Sullivan Jr. V. Vox Media, Inc

Total Page:16

File Type:pdf, Size:1020Kb

Sullivan Jr. V. Vox Media, Inc Case 1:17-cv-02581 Document 1 Filed 04/11/17 Page 1 of 23 LEE LITIGATION GROUP, PLLC C.K. Lee (CL 4086) Anne Seelig (AS 3976) 30 East 39th Street, Second Floor New York, NY 10016 Tel.: 212-465-1188 Fax: 212-465-1181 Attorneys for Plaintiff and the Class UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK PHILLIP SULLIVAN JR, on behalf of himself and all others similarly situated, Case No.: Plaintiff, CLASS ACTION COMPLAINT -against- VOX MEDIA, INC., Defendant, Plaintiff, PHILLIP SULLIVAN JR (hereinafter, “Plaintiff”), on behalf of himself and others similarly situated, by and through his undersigned attorney, hereby files this Class Action Complaint against Defendant, VOX MEDIA, INC., and states as follows: INTRODUCTION 1. This class action seeks to put an end to systemic civil rights violations committed by Defendant VOX MEDIA, INC. (hereafter collectively as “Vox” or “Defendant”), against the deaf and hard of hearing individuals in New York State and across the United States. Defendant is denying the deaf and hard of hearing individuals throughout the United States equal access to the goods and services Vox provides to non-disabled individuals through http://www.vox.com (hereafter “Vox.com” or “the website”). Vox.com provides to the public Case 1:17-cv-02581 Document 1 Filed 04/11/17 Page 2 of 23 a wide array of the goods, services, employment opportunities and other programs offered by Vox. Yet, Vox.com contains access barriers that make it difficult, if not impossible, for deaf and hard of hearing individuals to use the website. In fact, the access barriers make it impossible for deaf and hard of hearing users to comprehend the audio portion of videos that are posted on Vox.com. Vox thus excludes the deaf and hard of hearing from the full and equal participation in the growing Internet economy that is increasingly a fundamental part of the common marketplace and daily living. In the wave of technological advances in recent years, assistive technology is becoming an increasingly prominent part of everyday life, allowing deaf and hard of hearing people to fully and independently access a variety of services, including accessing online videos. 2. Plaintiff Philip Sullivan Jr, who currently lives in New York City, is a deaf and hard of hearing individual. He brings this civil rights class action against Defendant for failing to design, construct, and/or own or operate a website that is fully accessible to, and independently usable by, deaf and hard of hearing people. 3. Approximately 36 million people in the United States are deaf or hard of hearing. Many of these individuals require captioning to meaningfully comprehend the audio portion of video content. Just as buildings without ramps bar people who use wheelchairs, video content without captions excludes deaf and hard of hearing individuals. Closed captioning is a viewer activated system that displays text on, for instance, online videos, television programming, or DVD movies. This is different from open captioning or subtitles, which are burned into the video file and automatically displayed for everyone to see, such as subtitles in foreign language movies. With closed captioning, deaf and hard of hearing individuals have the opportunity to watch videos by reading the captioned text. 2 Case 1:17-cv-02581 Document 1 Filed 04/11/17 Page 3 of 23 4. Deaf and hard of hearing people watch videos just as sighted people do. The lack of closed captioning means that deaf and hard of hearing people are excluded from the rapidly expanding internet media industry and from independently accessing videos posted on Vox.com. 5. Despite readily available accessible technology, such as the technology in use at other heavily trafficked websites, which makes use of closed captioning for hearing impaired individuals, such as YouTube and Netflix, Defendant has chosen to post videos without closed captioning that are inaccessible to deaf and hard of hearing individuals. Without closed captioning, deaf and hard of hearing people cannot comprehend the audio portion of the videos on Vox.com. 6. By failing to make the website accessible to deaf and hard of hearing persons, Defendant is violating basic equal access requirements under both state and federal law. 7. Congress provided a clear and national mandate for the elimination of discrimination against individuals with disabilities when it enacted the Americans with Disabilities Act. Such discrimination includes barriers to full integration, independent living, and equal opportunity for persons with disabilities, including those barriers created by websites and other public accommodations that are inaccessible to deaf and hard of hearing individuals. Similarly, New York state law requires places of public accommodation to ensure access to goods, services and facilities by making reasonable accommodations for persons with disabilities. 8. Plaintiff browsed and intended to watch the videos on Vox’s website. However, unless Defendant remedies the numerous access barriers on the website, Plaintiff and Class members will continue to be unable to independently watch videos on Vox.com. 3 Case 1:17-cv-02581 Document 1 Filed 04/11/17 Page 4 of 23 9. This complaint seeks declaratory and injunctive relief to correct Vox’s policies and practices to include measures necessary to ensure compliance with federal and state law and to include monitoring of such measures, to update and remove accessibility barriers on Vox.com so that Plaintiff and the proposed Class and Subclass individuals who are deaf and hard of hearing will be able to independently and privately view videos posted on Defendant’s website. This complaint also seeks compensatory damages to compensate Class members for having been subjected to unlawful discrimination. JURISDICTION AND VENUE 10. This Court has subject matter jurisdiction of this action pursuant to: a. 28 U.S.C. § 1331 and 42 U.S.C. § 12188, for Plaintiff’s claims arising under Title III of the Americans with Disabilities Act, 42 U.S.C. § 12181, et seq., (“ADA”); and b. 28 U.S.C. § 1332, because this is a class action, as defined by 28 U.S.C § 1332(d)(1)(B), in which a member of the putative class is a citizen of a different state than Defendant, and the amount in controversy exceeds the sum or value of $5,000,000, excluding interest and costs. See 28 U.S.C. § 1332(d)(2). 11. This Court has supplemental jurisdiction pursuant to 28 U.S.C. § 1367, over Plaintiff’s pendent claims under the New York State Human Rights Law, N.Y. Exec. Law, Article 15 (Executive Law § 290 et seq.) and the New York City Human Rights Law, N.Y.C. Administrative Code § 8-101 et seq. (“City law”). 12. Venue is proper in the Southern District of New York pursuant to 28 U.S.C. §§ 1391(b)-(c) and 1441(a). 4 Case 1:17-cv-02581 Document 1 Filed 04/11/17 Page 5 of 23 13. Defendant is registered to do business in New York State and has been doing business in New York State, including the Southern District of New York. Defendant also runs Vox.com, which provides social news, political reports, entertainment and video. Defendant has been and is committing the acts alleged herein in the Southern District of New York, has been and is violating the rights of consumers in the Southern District of New York, and has been and is causing injury to consumers in the Southern District of New York. A substantial part of the acts and omissions giving rise to Plaintiff’s claims have occurred in the Southern District of New York. Specifically, Plaintiff attempted to watch the videos on Defendant’s website Vox.com in New York County. PARTIES 14. Plaintiff, PHILLIP SULLIVAN JR, is and has been at all times material hereto a resident of New York County, New York. 15. Plaintiff PHILLIP SULLIVAN JR is legally deaf and a member of a protected class under the ADA, 42 U.S.C. § 12102(1)-(2), the regulations implementing the ADA set forth at 28 CFR §§ 36.101 et seq., the New York State Human Rights Law and the New York City Human Rights Law. Plaintiff SULLIVAN cannot access the audio portion of a video without the assistance of closed captioning. Plaintiff SULLIVAN has been denied the full enjoyment of the facilities, goods and services of Vox.com, as a result of accessibility barriers on Vox.com. Most recently in March 2016, Plaintiff SULLIVAN attempted to watch the video “Watch how a dictionary writer defines English” on Vox.com but could not apprehend the content of the videos due to the lack of closed captioning. The inaccessibility of Vox.com has deterred him and Class members from watching videos on Vox.com. 5 Case 1:17-cv-02581 Document 1 Filed 04/11/17 Page 6 of 23 16. Defendant VOX MEDIA, INC. is an American for-profit corporation organized under the laws of Delaware, with process of service address at 80 STATE STREET, ALBANY, NEW YORK 12207-2543. 17. The failure of Vox to provide equal access to millions of deaf and hard of hearing individuals violates the mandate of the ADA to provide “full and equal enjoyment” of a public accommodation’s goods, services, facilities, and privileges. Places of public accommodation include, “place[s] of exhibition and entertainment,” “places[s] of recreation,” and “service establishments.” 28 C.F.R. § 36.201 (a); 42 U.S.C. §12181 (7). Because Defendant’s website Vox.com is a “place of public accommodation,” denial of equal access to the videos available to hearing individuals violates the ADA. Remedying that violation is critical to the ADA’s goal of providing people with disabilities the same access that others take for granted.
Recommended publications
  • Company Title G-Technology WW Sr. Product Line Manager Microsoft
    Company Title G-Technology WW Sr. Product Line Manager Microsoft Worldwide Managing Director, Media & Cable Contentbridge VP, Product Development GrayMeta VP Sales Practical Magic Visual Effects Artist Amazon Studios Video Workflow Manager Bloomberg Video Product Manager Bloomberg Video Product Manager Fox Broadcasting Video Producer Apple Video Partner Relations Technicolor Vice Presidept Technicolor Ltd Warner Bros. Vice President, Worldwide Theatrical Distribution, Marketing & Production Paramount Vice President, Worldwide Digital Business Development Dolby Vice President, Worldwide Content Relations Dolby Vice President, Technology Strategy NBCUniversal Vice President, Technology & Digital Platforms Pixelogic Media Vice President, Technology Premiere Digital Vice President, Technology Warner Bros. Entertainment Vice President, Technology ZOO Digital Vice President, Technical Services Fox Networks Group Vice President, Systems Development National Geographic Vice President, Systems Partners TNT/TBS Vice President, Studio Content Operations Synovos Vice President, Strategy & Business Development Disney Vice President, Strategy You.i TV Vice President, Strategic Accounts Cartesian Vice President, Security Sales MarkLogic Vice President, Sales, Americas Prime Focus Technologies Vice President, Sales and Account Management Crawford Media Services Vice President, Sales & Marketing You.i TV Vice President, Sales & Business Development Sony DADC NMS Vice President, Sales T2 Computing Vice President, Sales ZOO Digital Vice President, Sales
    [Show full text]
  • Startup Culture Isn't Just a Fad, Signals CXO Money Snapdeal Raises AGE of INVES1MENI'5 $500 M More'in a Fresh Round
    The Economic Times August 3, 2015 Page No. 1 & 13 GUNGHOA poll of 100 C-sutte occupiers across companies has revealed that as ma~60% CXO-Ievel execs in India invested a portion of their wealth in startups Startup Culture isn't Just a Fad, Signals CXO Money Snapdeal Raises AGE OF INVES1MENI'5 $500 m more'in a Fresh Round 2VEARS Alibaba, Foxconn and 3YEARS_ SoftBank pick up stakes 4 YEARS. DealDIIest IN JA/IIUMv, AU- A MIX OFVALUA- 5-10YEARS baba started talks tIon mIsmaId1IS with SnapdeaI to and demand for !!10VEARS_ ,,-pick-,---,UP-,--stake~_-----lper10nnaIlCIHed 11 MAY,FOIIaNI metrIcs dI!Iayed NORESPONSE. too evinced interest dosure.of deal planned to open their wallets to this as- [email protected] set class in the coming months. As many as 79 CXOs said they would New Delhi: Jasper Infotech, which TEAM ET recommend investing in startups to oth- owns and operates online marketplace ers' although with an important caveat Snapdeal.com, has raised fresh capi- that these investments were risky and As many as six in 10 CXO-levelexecu- tal, estimated at about $500 million, in tives in India have invested a portion of investors needed to make them with a new round led by Chinese e-com- their wealth in startups, an ET poll of their eyes fully open. merce giant Alibaba Group and Tai- 100 randomly selected C-Suite occu- wanese electronics manufacturer piers across compa- Investlnlln Friends' Ventures •• 13 Foxconn, tech news startup Re/Code NBFCSQUEUE nies in a range of in- claimed late on Sunday.
    [Show full text]
  • Attendance Audit Summary
    ATTENDANCE AUDIT SUMMARY CES® 2020 January 7-10, 2020 Las Vegas, Nevada CES.tech Letter from Consumer Technology Association (CTA)® For more than 50 years, CES® has served as a global platform for companies to share innovative technology with the world. In these challenging times, CES showcases the spirit of innovation and brings together energy and creativity that will enable technology to make the world healthier, safer, more resilient and connected. CES 2020 featured transformative technologies such as artificial intelligence, the 5G ecosystem and mobile connectivity. CES 2020 inspired and connected major industries across the globe and highlighted trends that are now more important than ever, including non-traditional tech and tech for good. We are certain that technology, including the innovations at CES, will help energize the global economy and pull the world through the current crisis to emerge safer and stronger than before. CES 2020 hosted 4419 exhibiting companies across more than 2.9 million net square feet and attracted a total attendance of 171,268, including 6517 members of media. This result aligns with our strategy of managing attendee numbers and attracting the most highly qualified attendees. CES is one of a select group of trade shows that follow the strict auditing requirements set by UFI, the Global Association of the Exhibition Industry. CES adheres to these requirements to ensure that you have the most detailed and accurate information on CES’s trade event attendance. To help you succeed and grow your business, we are proud to provide you with this independently audited attendance data in our CES 2020 Attendance Audit Summary.
    [Show full text]
  • In the Court of Chancery of the State of Delaware
    IN THE COURT OF CHANCERY OF THE STATE OF DELAWARE STEPHEN G. PERLMAN, REARDEN LLC, a California limited liability company, and ARTEMIS NETWORKS LLC, a Delaware limited liability company, Plaintiffs, Civil Action No. 10046-VCP v. VOX MEDIA, INC., a Delaware corporation, Defendant. MEMORANDUM OPINION Date Submitted: June 10, 2015 Date Decided: September 30, 2015 Matthew E. Fischer, Esq., Jacob R. Kirkham, Esq., Jacqueline A. Rogers, Esq., POTTER ANDERSON & CORROON LLP, Wilmington, Delaware; Neville L. Johnson, Esq., Douglas L. Johnson, Esq., James T. Ryan, Esq., JOHNSON & JOHNSON, LLP, Beverly Hills, California; Attorneys for Plaintiffs, Stephen G. Perlman, Rearden LLC, and Artemis Networks LLC. Peter L. Frattarelli, Esq., ARCHER & GREINER, P.C., Wilmington, Delaware; Attorneys for Defendant, Vox Media, Inc. PARSONS, Vice Chancellor. This is an action by a Delaware limited liability company (“LLC”), a California LLC, and an entrepreneur seeking equitable relief and money damages against a Delaware corporation for defamation. The corporation owns and operates a website that, in 2012, published an allegedly defamatory article about a non-party Delaware corporation that is affiliated closely with the Delaware LLC and the entrepreneur. After the website rewrote substantially the article that same day and admitted publicly that it was not vetted properly, the website published another article several days later that the plaintiffs allege is false and defamatory. Then, in 2014, the website published an article about the Delaware LLC that, in its first sentence, referenced and hyperlinked the 2012 articles, allegedly repeated and enhanced the original statements, and imputed those allegedly false and defamatory statements to the Delaware LLC.
    [Show full text]
  • Tech That Reality Check Making Money from News
    NEWS REALITY IN THE November 2018 CHECK Using technology to combat DIGITAL misinformation AGE CONTINENTAL SHIFT NBC News International’s Deborah Turness on covering a divided Europe MAKING MONEY FROM NEWS Industry leaders across TECH THAT Europe share their views Check out the smart tools reshaping reporting Paid Post by Google This content was produced by the advertising department of the Financial Times, in collaboration with Google. Paid Post by Google This content was produced by the advertising department of the Financial Times, in collaboration with Google. Digital News Innovation Fund 30 European countries 559 Projects €115M In funding g.co/newsinitiative 2 | GoogleNewsInitiative.ft.com Foreword THE FUTURE OF NEWS In 2015, Google launched the Digital News Innovation Fund (DNI Fund) to stimulate innovation across the European news industry. The DNI Fund supports ambitious projects in digital journalism across a range of areas – from creating open-source technology that improves revenue streams to investing in quality, data-driven investigative journalism. Ludovic Blecher Head of the Digital News Google asked a dozen leaders from the industry to allocate a total of Innovation Fund €150m to projects submitted by media companies and start-ups – no strings attached: all intellectual property remains with the companies themselves. To date, we’ve selected 559 projects across 30 countries, supporting them with more than €115m. But it’s not just about the money. The DNI Fund provides space and opportunity to take risks and experiment. In the media industry, many players don’t compete with each other across borders. We are Veit Dengler also proud to have fostered publishers working together to tackle Executive board member, their common challenges, through technological collaboration.
    [Show full text]
  • Investing in Equitable News and Media Projects
    Investing in Equitable News and Media Projects Photo credit from Left to Right: Artwork: “Infinite Essence-James” by Mikael Owunna #Atthecenter; Luz Collective; Media Development Investment Fund. INVESTING IN EQUITABLE NEWS AND MEDIA PROJECTS AUTHORS Andrea Armeni, Executive Director, Transform Finance Dr. Wilneida Negrón, Project Manager, Capital, Media, and Technology, Transform Finance ACKNOWLEDGMENTS Farai Chideya, Ford Foundation Jessica Clark, Dot Connector Studio This work benefited from participation in and conversations at the Media Impact Funders and Knight Media Forum events. The authors express their gratitude to the organizers of these events. ABOUT TRANSFORM FINANCE Transform Finance is a nonprofit organization working at the intersection of social justice and capital. We support investors committed to aligning their impact investment practice with social justice values through education and research, the development of innovative investment strategies and tools, and overall guidance. Through training and advisory support, we empower activists and community leaders to shape how capital flows affect them – both in terms of holding capital accountable and having a say in its deployment. Reach out at [email protected] for more information. THIS REPORT WAS PRODUCED WITH SUPPORT FROM THE FORD FOUNDATION. Questions about this report in general? Email [email protected] or [email protected]. Read something in this report that you’d like to share? Find us on Twitter @TransformFin Table of Contents 05 I. INTRODUCTION 08 II. LANDSCAPE AND KEY CONSIDERATIONS 13 III. RECOMMENDATIONS 22 IV. PRIMER: DIFFERENT TYPES OF INVESTMENTS IN EARLY-STAGE ENTERPRISES 27 V. CONCLUSION APPENDIX: 28 A. ACKNOWLEDGMENTS 29 B. LANDSCAPE OF EQUITABLE MEDIA INVESTORS AND ADJACENT INVESTORS I.
    [Show full text]
  • Vox Media Turns to Cloudian Hyperstore to Meet Growing Archive Demand
    Vox Media Turns to Cloudian Hyperstore to Meet Growing Archive Demand Automates archive process and eliminates steps CUSTOMER CASE STUDY: to accelerate workflow by 10X VOX MEDIA Vox Media is a digital media company known for its high-profile brands including Vox, SB Nation, The Verge, Racked, Eater, Curbed, Recode, and Polygon. Headquartered in New York, the company also has offices in D.C, Los Angeles, Chicago, Austin, and San Francisco. The Challenge Vox Media creates digital content that caters to technology, sports and video game enthusiasts. At any given time, the firm has multiple active projects, including videos, podcasts and other digital content for a diverse audience across multiple INDUSTRY sites. Together, these digital projects drive demand for multiple petabytes of Media and Entertainment data storage. CHALLENGES Quantum StorNext provides the central storage management point for Vox, • Time-consuming tape-based connecting users to both primary and Linear Tape Open (LTO) archival storage. In archive process their legacy workflow, the digital assets currently in use were stored on SAN. Once • NAS staging area required, adding a project was completed, those assets were migrated to LTO tape. A NAS system workload served as a staging area between the SAN and the LTO archives. • Tape archive not searchable SOLUTION Cloudian HyperStore appliances PROJECT COMPLETE RESULTS PROJECT RETRIEVAL • 10X acceleration of archive process • Rapid data offload from SAN SAN NAS LTO Tape Backup • Eliminated NAS staging area and manual steps • Integration with existing IT Figure 1 : Legacy media workflow at Vox infrastructure (Quantum StorNext, The legacy workflow had multiple issues which prevented the team from meeting its Evolphin) goals.
    [Show full text]
  • PROJECT of the YEAR FINALISTS Agency of the Year for Agencies
    PROJECT OF THE YEAR FINALISTS Beyond Silence – Sunovion Pharmaceuticals Inc. by Biosector 2, a Syneos Health company AWOL inspired by Qantas – Junkee Media Healthcare IT News Australia – HIMSS by Mahlab Ideas of Order Magazine – Redbird Virgin Media Play Magazine – Virgin Media Ireland by Zahra Media Group Agency of the Year for agencies with less than 100 employees FINALISTS: Influence & Co. Imprint PM, poslovni mediji Storyation Redbird 256 media Agency of the Year for agencies with more than 100 employees include: Marcus Thomas LLC MSP-C, a division of MSP Communications New Content Stein IAS VERB Interactive, Inc. Yesler Content Marketer of the Year Randi Bartelmie Director of Global Brand & Content Symantec Corporation, Consumer Business Unit Bertrand Cerisier Vice President, Global Marketing Workplace Solutions Business Group Xerox Corp. Beverly Jackson Vice President, Social Media and Content Strategy MGM Resorts International Glenn LaFollette Senior Manager of Brand Strategy, Corporate Marketing JLL Venetta Linas Paris Senior Manager, Content – Global Marketing Aon Jason Miller Head of Content and Social Media Marketing LinkedIn Sales & Marketing Solutions EMEA Evan Parker Managing Director of Content Strategy NASCAR STRATEGY Content Marketing Launch of the Year WINNER Dear Basketball's Content Launch of the Year – Verizon by Rogers & Cowan FINALIST RISE with FIS - FIS My Natura, My Career – Natura by New Content Restaurant Insider - Upserve The Capital Monitor - ABN AMRO MeesPierson by Zandbeek. The agency for engagement Best
    [Show full text]
  • Platform Power Politics Facebook's Live Moment Vox's Platform Wrangler
    Spring 2016 A quarterly magazine on the future of media from Digiday FRENEMY Platform Facebook’s Vox’s Power Live Platform Politics Moment Wrangler P. 16 P. 22 P. 48 OPENING SHOT THIS Welcome to Pulse. he modern publisher is expertise. There's a pair of profiles of facing fast-changing and this new breed of platform experts, challenging times. The rise one about Vox Media's Choire Sicha AD of platform giants like Face- and another on a day in the life of book offer unprecedented Complex Media's chief content offi- ability to reach new audienc- cer. While Justin Smith, global CEO of PULSE POINT Tes, but content distribution and mon- Bloomberg Media, told the audience wwt etization is often outside publishers’ at DPS that publishers shouldn’t rush control. It’s enough to make you want in when it comes to platforms, Mic’s to crank up the printing presses. Cory Haik argues that publishers While Digiday is at its core a digital who build there quickly will be the media company, we thought the winners. We also wade into ad-tech's printed format was ideal for exploring midlife crisis, and why Facebook live IS FOR these critical issues in a thoughtful video is such a big deal. way. Pulse is our way of periodically At Digiday, we are optimistic checking the vital signs of the media realists. The shift to platforms is industry. neither good nor bad. In fact, the jury At the recent Digiday Publishing is still out about whether platforms Summit in Vail, Digiday brought to- will benefit the media industry in the gether leading publishers to discuss long run.
    [Show full text]
  • The New York Times 2014 Innovation Report
    Innovation March 24, 2014 Executive Summary Innovation March 24, 2014 2 Executive Summary Introduction and Flipboard often get more traffic from Times journalism than we do. The New York Times is winning at journalism. Of all In contrast, over the last year The Times has the challenges facing a media company in the digi- watched readership fall significantly. Not only is the tal age, producing great journalism is the hardest. audience on our website shrinking but our audience Our daily report is deep, broad, smart and engaging on our smartphone apps has dipped, an extremely — and we’ve got a huge lead over the competition. worrying sign on a growing platform. At the same time, we are falling behind in a sec- Our core mission remains producing the world’s ond critical area: the art and science of getting our best journalism. But with the endless upheaval journalism to readers. We have always cared about in technology, reader habits and the entire busi- the reach and impact of our work, but we haven’t ness model, The Times needs to pursue smart new done enough to crack that code in the digital era. strategies for growing our audience. The urgency is This is where our competitors are pushing ahead only growing because digital media is getting more of us. The Washington Post and The Wall Street crowded, better funded and far more innovative. Journal have announced aggressive moves in re- The first section of this report explores in detail cent months to remake themselves for this age. First the need for the newsroom to take the lead in get- Look Media and Vox Media are creating newsrooms ting more readers to spend more time reading more custom-built for digital.
    [Show full text]
  • Employment Group of the Year: Gibson Dunn by Braden Campbell
    Portfolio Media. Inc. | 111 West 19th Street, 5th Floor | New York, NY 10011 | www.law360.com Phone: +1 646 783 7100 | Fax: +1 646 783 7161 | [email protected] Employment Group Of The Year: Gibson Dunn By Braden Campbell Law360 (January 25, 2019, 12:48 PM EST) -- Gibson Dunn & Crutcher LLP’s employment practice prides itself on working at the vanguard of workplace law and certainly did so last year, winning major gig economy rulings and conducting #MeToo-related probes for prominent companies to earn a spot among Law360’s 2018 Employment Groups of the Year. The practice lodged a major win in February when it convinced a California Magistrate Judge that a former Grubhub delivery worker was not its employee, which came after the country’s first ever trial in a case alleging a gig economy company misclassified its workers. Months later, the firm persuaded the Ninth Circuit to dissolve a class of hundreds of thousands of Uber drivers in a similar misclassification suit that threatened to upend the company’s business model. That the firm has been at the center of two big gig economy rulings is a credit to its focus on coming up with “new ideas for new problems,” said Jason Schwartz, co-chair of Gibson Dunn’s employment group. “The gig economy falls right into that,” Schwartz said. “It’s a square peg in a round hole, the current set of employment laws are not designed to deal with it, so it really does require new thinking.” Former Grubhub courier Raef Lawson sued the food delivery company, alleging the company misclassified its workers as contractors rather than employees.
    [Show full text]
  • Supreme Court of the United States ————
    No. IN THE Supreme Court of the United States ———— PERSONALWEB TECHNOLOGIES, LLC, Petitioner, v. PATREON, INC., ET AL., Respondents. ———— On Petition for a Writ of Certiorari to the United States Court of Appeals for the Federal Circuit ———— PETITION FOR A WRIT OF CERTIORARI ———— MICHAEL A. SHERMAN JEFFREY A. LAMKEN JEFFREY F. GERSH Counsel of Record WESLEY W. MONROE ROBERT K. KRY STUBBS, ALDERTON & KENNETH E. NOTTER III MARKILES, LLP MOLOLAMKEN LLP 15260 Ventura Blvd. The Watergate, Suite 500 20th Floor 600 New Hampshire Ave., N.W. Sherman Oaks, CA 91403 Washington, D.C. 20037 (818) 444-4500 (202) 556-2000 [email protected] Counsel for Petitioner WILSON-EPES PRINTING CO., INC. – (202) 789-0096 – WASHINGTON, D.C. 20002 QUESTIONS PRESENTED This Court has repeatedly held that, absent guidance from Congress, courts should not create special proce- dural rules for patent cases or devise novel preclusion doctrines that stray beyond the traditional bounds of claim and issue preclusion. Nonetheless, over the past seven years, the Federal Circuit has created and then repeatedly expanded a special, patent-specific preclusion doctrine that it attributes to this Court’s 114-year-old decision in Kessler v. Eldred, 206 U.S. 285 (1907)—a case this Court has not cited for almost 70 years. The Federal Circuit now routinely applies its so-called “Kessler doc- trine” to reject suits like this one that would survive under ordinary preclusion principles. The questions presented are: 1. Whether the Federal Circuit correctly interpreted Kessler to create a freestanding preclusion doctrine that may apply even when claim and issue preclusion do not.
    [Show full text]