F.B.T. Productions, LLC v. Aftermath Records
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''F.B.T. Productions, LLC, et al. v. Aftermath Records, et al.'' 621 F.3d 958 was a case in which the
United States Court of Appeals for the Ninth Circuit The United States Court of Appeals for the Ninth Circuit (in case citations, 9th Cir.) is the U.S. federal court of appeals that has appellate jurisdiction over the U.S. district courts in the following federal judicial districts: * District ...
dealt with how Federal Copyright Law applied to the sales and licensing contracts of music downloads and other downloadable copyrighted material. Specifically, the circuit court ruled that a licensing provision in the contract between
F.B.T. Productions Bass Brothers is the professional name for the team of Mark and Jeff Bass, the Detroit producers responsible for helping Eminem with his early career and collaborating on much of his subsequent music. Before that, they worked with George Clin ...
and
Aftermath Records Aftermath Entertainment is an American record label founded by hip hop producer and rapper Dr. Dre. It operates as a subsidiary of, and is distributed through, Interscope Records. Current acts include Dr. Dre himself, Eminem, Kendrick Lamar, An ...
unambiguously applied to permanent downloads and mastertones offered through third party distributors. After reviewing the
First Sale Doctrine The first-sale doctrine (also sometimes referred to as the "right of first sale" or the "first sale rule") is an American legal concept that limits the rights of an intellectual property owner to control resale of products embodying its intellec ...
and the nature of Aftermath's contracts with its distributors, the circuit court concluded that such downloads constituted a licensing of copyrights rather than a sale, causing Aftermath to pay higher royalties to F.B.T. under their agreement.F.B.T. Productions, LLC v. Aftermath Records opinion
Argued and Submitted July 12, 2010


Overview

In 1995 Plaintiff F.B.T. Productions, LLC ("FBT") signed fellow Plaintiff,
rap Rapping (also rhyming, spitting, emceeing or MCing) is a musical form of vocal delivery that incorporates "rhyme, rhythmic speech, and street vernacular". It is performed or chanted, usually over a backing beat or musical accompaniment. The ...
artist Marshall Bruce Mathers III (stage name Eminem), to a recording contract. Subsequent contract agreements in 1998 and 2000 between Plaintiffs and Defendant
Aftermath Records Aftermath Entertainment is an American record label founded by hip hop producer and rapper Dr. Dre. It operates as a subsidiary of, and is distributed through, Interscope Records. Current acts include Dr. Dre himself, Eminem, Kendrick Lamar, An ...
("Aftermath"), a subsidiary of Interscope Records, UMG Recordings, Inc., and Ary, Inc., allowed Aftermath the right to distribute recordings of Eminem, and then ultimately transferred all exclusive rights of Eminem's recordings to Aftermath. In exchange for these rights, the agreements provided that Aftermath pay FBT royalties between 12% - 20% of the retail price of copies of Eminem's records sold ("Records Sold" provision). Furthermore, the agreements provided that FBT receive 50% of the net revenue Aftermath obtained by licensing out the use of Eminem's master recordings ("Masters Licensed" provision).U.S. District Court, Central District of California (Los Angeles)
January 20, 2009
Beginning in 2001, Defendants licensed various third parties the right to distribute over the
Internet The Internet (or internet) is the global system of interconnected computer networks that uses the Internet protocol suite (TCP/IP) to communicate between networks and devices. It is a '' network of networks'' that consists of private, pub ...
, recordings of Eminem in the form of music downloads and
ringtones A ringtone, ring tone or ring is the sound made by a telephone to indicate an incoming call. Originally referring to and made by the electromechanical striking of bells, the term now refers to any sound on any device alerting of a new incoming ...
. These parties included, but were not limited to, the iTunes music store, Sprint,
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,
Cingular AT&T Mobility LLC, also known as AT&T Wireless and marketed as simply AT&T, is an American telecommunications company. It is a wholly owned subsidiary of AT&T Inc. and provides wireless services in the United States. AT&T Mobility is the th ...
, and
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. In 2005 auditors hired by Plaintiffs allegedly found that Defendants were remitting to Plaintiffs royalties for music downloads and ringtones under the lower percentage "Records Sold" provision of their agreement. Based on these findings, Plaintiffs filed complaints in 2007 and 2008, alleging breach of contract and motioned for
summary judgment In law, a summary judgment (also judgment as a matter of law or summary disposition) is a judgment entered by a court for one party and against another party summarily, i.e., without a full trial. Summary judgments may be issued on the merits of ...
. Plaintiffs claimed that language in the record contracts stipulated that music downloads and ringtones be classified not as "Records Sold", but instead as the higher percentage "Masters Licensed", and that these higher royalties be remitted to FBT as such.


District Court Ruling and Jury Trial

United States District Judge Philip S. Gutierrez denied Plaintiffs' motion for summary judgment on the grounds that the contract agreements were too ambiguous as to how to calculate royalties for downloads and ringtones. Based on the third party agreements, the court could not definitively conclude if downloads were licenses. Also, neither party was able to establish any prevailing industry custom as to how downloads and ringtones were traditionally calculated. In lieu of conclusive information, the court took into consideration that the agreements gave the Defendants the right to sell recordings, "...in any rall forms of media now known and hereinafter developed..." and that Plaintiffs never objected to the lower royalty rate until after the audit, therefore providing insight as to Plaintiffs' original intent. As such, the court ruled that both parties' reasonable expectations for download and ringtone royalties at the time of the agreement was that of a sale. Accordingly, the issue went to trial where a jury, "...returned a verdict in favor of Aftermath, and the district court awarded Aftermath its attorneys’ fees of over $2.4 million."


US Court of Appeals for the Ninth Circuit

Upon appeal by Plaintiffs to the US Court of Appeals for the Ninth Circuit Decision, " e judgment in favor of defendants was reversed, the district court's order granting attorneys' fees to defendants was vacated, and the case was remanded for further proceedings." In its reversal, the circuit court emphasized its right to review the district court's denial of Plaintiffs' motion for summary judgment, as the district court's "determination of whether an ambiguity exists remains 'a question of law, subject to independent review on appeal.'" Thus it started by reiterating the district court's conclusion that since either the "Records Sold" or the "Masters Licensed" provision could apply to the downloads, that neither the Plaintiffs' nor the Defendant's motions for summary judgment could be granted due to an inherent ambiguity. However, the circuit court pointed out the specific use of the word "notwithstanding," explaining that the provision states "notwithstanding" the "Records Sold" provision, the "Masters Licensed" provision would apply. The circuit court interpreted this to mean that the "Masters Licensed" provision had overarching scope, concluding that no ambiguity existed.
A contractual term is not ambiguous just because it is broad. Here, the Masters Licensed provision explicitly applies to (1) masters (2) that are licensed to third parties for the manufacture of records “or for any other uses,” (3) “notwithstanding” the Record Sold provision. This provision is admittedly broad, but it is not unclear or ambiguous.
The court then discussed whether or not Aftermath licensed the music to third party distributors, making extensive use of the Copyright Act of 1976, including references to sections , , and the
First-sale doctrine The first-sale doctrine (also sometimes referred to as the "right of first sale" or the "first sale rule") is an American legal concept that limits the rights of an intellectual property owner to control resale of products embodying its intellec ...
as expressed in . The court reaffirmed the fundamental differences between a sale and a license, particularly pointing out that "a 'sale' of a work may either be a transfer in title of an individual copy of a work, or a sale of all exclusive intellectual property rights in a work." Relying heavily on the Supreme Court's interpretation of these statutes, the court of appeals thus ruled that Defendants' dealings with third parties were license agreements and not sales. This was mainly based on the fact that Defendants' transfer of copyrighted material to third parties did not include ownership title of copyrighted material, and that Defendants reserved the right to reclaim copyrighted material at any time, therefore no sale was made. Furthermore, the court established that the copyrighted material transferred to the third parties qualified as a
master recording Mastering, a form of audio post production, is the process of preparing and transferring recorded audio from a source containing the final mix to a data storage device (the master), the source from which all copies will be produced (via meth ...
due to the quality and fidelity of the recordings. Aftermath had also argued that F.B.T. failed to complain about the lower royalty rates until the audit in 2006, claiming this demonstrated acquiescence on the part of the Plaintiff. The court ruled against this as well, determining that such actions by the Plaintiff were reasonable and contributed nothing to their intentions, stating, "F.B.T. had no obligation to audit the statements any earlier than it did, and it immediately raised the issue with Aftermath after the audit." The court therefore concluded that the Defendants owed Plaintiffs a royalty rate of 50% for downloads and ringtones under the "Masters Licensed" provision.


Supreme Court of the United States

The Defendants petitioned the Supreme Court of the United States, seeking a review of the Ninth Circuit's judgment. In March 2011 the US Supreme Court denied the Defendants' petition for
writ of certiorari In law, ''certiorari'' is a court process to seek judicial review of a decision of a lower court or government agency. ''Certiorari'' comes from the name of an English prerogative writ, issued by a superior court to direct that the record of ...
.Petition for writ of certiorari to the United States Court of Appeals for the Ninth Circuit denied.
March 21, 2011


References


External links

* * * {{cite web, last=Sarig, first=Marisa, title=Ninth Circuit Holds That Downloads, Ringtones Are Licensed Masters, url=http://www.entertainmentlawmatters.com/?p=62, publisher=Entertainment Law Matters, accessdate=8 November 2011 Eminem E-commerce in the United States 2010 in United States case law United States copyright case law United States Court of Appeals for the Ninth Circuit cases