Vanderbilt Journal of Entertainment & Technology Law Volume 11 Issue 2 Issue 2 - Winter 2009 Article 2 2009 The "Spiritual Temperature" of Contemporary Popular Music Tracy Reilly Follow this and additional works at: https://scholarship.law.vanderbilt.edu/jetlaw Part of the Entertainment, Arts, and Sports Law Commons, and the First Amendment Commons Recommended Citation Tracy Reilly, The "Spiritual Temperature" of Contemporary Popular Music, 11 Vanderbilt Journal of Entertainment and Technology Law 335 (2020) Available at: https://scholarship.law.vanderbilt.edu/jetlaw/vol11/iss2/2 This Article is brought to you for free and open access by Scholarship@Vanderbilt Law. It has been accepted for inclusion in Vanderbilt Journal of Entertainment & Technology Law by an authorized editor of Scholarship@Vanderbilt Law. For more information, please contact [email protected]. The "Spiritual Temperature" of Contemporary Popular Music: An Alternative to the Legal Regulation of Death-Metal and Gangsta-Rap Lyrics Tracy Reilly* ABSTRACT The purpose of this Article is to contribute to the volume of legal scholarship that focuses on popular music lyrics and their effects on children. This interdisciplinary cross-section of law and culture has been analyzed by legal scholars, philosophers, and psychologists throughout history. This Article specifically focuses on the recent public uproar over the increasingly violent and lewd content of death- metal and gangsta-rap music and its alleged negative influence on children. Many legal scholars have written about how legal and political efforts throughout history to regulate contemporary genres of popular music in the name of the protection of children's morals and well-being have ultimately been foiled by the proper judicial application of solid First Amendment free-speech principles. Because the First Amendment prevents musicians from being held liable for their lyrics, and prevents the content of lyrics from being regulated, some scholars have suggested that the perceived problems with popular music lyrics could be dealt with by increasingpublic awareness and group action. Assistant Professor of Law, University of Dayton School of Law, Program in Law & Technology, Dayton, Ohio. J.D., Valparaiso University School of Law, 1995; B.A., Northern Illinois University, 1990. The author would like to dedicate this Article to the loving memory of her first and best teacher, friend and mentor-her mother, Eileen Reilly. She would also like to thank her husband, Mark Budka, for his constant love and support; Kelly Henrici, Executive Director of the Program in Law & Technology, for her insightful comments and continuous encouragement; and Dean Lisa Kloppenberg and the University of Dayton School of Law for research support. VANDERBILT J. OF ENT AND TECH LAW [Vol. 11:2:335 This Article provides reasons why both direct legal regulation and indirect social regulation will ultimately result in the silencing of unpopular ideas-a phenomenon that is unacceptable to the well- settled "marketplace of ideas" approach to First Amendment jurisprudence. This Article is unique in its interdisciplinaryapproach because it explains that the "spiritual temperature," or the current moral state of society, can be determined largely by the words its members speak to one another through the high art of music. It concludes that members of society who are understandably concerned about the increasingly and unacceptably violent, sexually explicit, pro- crime, and pro-drug subject matter contained in certain genres of popular music should shift their focus of reform out of the courts, legislatures, and government offices and towards responsible education and a complete moral cultural transformation. This cultural transformation can only be achieved by the return to a moral mindset that respects and appreciates the power and animus of popular music and gears it toward the positive growth of the youngest members of society. TABLE OF CONTENTS I. THE HISTORICAL INFLUENCE OF POPULAR MUSIC ON ITS L ISTEN ERS ............................................................................. 342 A. The Early Targets: Jazz and Blues ..................................... 343 B. Rock 'n'Roll: The Fear of Cross-Culturalism..................... 344 C. PopularMusic Gone Extreme: The Rise of Death M etal and GangstaRap ...................................................... 347 II. THE LEGAL OBSTACLES To MUSIC CENSORSHIP FACED BY PLAINTIFFS ............................................................................. 351 A. Protection of Lyrics Under the First Amendment ............... 351 1. History of the Regulation of Violent Speech ................. 353 2. Violent Speech and M usic Lyrics ................................... 355 3. History of the Regulation of Obscene Speech ............... 356 4. Obscene Speech and Music Lyrics ................................. 358 B. Negligence and Intentional Tort Theories .......................... 359 C. Unfair Competition Theories and Artist-Affiliate L ia bility ................................................................................ 3 62 III. THE OBSTACLES To MUSIC CENSORSHIP FACED BY SOCIAL AND POLITICAL GROUPS ................................................. 366 A. Moral Activists and Public Awareness Groups .................. 366 1. Growth of Moral Activism in the Media ........................ 367 2. The Parents Music Resource Center: A Modern Assault On Popular M usic ............................................. 373 2009] CONTEMPORARY POPULAR MUSIC B. The Involvement of Government ......................................... 379 C. "It Takes a Village" to Stop Shifting the Blame ................. 382 1. The Changing Cultural Roles of Parent and Child ...... 382 2. The Village Monster: The Silencing of Speech by Advocacy Groups and Government Controls ................ 384 D. Conflicting Research on Children's Reactions to M usical Content .................................................................. 386 IV. THE CURRENT REALITY: POPULAR MUSIC HAS LOST ITS SPIRIT OF ADOLESCENT DISSENT ......................................... 388 V. THE SOLUTION: THREE STEPS TO REGAINING THE SPIRIT OF POPULAR MUSIC IN AMERICAN CULTURE ............................. 392 A. Step One: Honesty and Promotionof Counter-Speech ....... 393 B. Step Two: Education and the Return to a PhilosophicalM indset......................................................... 395 C. Step Three: Artists, Take Back Your Lyrics! ...................... 396 V I. C ON CLU SION ............................................................................... 397 Philosophers throughout ancient, pre-industrial, and modern society have all agreed: the barometer of a culture can, to a great extent, be measured by how its citizens entertain themselves during times of leisure.1 Music, perhaps more than any other form of high art, has the potential to teach, inspire, and uplift the human spirit. However, music also has the powerful capacity to thrust humanity into an abject state of helplessness, subversion, and even hatred when its listeners and creators are indifferent toward violence and vulgarity. Plato taught that, in order to take the "spiritual temperature" of a particular individual or an entire society, one must "mark the music." He also believed that the purpose of music is to give form and beauty to the dark and chaotic forces present in the soul of man, enabling him to aspire to greatness and fullness of character. 2 Similarly, nineteenth-century German philosopher Friedrich Nietzsche posited that the very proof of man's origin-and of his absolute divinity-was found in the continuous development and betterment of his "spirit." 1. See, e.g., AARON RIDLEY, THE PHILOSOPHY OF MUSIC: THEME AND VARIATIONS 1-2 (2004). 2. ALLAN BLOOM, THE CLOSING OF THE AMERICAN MIND 72 (1987). Plato believed that music represents the soul's primitive and primary speech that is, in its essence, not only without reason, but hostile to reason. Id. at 71. It is only through civilization and the domestication of the soul's raw passions-or the harmonization of the "enthusiastic part of the souF-that man becomes whole. Id. 3. FRIEDRICH NIETZSCHE, THE ANTICHRIST, (H.L. Mencken trans. 2003) (1895). VANDERBILT J. OFENT AND TECH. LAW [Vol. 11:2:335 Modern American philosopher Neil Postman echoed the sentiments of Plato, Nietzsche, and other philosophers when he noted that music-like every medium of communication-has "resonance." In other words, music, according to Postman, has the ability to integrate our collective experiences of the world by imposing itself on our consciousness and social institutions in myriad forms-sometimes in goodness and beauty, but always implicating the "ways we define and regulate our ideas of truth."4 Indeed, for many philosophers, music is considered to provide man's consciousness with the same experience as the other arts-a "concretization" or a fixed and 5 measurable expression of his sense of life. Like philosophers, legal scholars also recognize that the answers that a culture gives to life's questions are not made in the abstract, but instead are made "in the most mundane and concrete decisions of life," which invariably include the type of music deemed popular by a majority of that culture.6 In essence, we are what we listen to. Yet even when answers and solutions to life's problems found in the medium of music were thought of as off-base, dissonant, vulgar, or unpopular, classical philosophers historically did not encourage censorship
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