Disney Enterprises, Inc. et al v. Hotfile Corp. et al
Filing
316
MOTION for Summary Judgment Publicly Filed Redacted Version by Anton Titov. Responses due by 3/22/2012 (Attachments: # 1 Exhibit A, # 2 Exhibit 1, # 3 Exhibit 2, # 4 Exhibit 3, # 5 Exhibit 4)(Munn, Janet)
EXHIBIT 4
09 4141,4;3661.6443)c-0111VW-PROULEABIS NIP
,O.Ned
on FLSD Docket 08/28/2009
Egij
rmc
01041 D.C.
August 28, 2009
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
STEVEN M. LARIMORE
CLERK U.S. DIST. CT.
S. D. OF FLA. • MIAMI
In re: Corbin Fisher: The identification of )
John Does 1-500 Pursuant to the Digital )
Millennium Copyright Act of 1998
APPLICATION AND DECLARATION
Pursuant to the Digital Millennium Copyright Act of 1998, 17 U.S.C. § 512(h),
Liberty Media Holdings, Inc. dlb/a Corbin Fisher, respectfully requests that the Clerk for
the United. States District Court for the Southern District of Florida issue the attached
subpoena to Webazilla, LLC, and that the Clerk please open a file with the case style
above, or in a form of the Court's preference.
As required by 17 U.S.C. § 512(h)(2)(A), a copy of the notification sent to the
service provider is attached hereto.
Pursuant to 17 U.S.C. § 512(h)(2)(C), I, Marc J. Randazzo., attorney for Corbin
Fisher, hereby swears that the purpose for which Corbin Fisher seeks the requested
subpoena is to obtain the identity of alleged copyright infringers, and that such
information will only be used for the purpose of protecting Corbin Fisher's intellectual
property rights.
Executed this the 25th day of August under penalty of perjury.
Marc John Rana
Florida Bar 625566
Massachusetts Bar 651477
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ctat/tilki,,,,Qa. 1)
Case #
0,SM-6
1 45
Judge_1A-___ Meg
Moth
Receipt #
1 of 55
Fee pd $
• cc,
cp OD__51 /7
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Case 0:09-mc-61349-WPD Document 1 Entered on FLSD Docket 08/28/2009 Page 2 of 55
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
)
in re: Corbin Fisher: The identification of )
John Does 1-500 Pursuant to the Digital )
Millennium Copyright Act of 1998
Exhibit A to Subpoena Served on. Webazilla, LLC
Items and information requested pursuant to this subpoena:
1.
Any and all information in your possession pertaining to the identity of the
individuals who own and operate Hotfile.corn including, but not limited to:
a.
b.
c.
d.
e.
f.
g.
11.
2.
The individual's name
The individual's address
The individual's email address
Billing information for hotfile.com's web hosting account
The physical address and phone number of Botfile's business
The physical address and phone numbers for any Hotfile employees or
principals
Your entire file on Hotfile, commencing with Hotfile's initial request to
subscribe to your services, ending with any communications they have had
with you regarding this particular action
Copies of any and all D1VICA notices provided to you due to infringements
by Hotfile or its users
Documents pertaining to your "repeat infringer policy", or any similar policy,
n amely,
a.
A copy of your repeat infringer policy
b.
A listing of which prior customers were terminated pursuant to this policy
3.
Any and all information in your possession pertaining to the identity of the
individuals who uplOaded each and every file listed below, all of which were hosted on
your servers. This shall include the ip addresses of these users and any other information
in your possession about them.
http://hotfile.com/d1/662953/1f131391/ACS0001-1500kbps .winv.html
http://hotfile.corn/d1/663101/60501b6/ACS0002-1500kbps.wmv.html
http://hotfi I e. comk11/663164/a25 c45a1ACS 0003-1500kbps .wmv.html
http://hottile.com/c11/663437/ee6b2dblACS0004-1500kbps.wmv.hunl
1attp://hotfile.corn/d1/663499/2a67711/ACS0005-1500kbps.wmv.html
http://holfile.com/d1/663549/7aalb8b/ACS0006-1500kbps .wmv.htm
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