Cobbler Nevada, LLC v. Gonzalez, No. 17-35041 (9th Cir. 2018)Annotate this Case
A bare allegation that a defendant is the registered subscriber of an Internet Protocol address associated with infringing activity is not sufficient to state a claim for direct or contributory infringement. The Ninth Circuit affirmed the district court's dismissal of an action brought by plaintiff under the Copyright Act, alleging direct and contributory infringement.
The panel held that the direct infringement claim failed because defendant's status as the registered subscriber of an infringing IP address, standing alone, did not create a reasonable inference that he was also the infringer. The panel reasoned that because multiple devices and individuals may be able to connect via an IP address, simply identifying the IP subscriber solved only part of the puzzle. The panel held that a plaintiff must allege something more to create a reasonable inference that a subscriber is also an infringer. Furthermore, Cobbler Nevada could not succeed on its contributory infringement theory because, without allegations of intentional encouragement or inducement of infringement, an individual's failure to take affirmative steps to police his internet connection was insufficient to state a claim.
Court Description: Copyright The panel affirmed the district court’s dismissal of an action under the Copyright Act, alleging direct and contributory infringement of plaintiff’s copyrights in a film. Plaintiff alleged unauthorized downloading and distribution of the film through peer-to-peer BitTorrent networks. The panel held that the bare allegation that the defendant was the registered subscriber of an Internet Protocol address associated with infringing activity was insufficient to state a claim for direct or contributory infringement. The panel also held that the district court did not abuse its discretion in awarding attorney’s fees to the defendant under 17 U.S.C. § 505.