Petitioners, V

Petitioners, V

No. ______ IN THE Supreme Court of the United States ___________ AMERICAN BROADCASTING COMPANIES, INC.; DISNEY ENTERPRISES, INC.; CBS BROADCASTING INC.; CBS STUDIOS INC.; NBCUNIVERSAL MEDIA, LLC; NBC STUDIOS, LLC; UNIVERSAL NETWORK TELEVISION, LLC; TELEMUNDO NETWORK GROUP LLC; WNJU–TV BROADCASTING LLC; WNET; THIRTEEN PRODUCTIONS, LLC; FOX TELEVISION STATIONS, INC.; TWENTIETH CENTURY FOX FILM CORPORATION; WPIX, LLC; UNIVISION TELEVISION GROUP, INC.; THE UNIVISION NETWORK LIMITED PARTNERSHIP; AND PUBLIC BROADCASTING SERVICE Petitioners, v. AEREO, INC., F/K/A BAMBOOM LABS, INC., Respondent. ___________ On Petition for Writ of Certiorari to the United States Court of Appeals for the Second Circuit ___________ PETITION FOR WRIT OF CERTIORARI ___________ Paul M. Smith* Paul D. Clement† Matthew E. Price Counsel of Record JENNER & BLOCK LLP Erin E. Murphy 1099 New York Ave. NW BANCROFT PLLC Suite 900 1919 M Street NW Washington, DC 20001 Suite 470 (202) 639-6060 Washington, DC 20036 [email protected] (202) 234-0090 [email protected] Additional Counsel Information on Inside Cover Richard L. Stone* Bruce P. Keller† Amy M. Gallegos Jeffrey P. Cunard JENNER & BLOCK LLP DEBEVOISE & PLIMPTON LLP 633 West 5th Street 919 Third Avenue Los Angeles, CA 90071 31st Floor (213) 239-5100 New York, NY 10022 (212) 909-6000 * Counsel for Petitioners WNET; THIRTEEN Productions, LLC; Fox Television Stations, Inc.; Twentieth Century Fox Film Corporation; WPIX, LLC; Univision Television Group, Inc.; The Univision Network Limited Partnership; and Public Broadcasting Service. † Counsel for Petitioners American Broadcasting Compa- nies, Inc.; Disney Enterprises, Inc.; CBS Broadcasting Inc.; CBS Studios Inc.; NBCUniversal Media, LLC; NBC Stu- dios, LLC; Universal Network Television, LLC; Telemundo Network Group LLC; and WNJU–TV Broadcasting LLC. i QUESTION PRESENTED A copyright holder possesses the exclusive right “to perform the copyrighted work publicly.” 17 U.S.C. §106(4). In the Copyright Act of 1976, Congress de- fined the phrase “[t]o perform … ‘publicly’” to include, among other things, “to transmit or otherwise commu- nicate a performance or display of the work … to the public, by means of any device or process, whether the members of the public capable of receiving the perfor- mance or display receive it in the same place or in sepa- rate places and at the same time or at different times.” Id. §101. Congress enacted that provision with the ex- press intent to bring within the scope of the public- performance right services that retransmit over-the-air television broadcasts to the public. Respondent Aereo offers just such a service. Aereo captures over-the-air television broadcasts and, without obtaining authoriza- tion from or compensating anyone, retransmits that programming to tens of thousands of members of the public over the Internet for a profit. According to the Second Circuit, because Aereo sends each of its sub- scribers an individualized transmission of a perfor- mance from a unique copy of each copyrighted pro- gram, it is not transmitting performances “to the pub- lic,” but rather is engaged in tens of thousands of “pri- vate” performances to paying strangers. The question presented is: Whether a company “publicly performs” a copy- righted television program when it retransmits a broadcast of that program to thousands of paid sub- scribers over the Internet. ii PARTIES TO THE PROCEEDING The Plaintiffs-Appellants below, who are the Peti- tioners before this Court, are American Broadcasting Companies, Inc.; Disney Enterprises, Inc., CBS Broad- casting Inc.; CBS Studios Inc.; NBCUniversal Media, LLC; NBC Studios, LLC; Universal Network Televi- sion, LLC; Telemundo Network Group LLC; WNJU– TV Broadcasting LLC; WNET; THIRTEEN Produc- tions, LLC (formerly THIRTEEN); Fox Television Stations, Inc.; Twentieth Century Fox Film Corpora- tion; WPIX, LLC (formerly WPIX, Inc.); Univision Television Group, Inc.; The Univision Network Limited Partnership; and Public Broadcasting Service. The Defendant-Appellee below, who is the Respon- dent before this Court, is Aereo, Inc. iii CORPORATE DISCLOSURE STATEMENT Pursuant to Rule 29.6, Petitioners state: American Broadcasting Companies, Inc. is an indi- rect, wholly owned subsidiary of The Walt Disney Company, a publicly traded company. Disney Enterprises, Inc. is a wholly owned subsidi- ary of The Walt Disney Company, a publicly traded company. CBS Broadcasting Inc. is an indirect, wholly owned subsidiary of CBS Corporation, a publicly traded com- pany. National Amusements, Inc., a privately held company, beneficially owns the majority of the voting stock of CBS Corporation. CBS Studios Inc. is an indirect, wholly owned sub- sidiary of CBS Corporation, a publicly traded company. National Amusements, Inc., a privately held company, beneficially owns the majority of the voting stock of CBS Corporation. NBCUniversal Media, LLC is indirectly owned by Comcast Corporation. Comcast Corporation is a public- ly held corporation. No other publicly held corporation owns 10 percent or more of the equity of NBCUniver- sal Media, LLC. NBC Studios, LLC is wholly and indirectly owned by NBCUniversal Media, LLC. NBCUniversal Media, LLC is indirectly owned by Comcast Corporation. Comcast Corporation is a publicly held corporation. No other publicly held corporation owns 10 percent or more of the equity of NBCUniversal Media, LLC. iv Universal Network Television, LLC is wholly and indirectly owned by NBCUniversal Media, LLC. NBCUniversal Media, LLC is indirectly owned by Comcast Corporation. Comcast Corporation is a public- ly held corporation. No other publicly held corporation owns 10 percent or more of the equity of NBCUniver- sal Media, LLC. Telemundo Network Group LLC is wholly and indi- rectly owned by NBCUniversal Media, LLC. NBCU- niversal Media, LLC is indirectly owned by Comcast Corporation. Comcast Corporation is a publicly held corporation. No other publicly held corporation owns 10 percent or more of the equity of NBCUniversal Me- dia, LLC. WNJU–TV Broadcasting LLC is wholly and indi- rectly owned by NBCUniversal Media, LLC. NBCU- niversal Media, LLC is indirectly owned by Comcast Corporation. Comcast Corporation is a publicly held corporation. No other publicly held corporation owns 10 percent or more of the equity of NBCUniversal Me- dia, LLC. WNET is a non-profit education corporation char- tered by the Board of Regents of the University of the State of New York. WNET has no parent corporation, and there is no publicly held corporation that owns 10 percent or more of its stock. THIRTEEN Productions, LLC (formerly THIRTEEN) is wholly owned by its parent corpora- tion, WNET, a non-profit education corporation char- tered by the Board of Regents of the University of the State of New York. WNET has no parent corporation, v and there is no publicly held corporation that owns 10 percent or more of its stock. Fox Television Stations, Inc. is a subsidiary of Twenty-First Century Fox, Inc., a publicly traded company. Twenty-First Century Fox, Inc. has no par- ent company, and no publicly traded company owns 10 percent or more of its stock. Twentieth Century Fox Film Corporation is a whol- ly owned subsidiary of Fox Entertainment Group, Inc., which in turn is a subsidiary of Twenty-First Century Fox, Inc., a publicly traded company. Twenty-First Century Fox, Inc. has no parent company, and no pub- licly traded company owns 10 percent or more of its stock. WPIX, LLC (formerly WPIX, Inc.) is a wholly- owned subsidiary of Tribune Broadcasting Company, LLC, which in turn is a wholly-owned subsidiary of Tribune Company, which is privately held. JPMorgan Chase & Company, a publicly held company, owns (di- rectly or through affiliates) approximately 9.88% of Tribune Company’s stock, according to the most recent information available. This percentage fluctuates, and could total 10% or more while this case is pending. Univision Television Group, Inc. is wholly owned by PTI Holdings, Inc., which in turn is wholly owned by Univision Local Media, Inc. Univision Local Media, Inc. is wholly owned by Univision Communications Inc., which in turn is wholly owned by Broadcast Media Partners Holdings, Inc., which is itself wholly owned by Broadcasting Media Partners, Inc. None of the above entities is publicly traded. vi The Univision Network Limited Partnership is owned by Univision Communications Inc. and Univi- sion Networks & Studios, Inc. Univision Networks & Studios, Inc. is itself wholly owned by Univision Com- munications Inc. Univision Communications Inc. is wholly owned by Broadcast Media Partners Holdings, Inc., which is itself wholly owned by Broadcasting Me- dia Partners, Inc. None of the above entities is publicly traded. Public Broadcasting Service is a non-profit District of Columbia corporation with no parent corporation. There is no publicly held corporation that owns 10 per- cent or more of its stock. vii TABLE OF CONTENTS QUESTION PRESENTED ............................................... i PARTIES TO THE PROCEEDING .............................. ii CORPORATE DISCLOSURE STATEMENT ............ iii TABLE OF AUTHORITIES .......................................... ix OPINIONS BELOW .......................................................... 1 JURISDICTION ................................................................. 1 STATUTES INVOLVED ................................................. 1 STATEMENT OF THE CASE ........................................ 1 A. Statutory Background ...............................

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