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''Doe v. MySpace, Inc.'', 528 F.3d 413 (2008), is a 2008 Fifth Circuit Court of Appeals ruling that MySpace was immune under
Section 230 of the Communications Decency Act Section 230 is a section of Title 47 of the United States Code that was enacted as part of the United States Communications Decency Act and generally provides immunity for website platforms with respect to third-party content. At its core, Secti ...
of 1996 from liability for a sexual assault of a minor that arose from posts on the MySpace platform.


Facts

In 2005, the plaintiff known as Julie Doe, then age thirteen, lied about her age, claimed to be eighteen years old, and created a profile on MySpace.com. In April 2006, nineteen-year-old Pete Solis contacted Julie through her MySpace page. The two parties communicated offline and formed a relationship. They met in person on May 12, 2006, and Solis sexually assaulted Julie at this meeting. On May 13, 2006, Julie's mother called the police in Austin, Texas to report the sexual assault of her daughter. Julie and her mother sued MySpace and its parent company, News Corp., for negligence,
fraud In law, fraud is intentional deception to secure unfair or unlawful gain, or to deprive a victim of a legal right. Fraud can violate civil law (e.g., a fraud victim may sue the fraud perpetrator to avoid the fraud or recover monetary compens ...
, and
negligent misrepresentation In common law jurisdictions, a misrepresentation is a False statements of fact, false or misleading ''Royal Mail Case, R v Kylsant'' 931Question of law, statement of fact made during negotiations by one party to another, the statement then in ...
. (They also sued Solis for intentional infliction of emotional distress in a separate proceeding.) The plaintiffs first filed a lawsuit in Texas state court (their home state) and also in Bronx County, New York (near the News. Corp headquarters). After various arguments about the proper venue for the case, it was ultimately heard at the
United States District Court for the Western District of Texas The United States District Court for the Western District of Texas (in case citations, W.D. Tex.) is a federal district court. The court convenes in San Antonio with divisions in Austin, Del Rio, El Paso, Midland, Pecos, and Waco. It has juri ...
.


District court ruling

The district court dismissed the plaintiffs' claim of negligence, as MySpace was shielded from such claims when arising from the behavior of third-party users, by
Section 230 of the Communications Decency Act Section 230 is a section of Title 47 of the United States Code that was enacted as part of the United States Communications Decency Act and generally provides immunity for website platforms with respect to third-party content. At its core, Secti ...
, as well as Texas common law. Both parties conceded that MySpace was an "interactive computer service" as defined by Section 230. The district court held that Congress intended that provision to encourage websites to create forums for people to exchange thoughts and ideas by protecting interactive computer services from potential liability for each post submitted by their users. This intent was upheld by circuit court precedents including ''
Carafano v. Metrosplash.com ''Carafano v. Metrosplash.com, Inc.'', 339 F.3d 1119 ( 9th Cir. 2003), is an American legal case dealing with the protection provided an internet service provider under the Communications Decency Act (CDA) United States Code Title 47 section 230(c) ...
'' and ''
Zeran v. America Online, Inc. ''Zeran v. America Online, Inc.'', 129 F.3d 327 (4th Cir. 1997), The opinion of the Fourth Circuit '' cert. denied'', ,[] Bound Volume number 524 of the U.S. Supreme Court is a case in which the United States Court of Appeals for the Fourth Circ ...
'', thus shielding MySpace from legal liability for the actions of its users. The district court also held that Section 230 immunizes "interactive computer services" from liability based on efforts to self regulate material: : "no provider or user of an interactive computer service shall be held liable on account of -- (A) any action voluntarily taken in good faith to restrict access to or availability of material that the provider or user-considers to be obscene, lewd, lascivious, filthy, excessively violent, harassing, or otherwise objectable..." Thus, MySpace could not be considered the publisher of the content created by its users, and should not accept the responsibility of that role. The district court also held that the plaintiffs failed to make a compelling claim that MySpace had committed fraud or engaged in negligent misrepresentation. This was due to the requirements of Texas state law that a duty of care be established and that evidence of a breach of that duty must be presented in court. The court held that a party has "no legal duty to protect another from the criminal acts of a third person or control the conduct of another." Thus, the court found that the plaintiffs had failed to state a claim for negligence because MySpace had no duty to protect its user Julie Doe from Solis's criminal sexual assault.


Appeals court ruling

Thereafter, the plaintiffs appealed the district court's decision on their negligence claim, arguing that Section 230 is both inapplicable regarding criminal matters and does not fully immunize MySpace from taking reasonable steps to ensure the safety of its underage users. The plaintiffs also argued that even though MySpace was not specifically a publisher under the law, it still had enough influence in designing the "virtual world" of its site that it bore some responsibility for the illegal behavior of its users. On May 16, 2008, the Fifth Circuit Court of Appeals affirmed the district court's ruling that Section 230 shielded MySpace from the plaintiffs' claims. The circuit court added that per '' Green v. America Online, Inc.'', Section 230 protects against claims of "failure to protect" the users of an online service.''Green v. America Online''
318 F.3d 465
(3rd Cir., 2003).
The court held that Section 230 offers immunity for online services "broadly in all cases arising from the publication of user-generated content." While Julie Doe and her mother had a solid case against the offender Pete Solis, the circuit court rejected their claim that MySpace was responsible for the in-person meeting that led to sexual assault, and also rejected their claim that MySpace should have designed safety procedures for minors, particularly because that claim had not been made at the district court. Thus, the plaintiffs' claim was entirely about the content of the messages between the two parties, and content is covered under Section 230, while prosecution of the crime committed by Solis could be handled in a separate criminal trial. The court also held that MySpace had not committed negligence by failing to install safeguards for the protection of its underage users. Pete Solis was charged with felony sexual assault of a minor and indicted in criminal court. Julie Doe and her mother attempted to appeal the Fifth Circuit ruling to the
Supreme Court of the United States The Supreme Court of the United States (SCOTUS) is the highest court in the federal judiciary of the United States. It has ultimate appellate jurisdiction over all U.S. federal court cases, and over state court cases that involve a point o ...
, but ''
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 ...
'' was denied.Thomas O'Toole,
High Court Declines Review of MySpace CDA 230 Case
', E-Commerce and Tech Law Blog (Nov. 17, 2008).


Impact

While previous rulings had clarified that Section 230 absolved service providers from legal liability for the speech-related offenses committed by their third-party users, this ruling was the first to address liability for criminal offenses committed by users outside of the website in question, and found that Section 230 covers that type of transgression as well. However, there was some criticism of the ruling for allowing MySpace to skirt responsibility for the millions of underage users of its platform and the indecency to which they were exposed.


References


External links

* {{caselaw source , case = ''Doe v. MySpace'', 528 F.3d 413 (5th Cir. 2008) , courtlistener = , googlescholar = https://scholar.google.com/scholar_case?case=7723885977876502124 , leagle =https://www.leagle.com/decision/2008941528f3d4131906 , other_source1 = 5th Circuit (slip opinion) , other_url1 =http://www.ca5.uscourts.gov/opinions%5Cpub%5C07/07-50345-CV0.wpd.pdf Myspace United States Court of Appeals for the Fifth Circuit cases United States Internet case law Section 230 of the Communications Decency Act 2008 in United States case law