Field V. Google
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''Field v. Google, Inc.'', 412 F.Supp. 2d 1106 (D. Nev. 2006) is a case where Google Inc. successfully defended a lawsuit for
copyright infringement Copyright infringement (at times referred to as piracy) is the use of Copyright#Scope, works protected by copyright without permission for a usage where such permission is required, thereby infringing certain exclusive rights granted to the c ...
. Field argued that Google infringed his exclusive right to reproduce his copyrighted works when it " cached" his website and made a copy of it available on its search engine. Google raised multiple defenses:
fair use Fair use is a Legal doctrine, doctrine in United States law that permits limited use of copyrighted material without having to first acquire permission from the copyright holder. Fair use is one of the limitations to copyright intended to bal ...
, implied license,
estoppel Estoppel is a judicial device whereby a court may prevent or "estop" a person from making assertions or from going back on their word. The person barred from doing so is said to be "estopped". Estoppel may prevent someone from bringing a particul ...
, and
Digital Millennium Copyright Act The Digital Millennium Copyright Act (DMCA) is a 1998 United States copyright law that implements two 1996 treaties of the World Intellectual Property Organization (WIPO). It criminalizes production and dissemination of technology, devices, or ...
safe harbor protection. The court granted Google's motion for
summary judgment In law, a summary judgment, also referred to as judgment as a matter of law or summary disposition, is a Judgment (law), judgment entered by a court for one party and against another party summarily, i.e., without a full Trial (law), trial. Summa ...
and denied Field's motion for summary judgment.


Background

The
plaintiff A plaintiff ( Π in legal shorthand) is the party who initiates a lawsuit (also known as an ''action'') before a court. By doing so, the plaintiff seeks a legal remedy. If this search is successful, the court will issue judgment in favor of the ...
, Blake Field, is an attorney, author, and member of the State bar association of Nevada. On April 6, 2004, Field filed a
complaint In legal terminology, a complaint is any formal legal document that sets out the facts and legal reasons (see: cause of action) that the filing party or parties (the plaintiff(s)) believes are sufficient to support a claim against the party ...
against Google asserting a single claim for copyright infringement due to Google's alleged copying and distributing one of his works (''Good Tea'') that he had previously published on his personal homepage, www.blakeswriting.com. On May 25, 2004, Field filed an Amended Complaint, stating that Google had infringed on an additional 50 works published by Field on his personal website. Field sought $2,550,000 in statutory damages ($50,000 for each of the 51 registered copyrighted works) in conjunction with injunctive relief. The
defendant In court proceedings, a defendant is a person or object who is the party either accused of committing a crime in criminal prosecution or against whom some type of civil relief is being sought in a civil case. Terminology varies from one juris ...
, Google, operates a popular
search engine A search engine is a software system that provides hyperlinks to web pages, and other relevant information on World Wide Web, the Web in response to a user's web query, query. The user enters a query in a web browser or a mobile app, and the sea ...
. To enable users to search billions of websites, Google uses an automated program called the "
Googlebot Googlebot is the web crawler software used by Google that collects documents from the web to build a searchable index for the Google Search engine. This name is actually used to refer to two different types of web crawlers: a desktop crawler (to ...
." This program crawls the internet looking for new sites to include in its index. Once a site is found the Googlebot creates a "cached" version of the site. The cached version is then included in the search results of its search engine. When a user clicks the link to the cached version, the user can view a "snapshot" of the page as it appeared at the time the Googlebot found the site. Website creators have the option of preventing the Googlebot from indexing their sites by including a simple code in the HTML. In addition, websites can include code that allows the site to be included in Google's index, but that prevents Google from caching the website. Field had actual knowledge of the Googlebot. He also was aware of the ways to prevent Google from either listing his site at all or listing it but not providing a link to the cached version. Instead of opting out, however, he chose to allow Google to both index and provide a link to the cached version.


Ruling

The District Court, Jones, J., held that: # Operator did not directly infringe on author's copyrighted works; # Author granted operator implied license to display "cached" links to
web page A web page (or webpage) is a World Wide Web, Web document that is accessed in a web browser. A website typically consists of many web pages hyperlink, linked together under a common domain name. The term "web page" is therefore a metaphor of pap ...
s containing his copyrighted works; # Author was estopped from asserting copyright infringement claim against operator; # Fair use doctrine protected operator's use of author's works; and # Search engine fell within protection of safe harbor provision of
Digital Millennium Copyright Act The Digital Millennium Copyright Act (DMCA) is a 1998 United States copyright law that implements two 1996 treaties of the World Intellectual Property Organization (WIPO). It criminalizes production and dissemination of technology, devices, or ...
(DMCA). Summary judgment for operator. The court held that "Field decided to manufacture a claim for copyright infringement against Google in the hopes of making money from Google's standard practice." The court then went on to rule in Google's favor on all of its defense theories.


Direct infringement

The court relied on two prior cases ('' Religious Technology Center v. Netcom On-Line Communication Services, Inc.'' and '' CoStar Group, Inc. v. LoopNet, Inc.'') and held that "volitional conduct on the part of the defendant" is required for a showing of direct infringement. In this case, "Google is passive in the process", and "Google's computers respond automatically to the user's request." Thus, there was no volitional conduct on Google's behalf and hence no direct infringement.


Implied license

Courts usually do not require a copyright holder to affirmatively take steps to prevent infringement. In this case, however, the court found that the plaintiff had granted Google an implied, nonexclusive license to display the work because of Field's failure in using meta tags to prevent his site from being cached by Google. This could reasonably be interpreted as a grant of a license for that use and so the courts held that a license for Google to cache the site was implied because Field failed to take the necessary steps when setting up his website.


Estoppel

The court invoked the facts supporting its finding of an implied license to support and reiterate that Field could have prevented the caching, did not do so, and allowed Google to detrimentally rely on the absence of metatags. Had Google known the defendant's objection to displaying cached versions of its website, it would not have done so.


Fair use

The court applied the 4 statutory factors from 17 U.S.C. 107 and held that Google's caching was fair use. The first factor, "the purpose and character of the use" weighed in Google's favor. The court stated that Google's use was transformative and did not merely supersede Field's use. The court explained that Field's use was to enrich the lives of others through poetry, while Google's use was to facilitate the operation of search engines. The court identified multiple characteristics that distinguished Google's use from Field's including: # Google's use is for archival purposes; # Google's use allows users to track changes in websites; # Google's use allows users to figure out why a particular page resulted from a search. The court further held that Google's commercial status was of little importance because the Google's use was transformative. The second factor, "the nature of the copyrighted works", also weighed in favor of Google because the works were available for free on Field's website. The third factor, "the amount and substantiality of the use", weighed equally for both parties. Although Google cached the entire website, the fact that Field made the works available on his website and the difference in the use of the two made this factor neutral. The fourth factor, "the effect of the use upon the potential market for or value of the copyrighted work", weighed in favor of Google. There was no market for Field's works and the caching did not impact any potential market for his works. The court considered an additional factor, "Google's
good faith In human interactions, good faith () is a sincere intention to be fair, open, and honest, regardless of the outcome of the interaction. Some Latin phrases have lost their literal meaning over centuries, but that is not the case with , which i ...
in operating its system cache," which favored fair use. Google used industry standard procedures that allowed website operators to prevent caching. Google promptly removed the caches to Field's work when it learned that Field did not want them.


DMCA safe harbor

Finally, the court held that Google qualified for the '' DMCA safe harbor'' provisions of the 1998
Digital Millennium Copyright Act The Digital Millennium Copyright Act (DMCA) is a 1998 United States copyright law that implements two 1996 treaties of the World Intellectual Property Organization (WIPO). It criminalizes production and dissemination of technology, devices, or ...
(DMCA), which states that " service provider shall not be liable for monetary relief . . . for infringement of copyright by reason of the intermediate and temporary storage of material on a system or network controlled or operated by or for the service provider."


References


''Findings of Fact and Conclusions of Law''
court order hosted at Stanford
''Limitations on Liability Relating to Material Online'', 17 U.S.C. §512(b)
{{Google litigation Digital Millennium Copyright Act case law United States District Court for the District of Nevada cases 2006 in United States case law Google litigation Google Search