This appeal concerns the scope of copyright protection afforded artistic concert posters reproduced in reduced size in a biography of the musical group the Grateful Dead. Asserted copyright holder Bill Graham Archives, LLC (“BGA” or “Appel *607 lant”) appeals from a judgment of the District Court for the Southern District of New York dismissing, on motion for summary judgment, its copyright infringement action against Dorling Kindersley Limited, Dorling Kindersley Publishing, Inc., and R.R. Donnelley & Sons Company (collectively “DK” or “Appellees”). We review the district court’s grant of summary judgment de novo, and we agree with the court that DK’s reproduction of BGA’s images .is protected by the fair use exception to copyright infringement.
BACKGROUND
In October of 2003, DK published Grateful Dead: The Illustrated Trip (“Illustrated Trip”), in collaboration with Grateful Dead Productions, intended as a cultural history of the Grateful Dead. The resulting 480-page coffee table book tells the story of the Grateful Dead along a timeline running continuously through the book, chronologically combining over 2000 images representing dates in the Grateful Dead’s history with explanatory text. A typical page of the book features a collage of images, text, and graphic art designed to simultaneously capture the eye and inform the reader. Plaintiff BGA claims to own the copyright to seven images displayed in Illustrated Trip, which DK reproduced without BGA’s permission.
Initially, DK sought permission from BGA to reproduce the images. In May of 2003, the CEO of Grateful Dead Productions sent a letter to BGA seeking permission for DK to publish the images. BGA responded by offering permission in exchange for Grateful - Dead Productions’ grant of permission to BGA to make CDs and DVDs out of concert footage in BGA’s archives. Next, DK directly contacted BGA seeking to negotiate a license agreement, but the parties disagreed as to an appropriate license fee. Nevertheless, DK proceeded with publication of Illustrated Trip without entering a license fee agreement with BGA. Specifically, DK reproduced seven artistic images originally.depicted on Grateful Dead event posters and tickets. 1 BGA’s seven images are displayed in significantly reduced form and are accompanied by captions describing the concerts they represent.'
When DK refused to meet BGA’s post-publication license fee demands, BGA filed suit for copyright infringement. BGA sought to enjoin further publication of Illustrated Trip, the destruction of all unsold books, and actual and statutory damages. The parties cross-moved for summary judgment, with the primary issue before the district court being whether DK’s use of BGA’s images constituted fair use under the Copyright Act of 1976, 17 U.S.C. § 101 et seq. (“Copyright Act”). After applying the statutory fair use balancing test, the district court determined that DK’s reproduction of the images was fair use and granted DK’s motion for summary judgment.
DISCUSSION
Section 106 of the Copyright Act grants copyright holders a bundle of exclusive *608 rights, including the right to “reproduce the copyrighted work in copies,” and the right “to prepare derivative works based upon the copyrighted work.” 17 U.S.C. § 106. For purposes of the motion, the district court assumed plaintiff possessed these rights in the contested images and there is no dispute that copying the images was not authorized by plaintiff. The issue before us on appeal, as it was in the district court, is whether DK’s unauthorized use of BGA’s copyrighted images is fair use.
The fair use doctrine is a statutory exception to copyright infringement. Section 107 of the Copyright Act permits the unauthorized use or reproduction of copyrighted work if it is “for purposes such as criticism, comment, news reporting, teaching ..., scholarship, or research.” 17 U.S.C. § 107. Whether such “fair use” exists involves a case-by-case determination using four non-exclusive, statutorily provided factors in light of the purposes of copyright.
Harper & Row, Publishers, Inc. v. Nation Enters.,
In this case, the district court concluded that the balance of fair use factors weighs in favor of DK. Although the issue of fair use is a mixed question of law and fact, the court may resolve issues of fair use at the summary judgment stage where there are no genuine issues of material fact as to such issues.
Wright v. Warner Books, Inc.,
I. Purpose and Character of Use
We first address “the purpose and character of the use, including whether such use is of a commercial nature or is for nonprofit educational purposes.” 17 U.S.C. § 107(1).
2
Most important to the court’s analysis of the first factor is the “transformative” nature of the work.
See
Pierre N. Leval,
Toward a Fair Use Standard,
103 Harv. L.Rev. 1105, 1111 (1990). The question is “whether the new work merely supersede^]' the objects of the original creation, or instead adds something new, with a further purpose or different character, altering the first with new expression, meaning, or message.”
Campbell v. Acuff-Rose Music, Inc.,
Here, the district court determined that Illustrated Trip is a biographical work, and the original images are not, and therefore accorded a strong presumption in fa *609 vor of DK’s use. In particular, the district court concluded that DK’s use of images placed in chronological order on a timeline is transformatively different from the mere expressive use of images on concert posters or tickets. Because the works are displayed to commemorate historic events, arranged in a creative fashion, and displayed in significantly reduced form, the district court held that the first fair use factor weighs heavily in favor of DK.
' Appellant challenges the district court’s strong presumption in favor of fair use based on the biographical nature of Illustrated Trip. Appellant argues that based on this purported error the .district court failed to examine DK’s justification for its use of each of the images. Moreover, Appellant argues that as a matter of law merely placing poster images along a time-line is not a transformative use. Appellant asserts that each reproduced image should have been accompanied by comment or criticism related to the artistic nature of the image.
We disagree with Appellant’s limited interpretation of transformative use and we agree with the district court that DK’s actual use of each image is transformatively different from the original expressive purpose. Preliminarily, we recognize, as the district court did, that
Illustrated Trip
is a biographical work documenting the 30-year history of the Grateful Dead. While there are no categories of presumptively fair use,
see Campbell v. Acuff-Rose Music, Inc.,
In" the instant case, DK’s purpose in using the copyrighted images at issue in its biography of the Grateful Dead is plainly different from the original purpose for which they were created. Originally, each of BGA’s images fulfilled the dual purposes of artistic expression and promotion. The posters were apparently widely distributed to generate public interest in the Grateful Dead and to convey information to a large number people about the band’s forthcoming concerts. In contrast, DK used each of BGA’s images as historical artifacts to document and represent.the aptual occurrence of Grateful Dead concert events featured on Illustrated Trip’s timeline.
In some instances, it is readily apparent that DK’s image display enhances the
*610
reader’s understanding of the biographical text.
3
In other instances, the link between image and text is less obvious; nevertheless, the images still serve as historical artifacts graphically representing the fact of significant Grateful Dead concert events selected by the
Illustrated
Trip’s author for inclusion in the book’s timeline.
4
We conclude that both types of uses fulfill DK’s transformative purpose of enhancing the biographical information in
Illustrated Trip,
a purpose separate and distinct from the original artistic and promotional purpose for which the images were created.
See Elvis Presley Enters., Inc. v. Passport Video,
This conclusion is strengthened by the manner in which DK displayed the images. First, DK significantly reduced the size of the reproductions.
See Kelly v. Arriba Soft Corp.,
Second, DK minimized the expressive value of the reproduced images by combining them with a prominent timeline, textual material, and original graphical artwork, to create a collage of text and images on each page of the book. To further this collage effect, the images are displayed at angles and the original graphical artwork is designed to blend with the images and text. Overall, DK’s layout ensures that the images at issue are employed only to enrich the presentation of the cultural history of the Grateful Dead, not to exploit copyrighted artwork for commercial gain.
See Hofheinz,
Third, BGA’s images constitute an inconsequential portion of
Illustrated Trip.
The extent to which unlicensed material is used in the challenged work can be a factor in determining whether a biographer’s use of original materials has been sufficiently transformative to constitute fair use.
See Craft v. Kobler,
In the instant case, the book is 480 pages long, while the BGA images appear on only seven pages. Although the original posters range in size from 13" x 19" to more than 19" x 27," the largest reproduction of a BGA image in Illustrated Trip is less than 3" x less than 1/20 the size of the original. And no BGA image takes up more than one-eighth of - a page in a book or is given more prominence than any other image on the page. In total, the images account for less than one-fifth of one percent of the book. This stands in stark contrast to the wholesale takings in cases such as those described above, and we are aware of no case where such an insignificant taking was found to be an unfair use of original materials.
Finally, as to this first factor, we briefly address the commercial nature of
Illustrated Trip. See Harper,
471 U.S. at
*612
562,
Accordingly, we conclude that the first fair use factor weighs in favor of DK because DK’s use of BGA’s images is trans-formatively different from the images’ original expressive purpose and DK does not seek to exploit the images’ expressive value for commercial gain.
II. Nature of the Copyrighted Work
The second factor in a fair use determination is “the nature of the copyrighted work.” 17 U.S.C. § 107(2). To resolve this inquiry the court considers “the protection of the reasonable expectations of one who engages in the kinds of creation/authorship that the copyright seeks to encourage.” Leval,
supra,
at 1122. “[Creative expression for public dissemination falls within the core of the copyright’s protective purposes.”
Campbell,
The district court determined that the second factor weighs against DK because the images are creative artworks, which are traditionally the core of intended copyright protection. Nevertheless, the court limited the weight it placed on this factor because the posters have been published extensively. Appellant agrees that the district court properly weighed the second factor against DK, although it questions the lesser protection given to published works. Appellees counter that because the images are mixed factual and creative works and have been long and extensively published, the second factor tilts toward fair use.
We agree with the district court that the creative nature of artistic images typically weighs in favor of the copyright holder. We recognize, however, that the second factor may be of limited usefulness where the creative work of art is being used for a transformative purpose.
See Campbell,
III. Amount and Substantiality of the Portion Used
The third fair use factor asks the court to examine “the amount and substantiality of the portion used in relation to the copyrighted work as a whole.” 17 U.S.C. § 107(3). We review this factor with reference to the copyrighted work, not the infringing work.
New Em,
The district court determined that even though the images are reproduced in their entirety, the third fair use factor weighs in favor of DK because the images are displayed in reduced size and scattered among many other images and texts. In faulting this conclusion, Appellant contends that the amount used is substantial because the images are copied in their entirety. Neither our court nor any of our sister circuits has ever ruled that the copying of an entire work
favors
fair use. At the same time, however, courts have concluded that such copying does not necessarily weigh against fair use because copying the entirety of a work is sometimes necessary to make a fair use of the image.
See Kelly,
Here, DK used BGA’s images because the posters and tickets were historical artifacts that could document Grateful Dead concert events and provide a visual context for the accompanying text. To accomplish this use, DK displayed reduced versions of the original images and intermingled these visuals with text and original graphic art. As a consequence, even though the copyrighted images are copied in their entirety, the visual impact of their artistic expression is significantly limited because of their reduced size.
See Kelly,
IV. Effect of the Use upon the Market for or Value of the Original
The fourth factor is “the effect of the use upon the potential market for or value of the copyrighted work.” 17 U.S.C. § 107(4). The court looks to not only the market harm caused by the particular infringement, but also to whether, if the challenged use becomes widespread, it will adversely affect the potential market for the copyrighted work.
Harper,
*614 In the instant case, the parties agree that DK’s use of the images did not impact BGA’s primary market for the sale of the poster images. Instead, we look to whether DK’s unauthorized use usurps BGA’s potential to develop a derivative market. Appellant argues that DK interfered with the market for licensing its images for use in books. Appellant contends that there is an established market for licensing its images and it suffered both the loss of royalty revenue directly from DK and the opportunity to obtain royalties from others.
“It is indisputable that, as a general matter, a copyright holder is entitled to demand a royalty for licensing others to use its copyrighted work, and that the impact on potential licensing revenues is a proper subject for consideration in assessing the fourth factor.”
Texaco,
Instead, we look at the impact on potential licensing revenues for “traditional, reasonable, or likely to be developed markets.”
Texaco,
Here, unlike in
Texaco,
we hold that DK’s use of BGA’s images is transforma-tively different from their original expressive purpose.
6
In a case such as this, a
*615
copyright holder cannot prevent others from entering fair use markets merely “by developing or licensing a market for parody, news reporting, educational or other transformative uses of its own creative work.”
Castle Rock,
V. Balance of Factors
On balance, we conclude, as the district court did, that the fair use factors weigh in favor of DK’s use. For the first factor, we conclude that DK’s use of concert posters and tickets as historical artifacts of Grateful Dead performances is transformatively different from the original expressive purpose of BGA’s copyrighted images. While the second factor favors BGA because of the creative nature of the images, its weight is limited because DK did not exploit the expressive value of the images. Although BGA’s images are copied in their entirety, the third factor does not weigh against fair use because the reduced size of the images is consistent with the author’s transformative purpose. Finally, we conclude that DK’s use does not harm the market for BGA’s sale of its copyrighted artwork, and we do not find market harm based on BGA’s hypothetical loss of license revenue from DK’s transfor-mative market.
CONCLUSION
For the foregoing reasons, we conclude that DK’s use of BGA’s copyrighted images in its book Illustrated Trip is fair use. Accordingly, we Affirm.
Notes
. The disputed images appear as follows: (1) on page 76, a concert poster for the Grateful Dead, Jefferson. Airplane, and Big Brother and the Holding Company playing at the Hollywood Bowl; (2) on page 103, a concert poster for the Grateful Dead, Jefferson Airplane, and Sons of Champlin playing at the Winterland Arena; (3) on page 130, a picture of the front and back of a concert ticket for a show at the Fillmore Theatre, reused for a Grateful" Dead concert at the Winterland Arena; (4) on page 254, a concert poster for Grateful Dead shows at the Warfield Theatre; (5) on page 361, a concert poster for a Grateful Dead show at the Oakland Coliseum; (6) on page 397, a concert poster for a Grateful Dead show on New Year’s Eve; and (7) on page 421, a fake in-house poster for a New Year’s Eve 1993 concert.
. Obviously, the use here is of a general commercial nature rather than a non-profit nature, but the inquiry is both a broader one and a narrower one than may appear at first glance as will be explained.
. For example, BGA claims copyright infringement of a concert poster image, reproduced on page 254 of Illustrated Trip, depicting two skeletons flanking the Warfield Theatre. The reader is expected to view this image together with the text on pages 254 and 255 under the caption, "The War-field/Radio City Shows,” and with a non-contested image on page 255, depicting two skeletons flanking the Radio City Music Hall. In this instance, the text specifically comments on the poster image, explaining:
The Dead's real 15th anniversary celebration in 1980 spanned two months, two coasts, and eventually two albums .... The bicoastal settings for the shows were very different — San Francisco's Warfield Theatre was an intimate house of 2,400 seats, while New York City's Radio City Music Hall was, well, Radio City — but the Dead's performances in both produced some of the most treasured moments of the band's early '80s period .... The [Dead’s] otherwise brilliant Radio City run was marred by a bizarre dispute between the band and Radio City’s management. The latter objected to promotional posters showing the inevitable skeletons flanking the venerable venue. Evidently not well versed in Grateful Dead iconography, the Radio City execs interpreted the posters as a coded message that the band thought that Radio City's days were numbered, and they slapped the band with a million-dollar lawsuit. The misunderstanding was quickly cleared up.
The author uses images to enhance the reader’s understanding of the statement that Radio City Music Hall executives were unfamiliar with Grateful Dead iconography by displaying nearly identical concert promotion posters for the Warfield Theatre and the Radio City Music Hall.
. For example, BGA claims copyright infringement of a concert poster image, reproduced on page 103 of Illustrated Trip, promoting a concert at the Winterland Arena. The reader is expected to view this image together with an entry on the timeline for October 24, 25, and 26, accompanying text describing the shows, and a quotation from Bill Graham to the audience on Saturday, October 25. The text describes the show as follows:
Hot Tuna, Jefferson Airplane, and Sons of Champlin play all three nights. On Saturday Stephen Stills may have played on "Turn on Your Lovelight.” Sunday marks the last "Doin’ that Rag.”
While the concert poster image does not necessarily enhance the reader’s understanding of the text, it serves as a recognizable representation of the concert. It also documents concert information and provides notable historic details, such as the fact that, at this relatively early stage of its career, the Grateful Dead received second billing to Jefferson Airplane.
. To the contrary, had the book been commercially successful' — which it was not — it might have garnered interest in the original images in full size because the reduced images have such minimal expressive impact. An afficionado might seek more than a "peek.”
.
Texaco
may also be distinguished because in that case we found that scientific researchers' copying of scientific journal articles caused those journals to lose license revenues, because the researchers were looking to their own copies of the articles rather than downloading them from online databases such as Lexis, which paid the journals a license fee.
See
*615 Here, in contrast, BGA's direct evidence of its license revenues involves a use that is markedly different from the use by DK. The licenses BGA sold to other publishers were for substantially less transformative uses of its posters: full-page, prominently displayed reproductions of BGA’s images, with little discussion of the images or their historical context, much less any compilation of other related works into a coherent whole. Indeed, one of the images BGA points to was used as the cover of a book. DK's use of BGA's images is markedly more original than the other uses that BGA has licensed and BGA thus has not shown direct evidence of significant lost license revenue from the uses at issue here.
