1 Main
1 Main
1 Main
Plaintiff John Van Stry (“Mr. Van Stry”) hereby brings the present
and Francisco Humberto Dias, the latter doing business as a registered sole
Plaintiff
District of Texas.
1
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 2 of 54 PageID #: 2
Defendants
Business Number 81511 6835 BC0001, and business and mailing address
§§ 106 and 113–14 granting, among other rights, that “the owner of
copyright under this title has the exclusive rights to do and to authorize any
1331 and 1338(a), the first providing for federal questions and the latter
ORIGINAL COMPLAINT 2
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 3 of 54 PageID #: 3
providing that “[t]he district courts shall have original jurisdiction of any
. .”
PERSONAL JURISDICTION
and Dias because they performed acts by which they purposefully availed
themselves of the benefits and protections of the laws of the State of Texas,
and the present litigation results from injuries arising from their activities
distributes, and imports via Mr. McCrea’s eBook.Bike website (see below
for description) and allows for and does reproduce the copyrighted Works
services for the eBook.Bike website and allows for and does reproduce the
this district.
ORIGINAL COMPLAINT 3
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 4 of 54 PageID #: 4
and are vicariously liable for infringement of others who are infringing, in
this district. Mr. McCrea had actual knowledge of the infringement of users
of his website, Frantech had the same information and knowledge of direct
Further, Mr. McCrea has the right and ability to supervise the infringing
activity of users in this district, and Frantech has the right to control or
copyright in this district, but both Defendants chose not to do so, so that
VENUE
which the defendant or his agent resides or may be found.” Neither Mr.
McCrea nor Mr. Dias resides in any judicial district. A defendant “may be
ORIGINAL COMPLAINT 4
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 5 of 54 PageID #: 5
venue purposes, a defendant who is not a resident of the United States may
either statute.
either statute.
14. While other districts may be proper as well, this venue was
1
See General Design Sign Co. No 02-cv-2298-H (N.D. Tex. Jan. 31,
2003).
2
See also In re HTC Corp., No. 2018-130 (Fed. Cir. May 9, 2018) (cert.
denied) (following the holding of the Supreme Court in Brunette Machine
Works, Ltd. v. Kockum Indus., Inc., 406 U.S. 706 (1972) (“[S]uits against
aliens are wholly outside the operation of all the federal venue laws,
general and special.”)).
ORIGINAL COMPLAINT 5
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 6 of 54 PageID #: 6
JOINDER
proper because the rights to relief are asserted against Defendants jointly,
question of law or fact common to all defendants will arise in the matter.
compulsory counterclaims Rule 13(a). The Supreme Court has stated that
a transaction or occurrence.
and utility software, and Mr. McCrea provided the software and user
Frantech, and Frantech protected Mr. McCrea by refusing to act in the face
ORIGINAL COMPLAINT 6
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 7 of 54 PageID #: 7
reduce the costs and burdens to Plaintiff, Defendants and the Court.
19. The Supreme Court has said that “under the Rules, the impulse is
encouraged.”
FACTUAL BACKGROUND
20. Mr. Van Stry began writing in 2011 when he published his first
book in the independent writer’s market. Mr. Van Stry received such
positive feedback to his first novel that he continued to write and publish
software industry. In or around the fall of 2014, Mr. Van Stry did
particularly well with the very popular Portals of Infinity series. As such,
by 2015, Mr. Van Stry was a full-time author, who lives solely off the
ORIGINAL COMPLAINT 7
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 8 of 54 PageID #: 8
21. In the fall of 2017, Mr. Van Stry started a new “brand” under the
penname “Jan Stryvant.” These Stryvant books have proven even more
popular, and have launched Mr. Van Stry into the top one percent of the
industry. As of the writing of this complaint, Mr. Van Stry has published
twenty-two books under his own name, and fourteen books, plus three short
story collections, under his penname. He has had over seventeen number
22. Mr. Van Stry received copyright protection for his books [see
401 on the Works, and has never given permission or license, explicit or
into the United States or the Eastern District of Texas any of his Works.
Travis McCrea
23. Mr. McCrea has a long and proud history of pervasive, blatant,
3
https://web.archive.org/web/20111024171632/http://travismccrea.com/.
ORIGINAL COMPLAINT 8
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 9 of 54 PageID #: 9
24. Indeed, Mr. McCrea became the leader of a group called the
Parliament (he received 0.02% of the vote). Mr. McCrea boasted that he
piracy “isn’t theft,” and stated that he will continue his piracy downloading
until the media is offered to him at what he considers a fair and accessible
price. 4 Mr. McCrea’s Pirate Party had, as a key tenant of its platform, to
4
https://www.cbc.ca/radio/the180/piracy-morals-public-art-sir-john-a-
macdonald-s-legacy-1.2893214/sharing-community-believes-online-
piracy-is-moral-1.2893228
5
https://web.archive.org/web/20111127213302/http://travismccrea.com/-
platforms
6
https://i1.wp.com/caseywolfgang.com/wp-content/uploads/2017/11/-
580567_10150663835456625_611145295_n.jpg (left);
https://www.straight.com/news/364946/travis-mccrea-pirate-party-
seeks-better-future-canada (right).
ORIGINAL COMPLAINT 9
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 10 of 54 PageID #: 10
25. In 2012, Mr. McCrea posted the “German Pirate Manifesto” to his
site which has tenants such as “no restrictions on copying” and “free
copying and free use,” which Mr. McCrea said was “pretty awesome.” 7
on tumblr:
7
https://web.archive.org/web/20120427152117/-
http://travismccrea.com:80
8
https://web.archive.org/web/20131121035439/http://travismccrea.com/-
resume/.
ORIGINAL COMPLAINT 10
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 11 of 54 PageID #: 11
to make digital scans of their textbooks and post the pirated scans to the
9
https://www.anonymous-france.eu/travis-mccrea-charles-sheehan-
miles-great-copyright-debate.html
10
https://www.chronicle.com/blogs/wiredcampus/new-site-brazenly-
trades-pirated-e-textbooks/32966
11
http://librarypirate.me/faq.php?do=view&id=2
ORIGINAL COMPLAINT 11
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 12 of 54 PageID #: 12
29. On or about January 2013, Mr. McCrea setup his tuebl.ca website.
McCrea solicited individuals who had digital copies of books in the popular
30. From the very beginning of tuebl, Mr. McCrea sought donations
as a quid pro quo for providing books for which Mr. McCrea had no right
to share.
12
https://web.archive.org/web/20130112225757/http://tuebl.ca/
13
https://web.archive.org/web/20130117173858/http://tuebl.ca:80/
ORIGINAL COMPLAINT 12
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 13 of 54 PageID #: 13
books, and 13 thousand authors, having their books downloaded over 9.5
million times. 14
world faces, is that he did not have to comply as he was “not a US citizen”—
a statement at odds with the fact that Mr. McCrea appears to have been born
free to, and did, add extra requirements beyond the DMCA for those
website. Mr. McCrea’s extra requirements included (1) that the author must
attestation that the requestor does so, subject to penalties of perjury, and
or PDF letters. 16
14
https://web.archive.org/web/20140209053446/http://tuebl.ca/
15
https://roosterteeth.com/user/teamcoltra
16
https://web.archive.org/web/20121201051511/http://digitalpatriots.org/-
2012/01/why-cant-writers-read/#more-46
ORIGINAL COMPLAINT 13
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 14 of 54 PageID #: 14
33. Mr. McCrea has publicly said that he does not care if what he is
34. Mr. McCrea compared tuebl to “The Pirate Bay,” perhaps the most
notorious illegal movie file-sharing site, when putting together a guide for
“other folks who either run filesharing websites or are looking to start up
their own.” 18
35. Additionally, Mr. McCrea indicated that donations to him via his
Kopimism
17
https://www.anonymous-france.eu/travis-mccrea-charles-sheehan-
miles-great-copyright-debate.html
18
https://web.archive.org/web/20121102101253/http://travismccrea.com/
19
https://web.archive.org/web/20121211081956/http://tuebl.ca/faq
ORIGINAL COMPLAINT 14
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 15 of 54 PageID #: 15
Religious Non-Profit Corporation with the state of Idaho August 20, 2012. 20
38. Mr. McCrea was president of the Kopimist Church of Idaho until
20
https://sosbiz.idaho.gov/api/report/GetImageByNum/A0110-6928
21
https://falkvinge.net/2013/09/21/paypal-takes-on-kopimism/
ORIGINAL COMPLAINT 15
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 16 of 54 PageID #: 16
Kopimisticism,” laws: 23
22
https://web.archive.org/web/20121208092442/http://kopimism.me/-
donate
23
https://web.archive.org/web/20131009152231/-
http://kopimism.me/about
ORIGINAL COMPLAINT 16
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 17 of 54 PageID #: 17
42. Mr. McCrea publicly touted that the donations he had been
airplane. 25
aircraft on his twitter page 26 and the 1967 PIPER PA-28-140 Fixed wing
24
https://web.archive.org/web/20121208092442/http://kopimism.me/-
donate
25
https://falkvinge.net/2013/09/21/paypal-takes-on-kopimism/
26
https://twitter.com/travisvancouver
ORIGINAL COMPLAINT 17
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 18 of 54 PageID #: 18
44. Indeed, with the donations, Mr. McCrea projects a life of luxury,
including yacht trips in the English Bay of Vancouver and horse riding. 28
27
https://flightaware.com/resources/registration/N9689W
28
https://www.youtube.com/watch?v=VciWd4vL6gk&t=79s;
http://caseywolfgang.com/travis-mccrea-pirate-party-canada/
ORIGINAL COMPLAINT 18
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 19 of 54 PageID #: 19
47. The eBook.Bike website states on the home page that it is “[a]
Travis McCrea website, made with love in Vancouver, BC” and lists Travis
Columbia, Canada. 30
website. 31
29
https://ebook.bike/
30
https://ebook.bike/
31
https://web.archive.org/web/20151204112148/http://tuebl.ca/;
https://twitter.com/hashtag/ebookbike?lang=en&lang=en
ORIGINAL COMPLAINT 19
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 20 of 54 PageID #: 20
50. Mr. McCrea’s eBook.Bike website does not require that a user
51. Mr. McCrea has said that he operates his eBook.Bike website
alone. 32
books to the website and facilitates such uploading with an interface where
anonymous visitors to the website can simply “drag and drop” a file which
32
https://www.thestar.com/entertainment/books/2019/03/09/authors-
irritated-by-smug-defence-of-vancouver-website-they-say-is-stealing-
their-work.html.
ORIGINAL COMPLAINT 20
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 21 of 54 PageID #: 21
on the upload page that persons should not share copyrighted works or
no terms of service page, and the FAQs never instruct users not to upload
54. After a user uploads a work, Mr. McCrea categorizes the book;
33
https://upload.ebook.bike/.
34
https://upload.ebook.bike/faq.html.
ORIGINAL COMPLAINT 21
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 22 of 54 PageID #: 22
55. Upon information and belief, for each uploaded file, Mr. McCrea
searches for, finds, and copies the cover of the works, descriptions of the
for each book. Upon information and belief, Mr. McCrea further tags the
work and converts the uploaded file into various formats (e.g., EPUB to
35
https://ebook.bike.
ORIGINAL COMPLAINT 22
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 23 of 54 PageID #: 23
text or vice versa), adding the ability to download the work in multiple
instructions and help on how to copy the unlicensed works appearing on his
36
https://ebook.bike/book/ebb-5c8d63d1b8da3/black-friday.html
ORIGINAL COMPLAINT 23
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 24 of 54 PageID #: 24
website, and shows users how to download them to their devices, such as
their iPhone.
37
https://mailchi.mp/06be0324852b/ebookbikestore.
ORIGINAL COMPLAINT 24
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 25 of 54 PageID #: 25
eBook.Bike website, makes at least twelve of Mr. Van Stry’s works, with
2. Perfect Strangers39
38
https://ebook.bike/book/ebb-5b52c4dbde1e6/portals-of-infinity-book-
one-champion-for-hire.html
39
https://ebook.bike/book/ebb-5ba4820481c59/perfect-strangers.html
40
https://ebook.bike/book/ebb-5ba04e1e13717/kaiju.html
ORIGINAL COMPLAINT 25
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 26 of 54 PageID #: 26
41
https://ebook.bike/book/ebb-5ba04e353629a/the-god-game.html
42
https://ebook.bike/book/ebb-5ba04e26b4728/of-temples-and-trials.html
43
https://ebook.bike/book/ebb-5ba04e3ac97d1/the-sea-of-grass.html
ORIGINAL COMPLAINT 26
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 27 of 54 PageID #: 27
9. When It Falls46
44
https://ebook.bike/book/ebb-5ba04e1463702/demigods-and-deities.html
45
https://ebook.bike/book/ebb-5ba04e2bc86ff/reprisal.html
46
https://ebook.bike/book/ebb-5c8d63f4a0dda/when-it-falls.html
47
https://ebook.bike/book/ebb-5c8d63eda9750/stand-on-it.html
ORIGINAL COMPLAINT 27
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 28 of 54 PageID #: 28
60. Mr. McCrea copies and provides the entirety of the unlicensed
works.
61. Mr. McCrea’s infringements are not for the purpose of scholarly
review, literary critique or parody, for which Mr. McCrea provides none.
48
https://ebook.bike/book/ebb-5c8d63d1b8da3/black-friday.html
49
https://ebook.bike/book/ebb-5c8d63e68d90d/over-our-heads.html
ORIGINAL COMPLAINT 28
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 29 of 54 PageID #: 29
website and being uploaded was not being uploaded by the copyright holder
and was unlicensed. The following are a very small set of examples. 50
63. Additionally, from the nature of many of the books that are
person that the material he copies, publicizes, makes available for search
and provides for download was both copyrighted and unlicensed, and,
again, only willful blindness would account for a belief the works were
50
https://twitter.com/NanciRathbun/status/1108843195150942208;
https://twitter.com/SuzanTisdale/status/1104088883648778240;
https://twitter.com/TonyKent_Writes/status/1103329328958451715
ORIGINAL COMPLAINT 29
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 30 of 54 PageID #: 30
First Lady’s, Michelle Obama’s, book as well as other New York Time Best
well, such as books by Stephen King, J.K. Rowling, Joanne Harris, Tom
51
https://web.archive.org/web/20190209165420/https://ebook.bike/
52
https://ebook.bike/search/stephen-king.html;
https://ebook.bike/search/j.k.-rowling.html;
https://ebook.bike/book/12594506901743/chocolat.html;
https://ebook.bike/book/12646481789933/line-of-control.html
ORIGINAL COMPLAINT 30
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 31 of 54 PageID #: 31
64. Indeed, Mr. McCrea responded to author Joanne Harris’ plea for
his site to stop pirating her books—and all books— by acknowledging his
site is distributing her books without her permission, yet, as of the writing
of this complaint, Mr. McCrea is still making Ms. Harris’ works available
65. While an affirmative defense that plaintiff need not address at the
pleading stage, nonetheless, Mr. McCrea is not eligible for the safe harbor
restriction, as the statute puts forth the required elements for a valid take-
53
https://www.bbc.co.uk/sounds/play/m000357c;
https://www.thebookseller.com/news/harris-hits-out-pirate-site-and-
calls-legal-precedent-965311
54
https://dmca.ebook.bike/
ORIGINAL COMPLAINT 31
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 32 of 54 PageID #: 32
67. March 12, 2019, counsel for Mr. Van Stry sent a letter to
eBook.Bike via the United States Postal Service to the address provided on
response, and, as of the writing of this complaint, none of the works has
55
https://whois.icann.org/en/lookup?name=ebook.bike
ORIGINAL COMPLAINT 32
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 33 of 54 PageID #: 33
Cloudflare
70. In addition to this “hiding feature,” Mr. McCrea has said that he
71. When Mr. Van Stry’s counsel presented Cloudflare with a DMCA
to the given email address; and suggested an avenue for further search, i.e.,
56
https://web.archive.org/web/20121102101253/http://travismccrea.com/
ORIGINAL COMPLAINT 33
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 34 of 54 PageID #: 34
72. When Mr. Van Stry’s counsel requested Cloudflare supply further
contact information Cloudflare may have had for its customer, Frantech,
them regarding the customer’s name and email address, even if the
information is incorrect, and does not require any other contact information,
Frantech
and the United States. ARIN relies upon the companies requesting internet
host the eBook.Bike website for McCrea and which stores and distributes
ORIGINAL COMPLAINT 34
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 35 of 54 PageID #: 35
following results. 57
organization confirmed that they do not accept service for a company called
FranTech Solutions.
company with the word “frantech” in its title, Frantech USA, LLC;
however, the database also shows that Frantech USA, LLC was
57
https://search.arin.net/rdap/?query=FranTech%20Solutions
58
https://wyobiz.wy.gov/Business/FilingDetails.aspx?eFNum=-
251115190037213094017010143020182049012139075039
ORIGINAL COMPLAINT 35
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 36 of 54 PageID #: 36
77. Frantech gave no overt response to counsel for Mr. Van Stry’s
request to remove the infringing works on its servers, provided in the form
had never been used since its creation (approximately 5 years before). 59
78. While an affirmative defense that Paintiff need not address at the
pleading stage, nonetheless, Frantech is not eligible for the safe harbor
59
https://wyobiz.wy.gov/Business/FilingDetails.aspx?eFNum=-
251115190037213094017010143020182049012139075039
ORIGINAL COMPLAINT 36
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 37 of 54 PageID #: 37
required. 60
79. As of the writing of this complaint, the Frantech “contact us” link
information: 61
Frantech is located. 62
60
https://dmca.ebook.bike/
61
https://buyvm.net/contactus.php
62
https://my.frantech.ca/contact.php
ORIGINAL COMPLAINT 37
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 38 of 54 PageID #: 38
63
https://cira.ca/ca-domains/whois
64
https://cira.ca/request-disclosure-registrant-information
ORIGINAL COMPLAINT 38
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 39 of 54 PageID #: 39
BuyVM
storage. 65
84. The “contact us” link at BuyVM simply redirects to the Frantech
and run by two men, Messrs. Francisco Dias (“Mr. Dias”) and Aldryic
C’boas. 67 Indeed, upon information and belief, the site is named Frantech
after Francisco.
65
https://buyvm.net/
66
https://my.frantech.ca/contact.php
67
https://web.archive.org/web/20160606083852/http://buyvm.net/-
contactus.php
ORIGINAL COMPLAINT 39
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 40 of 54 PageID #: 40
88. On information and belief, Frantech is now solely run by Mr. Dias
with assistance from two individuals with first names Karen and Anthony.70
have filled out some of his domain registrations with fake addresses; for
68
https://web.archive.org/web/20120504020528/http://frantech.ca/-
contactus.php
69
https://goo.gl/maps/cvEHwcZHeY62
70
https://www.webhostingtalk.com/showthread.php?t=1757132&-
p=10126424&highlight=Aldryic#post10126424
71
https://www.dailykos.com/stories/2016/9/14/1567328/-Francisco-Dias-
Harboring-a-Dangerous-Guest?
ORIGINAL COMPLAINT 40
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 41 of 54 PageID #: 41
Frantech provides, or has provided, hosting services for neo-Nazi and hate
groups. 73
operating system, for less than the cost of the license alone, several people
license. 74
72
https://buyshared.net/about-buyshared/
73
https://www.newyorker.com/tech/annals-of-technology/the-neo-nazis-
of-the-daily-stormer-wander-the-digital-wilderness;
http://web.archive.org/web/20130608120217/http://imgur.com/a/gRlTp
74
https://www.webhostingtalk.com/showthread.php?t=933509;
https://mangolassi.it/topic/12750/is-buyvm-pricing-too-good-to-be-
true/3
ORIGINAL COMPLAINT 41
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 42 of 54 PageID #: 42
93. Mr. McCrea confirmed that he used the BuyVM hosting service
at least as early as November 14, 2012, with the following review which
Frantech displays. 75
94. Mr. McCrea also indicated that he uses the BuyVM hosting
service, because BuyVM allows torrent file sharing activity,76 such as Mr.
McCrea used with his PirateLibrary website, for dissemination of large files
75
https://buyvm.net/customer-reviews-buyvm/
76
BitTorrent is used for illegal distribution of copyrighted content such as
films, television episodes, music, and software via a peer-to-peer file
sharing system. Envisional Estimates Infringing Use, Y ALE J.L. & T ECH .
183–85 (2011), available at http://www.yalelawtech.org/p2p-law-
piracy/envisional-estimates-infringing-use/; see also Funimation Entm’t
v Does 1-427, 2:11-cv-00269 (E.D. Tex. Sept. 16, 2016) [Dkt 43].
ORIGINAL COMPLAINT 42
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 43 of 54 PageID #: 43
infringement. 77
95. This is consistent with other customers who sought out Frantech
for its blind-eye towards illegal activity, such as one who said, “I then asked
if they complied with any dmca orders, and they said no and they laughed
at dmca demands.” 78
96. Frantech has shown that it has the ability to shut down a user’s
77
https://mailman.stanford.edu/pipermail/liberationtech/2013-April.txt
78
http://www.badbizreport.is/frantech-ca-stay-away-from-theses-crooks-
and-liars/
ORIGINAL COMPLAINT 43
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 44 of 54 PageID #: 44
website. 79
service which indicate that “Frantech may cancel or suspend your access to
Frantech services at any time and for any reason without notice.” 80
Summary
79
http://www.badbizreport.is/frantech-ca-stay-away-from-theses-crooks-
and-liars/
80
https://buyvm.net/terms-of-service/.
ORIGINAL COMPLAINT 44
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 45 of 54 PageID #: 45
Anonymous Users
Anonymous Users
Uploads books to Mr.
Downloads millions of
McCrea’s eBook.Bike
books from Mr. McCrea’s
without authors’
eBook.Bike in violation of
permission in violation of
copyrights.
copyrights.
someone to sue me. I want to win that case and then have legal precedent.” 81
81
https://torrentfreak.com/travis-mcrae-sue-me-over-ebook-site-i-want-
the-bs-over-done-with-190316/;
https://twitter.com/i/web/status/1102682655202598913
ORIGINAL COMPLAINT 45
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 46 of 54 PageID #: 46
Direct
101. Each Defendant, without Plaintiff’s permission or consent,
copies.
103. Here, Mr. McCrea also offered to distribute copies of the above
identified Works.
ORIGINAL COMPLAINT 46
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 47 of 54 PageID #: 47
truly believing the conduct was non-infringing, the facts and circumstances
as described above show that the publication and distribution of the copies
106. Each defendant’s conduct has been willful within the meaning
plaintiff’s rights, with notice, and with the intent to deprive plaintiff of
caused by each of the defendants, including lost sales, price erosion and a
82
The Copyright Act of 1909 removed the “knowing” requirement, making
copyright infringement a strict liability offense. Mens rea should only
be considered for damages. See, e.g., 17 U.S.C. §504(c)(2) (providing
the Court with discretion to lower damages when an infringer can prove
he or she “was not aware and had no reason to believe that his or her acts
constituted an infringement of copyright.”).
ORIGINAL COMPLAINT 47
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 48 of 54 PageID #: 48
Contributory
108. Contributory infringement arises where there is (1) direct
means to infringe.
McCrea’s website is an act of direct infringement and the users are primary
notice via various channels, and, even if Mr. McCrea did not, Mr. McCrea
and which provides visitors to his website specific instructions under the
ORIGINAL COMPLAINT 48
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 49 of 54 PageID #: 49
of Mr. McCrea and the users of his website. As described above, every
McCrea’s website is an act of direct infringement and the users are primary
infringers. And Mr. McCrea is a direct infringer when he copied one format
infringement through notice via various channels, and, even if Frantech did
not, Frantech had to have been willfully blind to be unaware of the rampant
Vicarious
111. Vicarious liability requires neither knowledge of direct
infringement nor intent to infringe, but only requires that a defendant has
the right and ability to supervise the infringing activity and also has a direct
eBook.Bike website and, as such, has the ability to control all activities
ORIGINAL COMPLAINT 49
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 50 of 54 PageID #: 50
therein. Moreover, he admits that he has the right and ability to supervise
the infringing activity, often indicating that copyright holders have not met
infringing activity taking place through his website after receiving notice.
Mr. McCrea also derives a financial benefit directly via contributions and
machines and internet connections to obtain copies and distribute the Works
as a “draw” for customers who are similarly looking for a website hosting
“turning a blind eye” to detectable acts of infringement for the sake of profit
Preliminary Injunction
114. Under 17 U.S.C. § 502(a), a court may “grant temporary and
ORIGINAL COMPLAINT 50
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 51 of 54 PageID #: 51
the first two factors of the balancing test. Defendant cannot claim a
cognizable harm in being prevented from seeking fame and making a profit
invested in the protected work. As such, all four factors decidedly militate
any way.
ORIGINAL COMPLAINT 51
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 52 of 54 PageID #: 52
follows:
(collectively, the “Third Party Providers”) shall: (i) disable and cease
ORIGINAL COMPLAINT 52
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 53 of 54 PageID #: 53
titles by the same author; (ii) disable and cease displaying any
with the copying and distribution of the Works or other titles by the
same author; and (iii) take all steps necessary to prevent links to the
per infringement;
damages;
505;
ORIGINAL COMPLAINT 53
Case 2:19-cv-00104-JRG Document 1 Filed 03/27/19 Page 54 of 54 PageID #: 54
s/ Gary J. Fischman
Gary J. Fischman (pro hac vice pending)
Tex. State Bar No. 00787469
ORIGINAL COMPLAINT 54