and publishes material critical of the Church 1 The LDS Church had printed a work of text called the Church Handbook of Instructions Book 1 Stake Presidencies and Bishoprics This work had not been published and had been prepared only for use within the church The defendants had obtained a copy of the work and published parts of it on their website without reproducing the Intellectual Reserve Inc copyright notice The copyrighted text had also been disseminated to other websites who had published the material to which the defendants website linked 1 Arguments editThe plaintiffs moved for a preliminary injunction and argued that they had a valid copyright to the material that the defendants had posted on their website that they were likely to establish at trial that those who had posted the material on the three websites had infringed the plaintiff s copyright that anyone who browsed the three websites was infringing the plaintiff s copyright by making a copy of the material and that the defendants actively encouraged the infringement of the plaintiff s copyright 3 The plaintiffs also argued that they had demonstrated a likelihood of success and that there was a presumption of injury and the plaintiffs would suffer immediate and real irreparable harm if the defendants were permitted to post the copyrighted material or to knowingly induce cause or materially contribute to the infringement of plaintiff s copyright by others 3 Court finding editThe court originally granted a preliminary injunction for the plaintiff and ordered the defendant to remove from the website the material that allegedly infringed plaintiff s copyright and to refrain from reproducing or distributing verbatim in a tangible medium any material that allegedly infringed the copyright 3 The court then issued a permanent injunction that dissolved and vacated the preliminary injunction replacing it with an injunction based on a settlement between the parties 2 In this injunction the court forbade Utah Lighthouse Ministry from posting on the Internet displaying or reproducing the Church Handbook of Instructions Lighthouse Ministry was further prohibited from posting on the Internet the URLs of any websites that hosted any materials from the Church Handbook of Instructions Impact editPreliminary impact edit The defendants did not raise the issue of the doctrine of fair use in their defense 1 The case did not affect situations where the material being linked to is posted by the copyright holder or with the permission of the copyright holder 4 This case did not raise the issue of transitivity i e it is irrelevant whether the site that is being linked to contains any other questionable publications or links not related directly to the referenced material If the transitivity was assured virtually no single website would be eligible for linking as the copyright infringement can occur in user comments or user links The preliminary finding was as long as a link leads to a material legally published the link should be considered valid Permanent impact edit The permanent injunction dissolved and vacated the preliminary injunction s and temporary restraining order s legal effects on the defendants 2 However the court s order remains valid case law and it has been cited by a few other courts note 1 See also editCopyright law Copyright infringement Contributory copyright infringement US court cases A amp M Records Inc v Napster Inc 2000 Online Policy Group v Diebold Inc 2004 Ticketmaster v Tickets com 2000 World Wide Web linking Deep linking Inline linkingNotes edit See for example CoStar Realty Info Inc v Field 737 F Supp 2d 496 507 D Md 2010 References edit a b c d Summary of Intellectual Reserve v Utah Lighthouse Ministries LDS Copyright Case Tech Law Journal last updated on December 29 1999 retrieved December 31 2006 a b c November 30 2000 Permanent Injunction and Judgment and Settlement Stipulation a b c Intellectual Reserve Inc v Utah Lighthouse Ministry Inc 75 F Supp 2d 1290 D Utah 1999 T R Halvorson March 15 2000 How to Start an Urban Legend the Reporting of Intellectual Reserve Inc v Utah Lighthouse Ministry Inc A Commentary LLRX Law Library Resource Xchange Archived from the original on August 16 2000 Retrieved July 15 2010 External links editText of Intellectual Reserve Inc v Utah Lighthouse Ministry Inc 75 F Supp 2d 1290 D Utah 1999 is available from Google Scholar Justia Supreme Court slip opinion Utah Lighthouse Ministry defendants website Utah Lighthouse Ministry news and court documents related to the case Retrieved from https en wikipedia org w index php title Intellectual Reserve Inc v Utah Lighthouse Ministry Inc amp oldid 1215601668, wikipedia, wiki, book, books, library,

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