Justia Intellectual Property Opinion Summaries

Articles Posted in U.S. 2nd Circuit Court of Appeals
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This appeal stemmed from numerous trademark and unfair competition claims over the name "Patsy's." Patsy's Italian Restaurant appealed, and Patsy's Pizzeria cross-appealed, from a judgment of the district court after a jury trial on claims brought pursuant to trademark and unfair competition law. The court upheld the district court's jury instructions; affirmed the district court's refusal to grant a new trial on the issue of whether Patsy's Pizzeria made fraudulent statements to the Patent and Trademark Office, as well as its refusal to vacate the jury's verdict that Patsy's Italian Restaurant did not fraudulently obtain its trademark registrations; affirmed the district court's refusal to reinstate Patsy's Pizzeria's trademark registrations; and upheld the district court's denial of attorneys' fees and injunctive relief. Accordingly, the court affirmed the judgment of the district court. View "Patsy's Italian Restaurant, Inc., et al. v. Banas, et al." on Justia Law

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Plaintiffs in this consolidated class action allege copyright infringements arising from defendant publishers' unauthorized electronic reproduction of plaintiff authors' written works. The district court certified a class for settlement purposes and approved a settlement agreement over the objection of ten class members (objectors). In this appeal, objectors challenged the propriety of the settlement's release provision, the certification of the class, and the process by which the district court reached its decisions. Although the court rejected the objectors' arguments regarding the release, the court concluded that the district court abused its discretion in certifying the class and approving the settlement because the named plaintiffs failed to adequately represent the interest of all class members. The court did not reach the procedural challenges, which were moot in light of the court's class certification holding. Therefore, the court vacated the district court's order and remanded for further proceedings. View "In re Literary Works in Elec. Databases Litig." on Justia Law

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Plaintiff sued defendant, claiming, among other things, copyright infringement under 17 U.S.C. 501, trademark infringement under 15 U.S.C. 1114(a), and unfair competition under New York state law. At issue was whether the first sale doctrine, 17 U.S.C. 109(a), applied to copyrighted workers produced outside the United States but imported and resold in the United States. The court held that the first sale doctrine did not apply to works manufactured outside of the United States; the district court did not err in declining to instruct the jury regarding the unsettled state of the first sale doctrine; and the district court did not err in admitting evidence of defendant's gross revenues. Accordingly, the judgment of the district court was affirmed. View "John Wiley & Sons, Inc. v. Kirtsaeng" on Justia Law

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After a bench trial, the district court entered a judgment for plaintiffs concluding that on seventeen occasions, defendant had infringed plaintiffs' copyrights in their research reports, and that by collecting and disseminating to its own subscribers the summary recommendations with respect to securities trading contained in plaintiffs' reports, defendant had committed the New York state law tort of "hot news" misappropriation. Defendant appealed the judgment and injunction against it on the "hot news" misappropriation claim. The court held that plaintiffs' claim against defendant for "hot news" misappropriation of the plaintiff financial firms' recommendations to clients and prospective clients as to trading in corporate securities was preempted by federal copyright law. Based upon principles explained and applied in National Basketball Association v. Motorola ("NBA"), the court held that because plaintiffs' claim fell within the "general scope" of copyright, 17 U.S.C. 106, and involved the type of works protected by the Copyright Act, 17 U.S.C. 102 and 103, and because defendant's acts at issue did not meet the exceptions for a "hot news" misappropriation claim as recognized by NBA, the claim was preempted. Accordingly, the court reversed the judgment of the district court with respect to that claim. View "Barclays Capital Inc., et al. v. Theflyonthewall.com, Inc." on Justia Law

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This appeal arose out of a successful forfeiture action brought by the United States government pursuant to 19 U.S.C. 1595a, which denied appellant's subsequent motion for attorney's fees. The forfeiture action sought to recover the Pissaro work of art entitled "Le Marche" that was reported stolen from the Musee Faure in Aix-les-Bains, France in 1981. At issue was whether the district court erred by refusing to apply the protections afforded by 18 U.S.C. 983 to the government's section 1595a claim and by denying her motion for attorney's fees after two of the government's three forfeiture claims were dismissed at summary judgment. The court held that a forfeiture action brought pursuant to section 1595a was not governed by section 982 and therefore, appellant was not entitled to raise the innocent-owner defense provided by section 983(d) or to take advantage of the heightened proof requirement of section 983(c). Therefore, the court affirmed the district court's judgment of forfeiture and since appellant was not a prevailing party within the meaning of 28 U.S.C. 2465(b)(1), she was not entitled to attorney's fees under the statute.

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Appellants appealed from an order of the district court denying its motion, made after a preliminary injunction was vacated by the court, to recover damages against an injunction bond posted by appellee. At issue was whether the district court correctly concluded that the damages sought were not proximately caused by the injunction, and that, in deciding this issue, the district court should have applied a presumption in favor of recovery against the bond. The court held that a wrongfully enjoined party was entitled to a presumption in favor of recovery against an injunction bond and that the district court's decision was insufficient to permit meaningful appellate review. Accordingly, the court vacated the order and remanded for reconsideration and clarification.