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[FYI] The Order.
- To: debate@fitug.de
- Subject: [FYI] The Order.
- From: "Axel H Horns" <horns@t-online.de>
- Date: Fri, 21 Jan 2000 21:50:40 +0200
- CC: krypto@thur.de
- Comment: This message comes from the debate mailing list.
- Organization: PA Axel H Horns
- Reply-to: horns@t-online.de
- Sender: owner-debate@fitug.de
http://cryptome.org/dvd-mpaa-3-pi.htm
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[...]
ORDERED, as follows:
1. Plaintiffs' motion is granted.
2. Defendants Shawn C. Reimerdes, Eric Corley a/k/a "Emmanuel
Goldstein" and Roman Kazan, their officers, agents, servants,
employees and attorneys and all persons in active concert or
participation with them who receive actual notice of this order by
personal service or otherwise be and they hereby are enjoined and
restrained, pending the hearing and final determination of this
action from
(a) posting on any Internet web site, or in any other way
manufacturing, importing or offering to the public, providing, or
otherwise trafficking in DeCSS, and
(b) posting on any Internet web site, or in any other way
manufacturing, importing or offering to the public, providing, or
otherwise trafficking in any technology, product, service, device,
component, or part thereof, that:
(i) is primarily designed or produced for the purpose of
circumventing, or circumvention the protection afforded by, CSS, or
any other technological measure adopted by plaintiffs that
effectively controls access to plaintiffs' copyrighted works or
effectively protects the plaintiffs' rights to control whether an end
user can reproduce, manufacture, adapt, publicly perform and/or
distribute unauthorized copies of their copyrighted works or portions
thereof;
(ii) has only limited commercially significant purposes or use other
than to circumvent, or to circumvent the protection afforded by, CSS,
or any other technological measure adopted by plaintiffs that
effectively controls access to plaintiffs' copyrighted works or
effectively protects the plaintiffs' rights to control whether an end
user can reproduce, manufacture, adapt, publicly perform and/or
distribute unauthorized copies of their copyrighted works or portions
thereof; or
(iii) is marketed by defendants and/or others acting in concert with
them with the knowledge of its use in circumventing, or in
circumventing the protection afforded by, CSS, or any other
technological measure adopted by plaintiffs that effectively controls
access to the plaintiffs' copyrighted works or effectively protects
the plaintiffs' rights to control whether an end user can reproduce,
manufacture, adapt, publicly perform and/or distribute unauthorized
copies of their copyrighted works or portions thereof.
3. Certain terms use in this order are defined as follows:
(a) "DVD" means digital versatile disc.
(b) "CSS" means the Contents Scramble System used to encrypt,
scramble or otherwise protect the contents of certain DVDs from being
copied.
(c) "DeCSS" means any computer program, file or device that may be
used to decrypt or unscramble the contents of DVDs that are
protected, or otherwise to circumvent the protection afforded, by CSS
and that permits the copying of the contents or any portion thereof.
[...]
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