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Warner Bros. Home Entm't Inc. v. Setiawan

UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA
Nov 19, 2013
Case No.: CV13-4070 DSF (RZx) (C.D. Cal. Nov. 19, 2013)

Opinion

Case No.: CV13-4070 DSF (RZx)

11-19-2013

Warner Bros. Home Entertainment Inc., Plaintiff, v. Hanny Setiawan a/k/a Hanny Arianto, an individual and d/b/a Amazon.com Seller Hannykz and Does 1 through 10, inclusive, Defendants.


JUDGMENT

This cause having come before this Court on the motion of Plaintiff Warner Bros. Home Entertainment Inc. (''Plaintiff") for entry of default judgment and a permanent injunction against Defendant Hanny Setiawan a/k/a Hanny Arianto, an individual and d/b/a as Amazon.com Seller Hannykz ("Defendant");

AND, the Court having read and considered the pleadings, declarations and exhibits on file in this matter and having reviewed such evidence as was presented in support of Plaintiff's Motion;

AND, GOOD CAUSE APPEARING, the Court finds the following facts:

Warner Bros. is the owner of exclusive U.S. distribution rights in and to certain creative works, including but not limited to television series Treme and The Closer ("the Warner Bros. Works"), which are the subject of the following registrations:

Copyright Registration Number:

Title of Work:

Claimant of Work:

PA 1-743-069

TREME: Accentuate The Positive

Home Box Office, Inc.

PA 1-739-172

TREME: Everything I Do Gonh Be Funky

Home Box Office, Inc.

PA 1-750-437

TREME: OnYour Way Down

Home Box Office, Inc.

PA 1-746-591

TREME: Santa Claus, Do You Ever Get The Blues?

Home Box Office, Inc.

PA 1-746-579

TREME: Slip Away

Home Box Office, Inc.

PA 1-746-582

TREME: Feels Like Rain

Home Box Office, Inc.

PA 1-746-583

TREME: Carnival Time

Home Box Office, Inc.

PA 1-756-008

TREME: Can I Change My Mind

Home Box Office, Inc.

PA 1-748-878

TREME: What Is New Orleans?

Home Box Office, Inc.

PA 1-748-782

TREME: That's What Lovers Do?

Home Box Office, Inc.

PA 1-748-781

TREME: Do Whatcha Wanna

Home Box Office, Inc.

PA 1-805-616

THE CLOSER: Unknown Trouble

Warner Bros. Entertainment Inc.

PA 1-830-012

THE CLOSER: Repeat Offender

Warner Bros. Entertainment Inc.

PA 1-830-014

THE CLOSER: To Serve With Love

Warner Bros. Entertainment Inc.

PA 1-830-262

THE CLOSER: Under Control

Warner Bros. Entertainment Inc.

PA 1-830-011

THE CLOSER: Forgive Us Our Trespasses

Warner Bros. Entertainment Inc.

PA 1-829-979

THE CLOSER: Home Improvement

Warner Bros. Entertainment Inc.

PA 1-830-017

THE CLOSER: A Family Affair

Warner Bros. Entertainment Inc.

PA 1-829-972

THE CLOSER: Death Warrant

Warner Bros. Entertainment Inc.

PA 1-829-994

THE CLOSER: Star Turn

Warner Bros. Entertainment Inc.

PA 1-830-261

THE CLOSER: Fresh Pursuit

Warner Bros. Entertainment Inc.

PA 1-830-008

THE CLOSER: Necessary Evil

Warner Bros. Entertainment Inc.

PA 1-829-985

THE CLOSER: You Have The Right To Remain Jolly

Warner Bros. Entertainment Inc.

PA 1-829-964

THE CLOSER: Relative Matters

Warner Bros. Entertainment Inc.

PA 1-829-977

THE CLOSER: Road Block

Warner Bros. Entertainment Inc.

PA 1-833-797

THE CLOSER: Silent Partner

Warner Bros. Entertainment Inc.

PA 1-829-967

THE CLOSER: Hostile Witness

Warner Bros. Entertainment Inc.

PA 1-829-981

THE CLOSER: Fool's Gold

Warner Bros. Entertainment Inc.



PA 1-829-966

THE CLOSER: Drug Fiend

Warner Bros. Entertainment Inc.

PA 1-829-968

THE CLOSER: Last Rites

Warner Bros. Entertainment Inc.

PA 1-830-005

THE CLOSER: Armed Response

Warner Bros. Entertainment Inc.

PA 1-805-629

THE CLOSER: The Last Word

Warner Bros. Entertainment Inc.


Plaintiff has complied in all respects with the laws governing copyright and secured the exclusive rights and privileges in and to the Warner Bros. Works;

The appearance and other qualities of the Warner Bros. Works are distinctive and original;

Defendant engages in the unauthorized business of importing, distributing, promoting, selling and/or offering for sale unauthorized counterfeit DVDs featuring the Warner Bros. Works ("Pirated Product").

Defendant's importing, advertising, displaying, promoting, marketing, distributing, providing, offering for sale and selling of the Pirated Product was engaged in willfully and intentionally, without leave or license from Plaintiff, in violation of Plaintiff's rights in and to the Warner Bros. Works.

The liability of the Defendant in the above-referenced action for his acts in violation of Plaintiff's rights is knowing and willful, and as such the Court expressly finds that there is no just reason for delay in entering the default judgment and permanent injunction sought herein.

Therefore, based on the foregoing facts, and

GOOD CAUSE APPEARING, THE COURT ORDERS that this Judgment shall be and is entered as follows: 1) This Court has jurisdiction over the parties to this action and over the subject matter hereof pursuant to 15 U.S.C. § 1051 et seq., 28 U.S.C. §§ 1331 and 1338, and 28 U.S.C. § 1367. Service of process was properly made on the Defendant. 2) Defendant has distributed, sold, and offered for sale counterfeit merchandise which infringes upon the Warner Bros. Works. 3) Defendant and his agents, servants, employees and all persons in active concert and participation with them who receive actual notice of the injunction are restrained and enjoined from:

a) Infringing the Warner Bros. Works, either directly or contributorily, in any manner, including generally, but not limited to manufacturing, importing, distributing, advertising, selling and/or offering for sale any merchandise which features any of the Warner Bros. Works, and, specifically:
i) Importing, manufacturing, distributing, advertising, selling and/or offering for sale the Pirated Products or any other unauthorized products which picture, reproduce, or copy any of the Warner Bros. Works;
ii) Importing, manufacturing, distributing, advertising, selling and/or offering for sale in connection thereto any unauthorized promotional materials, labels, packaging or containers which picture, reproduce, copy or use the likenesses of or bear a confusing similarity to any of the Warner Bros. Works;
iii) Engaging in any conduct that tends falsely to represent that, or is likely to confuse, mislead or deceive purchasers, the Defendant's customers and/or members of the public to believe, the actions of Defendant, the products sold by Defendant, or the Defendant himself is connected with Plaintiff, is sponsored, approved or licensed by Plaintiff, or is affiliated with Plaintiff;
iv) Affixing, applying, annexing or using in connection with the importation, manufacture, distribution, advertising, sale and/or offer for sale or other use of any goods or services, a false description or representation, including words or other symbols, tending to falsely describe or represent such goods as being those of Plaintiff.
4) Defendant is ordered to deliver for destruction all Pirated Product, and any other unauthorized products which picture, reproduce, copy or use the likenesses of or bear a substantial similarity to any of the Warner Bros. Works and any labels, signs, prints, packages, dyes, wrappers, receptacles and advertisements relating thereto in their possession or under their control bearing any of the Warner Bros. Works or any simulation, reproduction, counterfeit, copy or colorable imitations thereof, and all plates, molds, heat transfers, screens, matrices and other means of making the same. 5) Defendant is ordered to pay damages to Plaintiff, pursuant to 17 U.S.C. § 504, in the sum of $ 800,000. 6) Defendant is ordered to pay interest on the principal amount of the judgment to Plaintiff pursuant to 28 U.S.C. § 1961(a). 7) This Judgment shall be deemed to have been served upon Defendant at the time of its execution by the Court. 8) The Court finds there is no just reason for delay in entering this Judgment and, pursuant to Rule 54(a) of the Federal Rules of Civil Procedure, the Court directs immediate entry of this Judgment against Defendant. 9) The Court shall retain jurisdiction of this action to entertain such further proceedings and to enter such further orders as may be necessary or appropriate to implement and enforce the provisions of this Judgment.

____________

Hon. Dale S. Fischer

United States District Judge


Summaries of

Warner Bros. Home Entm't Inc. v. Setiawan

UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA
Nov 19, 2013
Case No.: CV13-4070 DSF (RZx) (C.D. Cal. Nov. 19, 2013)
Case details for

Warner Bros. Home Entm't Inc. v. Setiawan

Case Details

Full title:Warner Bros. Home Entertainment Inc., Plaintiff, v. Hanny Setiawan a/k/a…

Court:UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA

Date published: Nov 19, 2013

Citations

Case No.: CV13-4070 DSF (RZx) (C.D. Cal. Nov. 19, 2013)