This is the old version of the H2O platform and is now read-only. This means you can view content but cannot create content. You can access the new platform at https://opencasebook.org. Thank you.
Edit playlist item notes below to have a mix of public & private notes, or:MAKE ALL NOTES PUBLIC (5/18 playlist item notes are public) MAKE ALL NOTES PRIVATE (13/18 playlist item notes are private)
|1||Show/Hide More||Tisi v. Patrick, 97 F.Supp.2d 539 (S.D.N.Y. 2000) (Excerpts)|
|8||Show/Hide More||Repp v. Lloyd Webber, 858 F. Supp. 1292 (S.D.N.Y. 1994) (Excerpts)|
|9||Show/Hide More||Repp v. Lloyd Webber, 132 F.3d 882 (2nd Cir. 1997) (Excerpts)|
|10||Show/Hide More||Newton v. Diamond, 204 F.Supp.2d 1244 (C.D. Cal. 2002) (Excerpts)|
|11||Show/Hide More||Newton v. Diamond, 349 F.3d 591 (9th Cir. 2003) (Excerpts)|
|12||Newton v. Diamond, Case No. 00-04909 (NM) (MANx) (C.D. Cal.), Rule 26 Expert Disclosure by Defendants Michael Diamond, Adam Horovitz, Adam Yauch, Beastie Boys, Capitol Records, Inc., Grand Royal Records, Inc., Universal Polygram Int'l Pub., Inc., Brooklyn Dust Music and Mario Caldato, Jr. (July 30, 2001), read pp. 1 - 9 and 12 - 13|
|15||Show/Hide More||Campbell v. Acuff-Rose Music, Inc., 510 US 569 (1994) (Excerpts)|
May 24, 2014
This is the old version of the H2O platform and is now read-only. This means you can view content but cannot create content. If you would like access to the new version of the H2O platform and have not already been contacted by a member of our team, please contact us at email@example.com. Thank you.