Some selected documents for this case are included below.
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Date Filed
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#
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Document Text
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April 22, 2008
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1
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COMPLAINT against Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain Pictures, Inc.. (Filing Fee $ 350.00, Receipt Number
648841)Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood Music, Inc..(tve)
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April 22, 2008
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2
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RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate Parent. Document filed by EMI Blackwood Music, Inc..(tve) Modified on 4/29/2008 (tve).
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April 25, 2008
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3
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AFFIDAVIT OF SERVICE of Summons and Complaint,. C&S Production, L.P. served on 4/23/2008, answer due 5/13/2008. Service was accepted by Cory Steele, Registered Agent. Document
filed by Yoko Ono Lennon; Sean Ono Lennon; Julian Lennon; EMI Blackwood Music, Inc.. (Weber, Dorothy)
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April 25, 2008
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4
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AFFIDAVIT OF SERVICE of Summons and Complaint,. Premise Media Corporation, L.P. served on 4/23/2008, answer due 5/13/2008. Service was accepted by Cory Steele, Registered Agent.
Document filed by Yoko Ono Lennon; Sean Ono Lennon; Julian Lennon; EMI Blackwood Music, Inc.. (Weber, Dorothy)
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April 25, 2008
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5
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AFFIDAVIT OF SERVICE of Summons and Complaint,. Premise Media Distribution, L.P. served on 4/23/2008, answer due 5/13/2008. Service was accepted by Cory Steele, Registered Agent.
Document filed by Yoko Ono Lennon; Sean Ono Lennon; Julian Lennon; EMI Blackwood Music, Inc.. (Weber, Dorothy)
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April 25, 2008
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6
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AFFIDAVIT OF SERVICE of Summons and Complaint,. Rocky Mountain Pictures, Inc. served on 4/23/2008, answer due 5/13/2008. Service was accepted by Ronald C. Rogers. Document filed
by Yoko Ono Lennon; Sean Ono Lennon; Julian Lennon; EMI Blackwood Music, Inc.. (Weber, Dorothy)
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April 30, 2008
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7
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NOTICE OF APPEARANCE by Julie Angela Ahrens on behalf of Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain Pictures, Inc.
(Ahrens, Julie)
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May 1, 2008
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8
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FILING ERROR - WRONG DOCUMENT TYPE SELECTED FROM MENU - MOTION for Temporary Restraining Order., MOTION for Preliminary Injunction., MOTION for Discovery (Expedited)(MEMORANDUM OF
LAW IN SUPPORT OF MOTION). Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood Music, Inc.. (Attachments: # 1 Supplement West Law Cases)(Weber,
Dorothy) Modified on 5/1/2008 (KA).
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May 1, 2008
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9
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FILING ERROR - WRONG DOCUMENT TYPE SELECTED FROM MENU - DECLARATION of Dorothy M. Weber in Support re: 8 MOTION for Temporary Restraining Order. MOTION for Preliminary Injunction.
MOTION for Discovery (Expedited). Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood Music, Inc.. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3
Exhibit C, # 4 Exhibit D Part 1, # 5 Exhibit D Part 2, # 6 Exhibit D Part 3)(Weber, Dorothy) Modified on 5/1/2008 (KA).
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May 1, 2008
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10
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FILING ERROR - WRONG DOCUMENT TYPE SELECTED FROM MENU - DECLARATION of Nancy Weshkoff in Support re: 8 MOTION for Temporary Restraining Order. MOTION for Preliminary Injunction.
MOTION for Discovery (Expedited). Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood Music, Inc. (Weber, Dorothy) Modified on 5/1/2008 (KA).
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May 1, 2008
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11
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FILING ERROR - WRONG DOCUMENT TYPE SELECTED FROM MENU - AFFIDAVIT of Yoko Ono Lennon in Support re: 8 MOTION for Temporary Restraining Order. MOTION for Preliminary Injunction.
MOTION for Discovery (Expedited). Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood Music, Inc.. (Attachments: # 1 Exhibit A, # 2 Exhibit B)(Weber,
Dorothy) Modified on 5/1/2008 (KA).
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May 1, 2008
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12
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FILING ERROR - WRONG DOCUMENT TYPE SELECTED FROM MENU - AFFIDAVIT of Darnetha L. M'Baye in Support re: 8 MOTION for Temporary Restraining Order. MOTION for Preliminary Injunction.
MOTION for Discovery (Expedited). Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood Music, Inc.. (Weber, Dorothy) Modified on 5/1/2008 (KA).
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May 1, 2008
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13
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RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate Parent. Document filed by EMI Blackwood Music, Inc..(Weber, Dorothy)
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May 1, 2008
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14
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MEMORANDUM OF LAW in Support. Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood Music, Inc.. (Attachments: # 1 Supplement Westlaw)(Weber, Dorothy)
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May 1, 2008
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15
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DECLARATION of Dorothy M. Weber in Support re: 14 Memorandum of Law in Support. Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood Music, Inc..
(Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D Part 1, # 5 Exhibit D Part 2, # 6 Exhibit D Part 3)(Weber, Dorothy)
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May 1, 2008
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16
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DECLARATION of Nancy Weshkoff in Support re: 14 Memorandum of Law in Support. Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood Music, Inc.. (Weber,
Dorothy)
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May 1, 2008
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17
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AFFIDAVIT of Yoko Ono Lennon in Support re: 14 Memorandum of Law in Support. Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood Music, Inc..
(Attachments: # 1 Exhibit A, # 2 Exhibit B)(Weber, Dorothy)
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May 1, 2008
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18
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AFFIDAVIT of Darnetha L. M'Baye in Support re: 14 Memorandum of Law in Support. Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood Music, Inc..
(Weber, Dorothy)
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May 1, 2008
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19
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ORDER TO SHOW CAUSE: Plaintiffs will
be permitted to conduct expedited discovery. Defendants will produce the documents described herein before May 6, 2008. Plaintiffs will produce documents on or before May 6, 2008,
reflecting the exclusive administration by EMI Blackwood Music, Inc. Defendants shall show cause on, 5/19/2008 at 04:30 PM in Courtroom 23A, 500 Pearl Street, New York, NY 10007
before Judge Sidney H. Stein, as to why an order should not be entered pursuant to Rule 65 of the F.R.C.P. and the Court's inherent and equitable powers during the pendency of
this action. Answering papers if any shall be served upon plaintiffs by hand delivering copies thereof to plaintiffs counsel, before May 14, 2008 at 5:00 p.m., as set forth
herein. Reply papers if any, shall be filed with the Court and served upon defendants by hand delivering copies thereof on or before May 16, 2008 at 5:00 p.m. On consent, no
undertaking is required for T.R.O. (Signed by Judge Sidney H. Stein on 4/30/2008) (jpo)
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May 5, 2008
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20
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NOTICE OF APPEARANCE by Allen Craig Wasserman on behalf of Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain Pictures,
Inc. (Wasserman, Allen)
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May 5, 2008
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21
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NOTICE OF APPEARANCE by Gregory Thomas Casamento on behalf of Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain Pictures,
Inc. (Casamento, Gregory)
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May 7, 2008
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22
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MOTION for Roy Hardin to Appear Pro Hac Vice. Document filed by Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain
Pictures, Inc.(dle)
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May 7, 2008
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23
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MOTION for April Terry to Appear Pro Hac Vice. Document filed by Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain
Pictures, Inc..(dle)
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May 8, 2008
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24
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ORDER FOR ADMISSION PRO HAC VICE ON
WRITTEN MOTION granting 22 Motion for Roy W. Hardin to Appear Pro Hac Vice. Roy W. Hardin is admitted to practice pro hac vice as counsel for Defendants, Premise Media
Corporation, L.P., C&S Production L.P. d/b/a Rampant Films, Premise Media Distribution, L.P. and Rocky Mountain Pictures, Inc. in the above captioned case. (Signed by Judge
Sidney H. Stein on 5/8/08) (tro)
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May 8, 2008
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25
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ORDER FOR ADMISSION PRO HAC VICE ON
WRITTEN MOTION granting 23 Motion for April R. Terry to Appear Pro Hac Vice. April R. Terry is admitted to practice pro hac vice as counsel for Defendants, Premise Media
Corporation, L.P., C&S Production L.P. d/b/a Rampant Films, Premise Media Distribution, L.P. and Rocky Mountain Pictures, Inc. in the above captioned case. (Signed by Judge
Sidney H. Stein on 5/8/08) (tro)
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May 13, 2008
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26
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ORDER FOR ADMISSION PRO HAC VICE ON
WRITTEN MOTION: Attorney Anthony T. Falzone is admitted to practice pro hac vice as counsel for Defendants, for Premise Media Corporation, L.P., C&S Production, L.P., Premise
Media Distribution, L.P. and Rocky Mountain Pictures, Inc. In the United States District Court for the Southern District of New York. (Signed by Judge Sidney H. Stein on
5/13/2008) (jfe)
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May 13, 2008
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27
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STIPULATION AND ORDER: The time for
defendants to move, answer or otherwise respond (3rd claim) is extended to 6/13/08. Defendants will serve their answer to the first and second claim by 5/14/08. Premise Media
Corporation, L.P. answer due 6/13/2008; C&S Production, L.P. answer due 6/13/2008; Premise Media Distribution, L.P. answer due 6/13/2008; Rocky Mountain Pictures, Inc. answer
due 6/13/2008. (Signed by Judge Sidney H. Stein on 5/13/08) (db)
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May 12, 2008
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28
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MOTION for Anthony Falzone to Appear Pro Hac Vice. Document filed by Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain
Pictures, Inc.(dle)
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May 14, 2008
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29
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ANSWER to Complaint. Document filed by Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain Pictures, Inc..(Casamento,
Gregory)
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May 15, 2008
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30
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MEMORANDUM OF LAW in Opposition re: 8 MOTION for Temporary Restraining Order. MOTION for Preliminary Injunction. MOTION for Discovery Expedited. Memorandum of Law in Opposition to
Plaintiffs' Motion for Preliminary Injunction. Document filed by Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain
Pictures, Inc.. (Casamento, Gregory)
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May 15, 2008
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31
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DECLARATION of John Sullivan in Opposition re: 8 MOTION for Temporary Restraining Order. MOTION for Preliminary Injunction. MOTION for Discovery Expedited.. Document filed by
Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P.. (Casamento, Gregory)
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May 15, 2008
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32
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DECLARATION of Ronald C. Rodgers in Opposition re: 8 MOTION for Temporary Restraining Order. MOTION for Preliminary Injunction. MOTION for Discovery Expedited.. Document filed by
Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain Pictures, Inc.. (Casamento, Gregory)
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May 15, 2008
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33
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DECLARATION of A. Logan Craft in Opposition re: 8 MOTION for Temporary Restraining Order. MOTION for Preliminary Injunction. MOTION for Discovery Expedited.. Document filed by
Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain Pictures, Inc.. (Casamento, Gregory)
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May 15, 2008
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34
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CERTIFICATE OF SERVICE of Defendants' Memorandum of Law in Opposition to Motion for Preliminary Injunction and Supporting Declarations served on Plaintiffs on May 14, 2008.
Service was accepted by Dorothy M. Weber, Attorney. Document filed by Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain
Pictures, Inc.. (Casamento, Gregory)
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May 16, 2008
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35
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REPLY MEMORANDUM OF LAW in Support. Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood Music, Inc.. (Weber, Dorothy)
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May 16, 2008
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36
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DECLARATION of Dorothy M. Weber in Support re: 35 Reply Memorandum of Law in Support. Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood Music, Inc..
(Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D)(Weber, Dorothy)
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May 16, 2008
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37
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DECLARATION of Dr. Lawrence Ferrara in Support re: 35 Reply Memorandum of Law in Support. Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood Music,
Inc.. (Attachments: # 1 Exhibit A, # 2 Exhibit Audio 1)(Weber, Dorothy)
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May 16, 2008
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38
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DECLARATION of Walter "Chip" Cronkite III in Support re: 35 Reply Memorandum of Law in Support. Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood
Music, Inc.. (Attachments: # 1 Exhibit A, # 2 Exhibit B)(Weber, Dorothy)
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May 19, 2008
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40
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DECLARATION of John Sullivan in Opposition re: 8 MOTION for Temporary Restraining Order. MOTION for Preliminary Injunction. MOTION for Discovery Expedited.. Document filed by
Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain Pictures, Inc.. (Ahrens, Julie)
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May 19, 2008
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41
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ORDER; It is hereby ordered that as
set forth on the record today during the oral argument on plaintiffs' motion for preliminary injunction; The temporary restraining order issued April 30, 2008, shall continue in
effect until the determination of the currently pending motion for a preliminary injunction; and plaintiffs shall post security in the amount of $20,000.00 on or before May 21,
2008, pursuant to Fed. R. Civ. P. 65(c). (Signed by Judge Sidney H. Stein on 5/19/2008) (mme)
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May 23, 2008
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42
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NOTICE OF APPEARANCE by Joseph Nicholas Froehlich on behalf of Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain
Pictures, Inc. (Froehlich, Joseph)
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May 23, 2008
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43
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DEMAND for Trial by Jury. Document filed by Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain Pictures, Inc.(Froehlich,
Joseph)
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May 28, 2008
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44
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MOTION for Brandy Karl to Appear Pro Hac Vice. Document filed by Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain
Pictures, Inc..(dle)
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May 30, 2008
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45
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ORDER granting 44 Motion for Brandy
Karl to Appear Pro Hac Vice for defendants Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain Pictures, Inc. (Signed by
Judge Sidney H. Stein on 5/30/08) (db)
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June 2, 2008
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46
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OPINION & ORDER # 96101: Because
defendants are likely to prevail on their fair use defense, plaintiffs have failed to show, on the basis of the record developed to date, a clear likelihood of success or even a
simple likelihood of success on the merits of their copyright infringement claim. Plaintiffs have also not shown that the balance of hardships tips decidedly in their favor.
Accordingly, plaintiffs' motions for a preliminary injunction is denied. (Signed by Judge Sidney H. Stein on 6/2/08) (tro) Modified on 6/2/2008 (rw).
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June 9, 2008
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49
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ORDER ADMITTING ATTORNEY PRO HAC VICE.
Attorney Brandy Karl for Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P. and Rocky Mountain Pictures, Inc. admitted Pro Hac Vice.
(Signed by Judge Sidney H. Stein on 6/3/2008) (jfe)
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June 11, 2008
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50
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NOTICE OF APPEAL from 46 Memorandum & Opinion. Document filed by Yoko Ono Lennon, Sean Ono Lennon, Julian Lennon, EMI Blackwood Music, Inc. Filing fee $ 455.00, receipt number
E 653808. (tp)
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June 20, 2008
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51
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MOTION to Dismiss the Third Claim for Relief in the Complaint. Document filed by Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky
Mountain Pictures, Inc..(Wasserman, Allen)
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June 20, 2008
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52
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MEMORANDUM OF LAW in Support re: 51 MOTION to Dismiss the Third Claim for Relief in the Complaint.. Document filed by Premise Media Corporation, L.P., C&S Production, L.P.,
Premise Media Distribution, L.P., Rocky Mountain Pictures, Inc.. (Wasserman, Allen)
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June 20, 2008
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53
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CERTIFICATE OF SERVICE of NOTICE OF PREMISE MEDIA CORPORATION, L.P., C&S PRODUCTION L.P. D/B/A RAMPANT FILMS, PREMISE MEDIA DISTRIBUTION L.P., AND ROCKY MOUNTAIN PICTURES,
INC.S MOTION TO DISMISS, and the MEMORANDUM OF LAW IN SUPPORT OF DEFENDANTS MOTION TO DISMISS served on Dorothy M. Weber on June 20, 2008. Service was made by Mail. Document filed
by Premise Media Corporation, L.P., C&S Production, L.P., Premise Media Distribution, L.P., Rocky Mountain Pictures, Inc.. (Wasserman, Allen)
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July 2, 2008
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54
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ORDER setting Deadlines as to 51
MOTION to Dismiss the Third Claim for Relief in the Complaint: ( Response due by 7/14/2008. Reply due by 7/28/2008.) All Discovery except expert discovery due by 10/31/2008.)
(Signed by Judge Sidney H. Stein on 7/1/08) (cd)
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July 16, 2008
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55
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STIPULATION AND ORDER: that the
Plaintiffs' third claim for relief arising under 15 U.S.C. 1125(a) shall be dismissed with prejudice pursuant to Rule 41 F.R.C.P. Defendants reserve their right to seek costs and
fees in connection with the third claim. Plaintiffs reserve all of their defenses and objections to any claim by Defendant for costs or fees in connection with the third claim.
ENDORSEMENT: The pending motion by defendants to dismiss the third claim for relief 51 is dismissed with prejudice. Motions terminated: 51 MOTION to Dismiss (Signed by Judge
Sidney H. Stein on 7/16/2008) (tve)
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