Motion Picture Association 
Worldwide Anti-Piracy
15503 Ventura Boulevard
Encino, CA  91436

PHONE: (818) 728 - 8127 
Email: MPAA23@pacbell.net

Monday, February 05, 2001

Name:   dst@cs.cmu.edu
E-mail: dst@cs.cmu.edu
ISP:    

Via Fax/Email


RE: Unauthorized Distribution of Copyrighted Motion Pictures
Site/URL: http://www.cs.cmu.edu/~dst/  ][with unknown IP address]
MPAA File#: 68624

Date of Infringement: 1/31/2001 3:09:19 PM EST


Dear dst@cs.cmu.edu:

The Motion Picture Association of America (MPAA) represents the
following motion picture production and distribution companies:

Columbia Pictures Industries, Inc.
Disney Enterprises, Inc.
Metro-Goldwyn-Mayer Studios Inc.
Paramount Pictures Corporation
TriStar Pictures, Inc.
Twentieth Century Fox Film Corporation
United Artists Pictures, Inc.
United Artists Corporation
Universal City Studios, Inc.
Warner Bros., a Division of
Time Warner Entertainment Company, L.P.

We have received information that you are unlawfully offering product
at the above referenced web site.  We have notified your ISP of the
unlawful nature of this web site and have asked for its immediate
removal. Our letter to your ISP is set forth below for your reference.

Please contact us at the above listed address or by replying to this
email if you should have any questions.

Thank you for your prompt attention to this matter. 

Respectfully,

Hemanshu Nigam
Director
Worldwide Internet Enforcement


++++++++++++++++++MOTION PICTURE ASSOCIATION OF AMERICA, INC.
15503 VENTURA BOULEVARD
ENCINO, CALIFORNIA 91436
 
UNITED STATES
Anti-Piracy Operations
PHONE: (818) 728 - 8127 
Email: MPAA23@pacbell.net

Monday, February 05, 2001

Name:   host-master@ANDREW.CMU.EDU
E-mail: host-master@ANDREW.CMU.EDU
ISP:    Carnegie-Mellon University

Via Fax/Email



RE: Illegal Provision of DeCSS/Circumvention Device
Site/URL: http://www.cs.cmu.edu/~dst/  ][with unknown IP address]
MPAA File#: 68624

Date of Infringement: 1/31/2001 3:09:19 PM EST



Dear host-master@ANDREW.CMU.EDU:

The Motion Picture Association of America is authorized to act on
behalf of the following copyright owners:

Columbia Pictures Industries, Inc.
Disney Enterprises, Inc.
dwyn-Mayer Studios Inc.
Paramount Pictures Corporation
TriStar Pictures, Inc.
Twentieth Century Fox Film Corporation 
United Artists Pictures, Inc.
United Artists Corporation
Universal City Studios, Inc.
Warner Bros., a Division of Time Warner Entertainment Company, L.P.

We have received information that the above referenced Internet site
is providing a circumvention device commonly known as DeCSS.  DeCSS is
a software utility that decrypts or unscrambles the contents of DVDs
(consisting of copyrighted motion pictures) or otherwise circumvents
the protection afforded by the Contents Scramble System (CSS) and
permits the copying of the DVD contents and/or any portion thereof.
As such, DeCSS is an unlawful circumvention device within the meaning
of the Digital Millennium Copyright Act, Title 17 United States Code
Section 1201(a)(2)(3).  Providing or offering DeCSS to the public on
your system or network violates the provisions of Section 1201(a)(2)
which prohibit the “manufacturing, importing or offering to the
public, providing, or otherwise trafficking” in an unlawful
circumvention device.  (Title 17 United States Code Section 1201 et
seq. hereafter is referred to as the “DMCA”).

On August 17, 2000, a federal district court in the Southern District
of New York confirmed that offering, providing, or trafficking in
DeCSS, or any other device designed to circumvent CSS, violates the
DMCA. The district court granted a permanent injunction against (1)
posting on any Internet site, or in any other way manufacturing,
importing or offering to the public, providing, or otherwise
trafficking in DeCSS or any other technology primarily designed to
circumvent CSS, and (2) linking any Internet web site, either directly
or through a series of links, to any other Internet web site
containing DeCSS.

The district court’s ruling makes clear that by providing DeCSS, the
above referenced Internet site violates the DMCA. This conduct may
also violate the laws of other countries, international law, and/or
treaty obligations.

We therefore demand that you take appropriate steps to cause the
immediate removal of DeCSS from the above identified Internet site,
along with such other actions as may be necessary or appropriate to
suspend this illegal activity. Failure to comply with this measure
will subject you to liability as described above.

We also request that you: 

1. maintain and take whatever steps are necessary to prevent the
destruction of all records, including electronic records, in your
possession or control related to this Internet site, account holder or
subscriber, and

2. provide appropriate notice to the subscriber or account holder
responsible for the presence of DeCSS on your system or network,
advising him/her of the contents of this notice and directing that
person to contact the undersigned immediately at the email address
provided above.

By copy of this letter, the owner of the above referenced Internet
site and/or email account is hereby directed to cease and desist from
the conduct complained of herein.

On behalf of the respective owners of the exclusive rights to the
copyrighted material at issue in this notice, we hereby state,
pursuant to the DMCA that we have a good faith belief that the acts
complained of are not authorized by the copyright owners, their
respective agents, or the law.

Also pursuant to DMCA, we hereby state, under penalty of perjury under
the law of California and under the laws of the United States, that
the information in this notification is accurate and that we are
authorized to act on behalf of the owners of the exclusive rights
being infringed as set forth in this notification.

Please contact us at the above listed address or by replying to this
email if you should have any questions.

Thank you for your cooperation in this matter.  Your prompt response
is requested.

Respectfully,

Hemanshu Nigam
Director
Worldwide Internet Enforcement