MEMORANDUM AND ORDER
In this action brought under the Copyright Act of 1976, as amended, 17 U.S.C. § 101 et seq., plaintiff Tina M. Randolph, the author of a book published by her “dba,” Rhapsody Publishing, alleges that the defendants infringed on her copyright. The book is Mystic Deja: Maze of Existence, the first of an anticipated twelve-volume science-fiction series. Randolph published it in December 2002. In this suit, she alleges that the defendants’ motion picture, The Adventures of Shark Boy and Lava Girl in 3-D, infringed on her copyrighted book. Randolph also asserts claims for unfair competition under the Lanham Act, 15 U.S.C. § 1125(a), and for violations of the Texas Deceptive Trade Practices Act (DTPA), Tex. Bus. & Com. Code §§ 17.45(4), 17.50.
The defendants, Dimension Films, Miramax Film Corp., SONY Pictures Entertainment, Inc., Buena Vista Home
Based on a careful review of the complaint, the motion, and response, the movie and book, and the applicable law, this court grants the motion to dismiss, without leave to amend. The reasons are stated below.
I. The Legal Standards
A. Motion to Dismiss under Rule 12(b)(6)
Rule 12(b)(6) allows dismissal if a plaintiff fails “to state a claim upon which relief may be granted.” Fed. R. Civ. P. 12(b)(6). In
Bell Atlantic Corp. v. Twombly,
A “complaint must allege ‘more than labels and conclusions,’ ” and “ ‘a formulaic recitation of the elements of a cause of action will not do.’”
Norris v. Hearst Trust,
When a plaintiffs complaint must be dismissed for failure to state a claim, the plaintiff should generally be given at least one chance to amend the complaint under Rule 15(a) before dismissing the action with prejudice.
Great Plains Trust Co. v. Morgan Stanley Dean Witter & Co.,
In considering a motion to dismiss for failure to state a claim, a district court must limit itself to the contents of the pleadings, but that includes attachments thereto. Fed. R. Crv. P. 12(b)(6). “Documents that a defendant attaches to a motion to dismiss are considered part of the pleadings if they are referred to in the plaintiffs complaint and are central to her claim.”
Venture Assocs. Corp. v. Zenith Data Sys. Corp.,
B. Copyright Infringement
To prove copyright infringement, a plaintiff must show ownership of a valid copyright and actionable copying.
Feist Publ’ns, Inc. v. Rural Tel. Serv. Co.,
A court must compare the copyrighted work and the accused work to determine whether there is substantial similarity between the protectable elements in the works, determining whether there are articulable similarities between the plot, themes, dialogue, mood, setting, pace, characters, and sequence of events. A court must distinguish between the protectable and unprotectable material because a party claiming infringement may place “ ‘no reliance upon any similarity in expression resulting from’ unprotectable elements.”
Apple Computer, Inc. v. Microsoft Corp.,
II. Analysis
A. The Copyright Infringement Claim
The side-by-side comparison of the plaintiffs book and the defendants’ movie leads to the conclusion that there is no substantial similarity in the protectable elements of the works. The basic elements of plot, themes, dialogue, mood, setting, pace, characters, and sequence of events— and the overall concept and feel of both works — are very different.
Mystic Deja: Maze of Existence features as its protagonist Deja Chanel, an 18 year-old girl whose mother died in childbirth. Her father is an inventor of the “Sole Receptacle,” a “gateway to the mind’s eye.” His consciousness becomes trapped in this world of imagination that he created. With the help of her boyfriend, Joshua, and a close female friend, Kyra, Deja uses a modified version of the “Sole Receptacle” to enter the realm of imagination to find her father and try to save him. As a guide in the realm of imagination, Deja uses her father’s journal, in which he recorded his experiments and inventions. The journal marvelously updates with new entries and instruction to help Deja search for her father’s consciousness.
The plot revolves around the mental and physical challenges Deja faces in battling an “emergist,” Great Reign, as she tries to find her father’s consciousness. “Emergy” is mind’s energy; an “emergist” is able to use the mind’s energy to make the mind’s thoughts a reality. Great Reign wants to rule by killing other emergists, taking their power for his own to control the dream world, destroying the boundaries between sections of the universe necessary for order and ultimately taking over the universe. Deja takes instruction from an “emergist” named Zim Logi in learning to control her own “emergy.”
By contrast, the movie is a “family adventure” featuring “pint-sized action masters.” The protagonist is a ten year-old boy named Max. His parents fight, he hates school, he is bullied, and he has no friends. He is an outcast with little confidence. The story is based on a dream world that Max invents as a retreat from his loneliness and problems.
Max writes his dreams down in a journal. He finds that he can make the dreams a reality on the imaginary “Planet Drool.” On this planet, he meets Shark-boy and Lavagirl. Planet Drool is a “kid paradise” that features such child-pleasing whimsical elements as a “train of thought” that travels to the “Land of Milk and Cookies.” The plot involves Max’s battle with “Mr. Electric” and his sidekick “Minus,” who is a dream version of “Linus,” the bully Max faces in the real world. Mr. Electric powers Planet Drool; he is a dream version of Mr. Electricidad, Max’s teacher. In the movie, Max saves his dream world by persuading Minus to restore it to its original condition. Mr. Electric leaves the dream world and comes to Max’s school. Max returns to real life and works with his classmates to defeat Mr. Electric. Max’s parents overcome their marital problems. At the end, Max has ended his difficulties with Minus; saved Planet Drool; regained a happy relationship with his father, and won his classmates’ approval.
Besides the differences between the plots and the main characters — the 18 year-old confident girl who is the protagonist in Mystic Deja and the 10 year-old outcast boy who is the protagonist in Sharkboy — the other characters in each work are also very different. In Mystic Deja, the sidekicks are Joshua and Kyra in the real world and Sil and Celeste in the realm of imagination. They have no special powers, although they all know some form of martial art. Joshua is a regular teenage boy who drives a sports car, plays a guitar, and is smart. Kyra is a teenage girl with a sense of humor. Sil lives in a tree with his family in a swamp. Celeste is an orphan whose parents were killed by Great Reign’s army of drones or zombies, created from the people whose “emergy” he stole. By contrast, Sharkboy and Lavagirl are cartoonish characters with special powers. Sharkboy is a boy who was raised by fish after a shipwreck that separated him from his father. Sharkboy has gills, shark teeth, and fins and goes into a frenzy when angered- In the movie, Max is able to provide Sharkboy with hope that he will find his father. The movie ends with Sharkboy becoming King of the Ocean and searching for his father in the ocean, using a submarine. Lavagirl is made of lava, has no family, and is angry at Max for making her so destructive. Max helps her realize that she is not destructive but a constructive source of light.
The antagonists are also very different. In Mystic Deja, the antagonist is the megalomaniacal emergist, Great Reign. In Sharkboy, the antagonists are Mr. Electric and Minus, a dream counterpart to people who torment Max in real life.
In addition- to the character and plot differences, the themes and tone are very different.
Mystic Deja
is a science-fiction work for young adults, featuring 18 yearolds. The themes are the “human psyche” and' the power of the mind, conscious and otherwise;
Sharkboy
is a children’s fantasy that features ten year-olds and has as
Randolph argues that both the book and the movie involve a dream world, a dream journal, “shape shifting” creatures, a bike, and attacking fish, to support her claim of substantial similarity. The general concept of an imaginary world or realm, or of a character searching for a father, cannot be copyrighted.
See Williams v. Crichton,
In the book, Deja searches for her father’s consciousness in an imaginary realm created by a machine. In the movie, Max creates a dream world to escape his real-life problems. The journals in the two works are very different. The journal in Mystic Deja was created by Deja’s father, who can update it with new entries despite his unconscious state. Deja uses the journal to help as she tries to find and save her father’s consciousness and battle Great Reign. The journal in Sharkboy is Max’s own journal about his dreams. Max’s journal is stolen by Linus, the boy who bullies him in real life, and is used by the dream antagonist, Minus, to try to ruin Planet Drool.
Both works contain a version of a bike, but again, they are very different. In Mystic Deja, the bike flies and allows Deja to escape from one terrain in the imaginary realm and enter another. In Shark-boy, the bike is made of lava and does not fly or allow the characters to escape.
Both works contain beasts, but different beasts. In the movie, Minus and Max duel and each create a cloud of objects. Minus makes a cloud of piranhas that Max captures in water bubbles. Max makes a cloud of butterflies. Mystic Deja features a butterfly, but not as part of a battle. Deja makes a butterfly appear to show that she has learned to “emerge” objects.
Randolph also argues that there are visual similarities between the graphics in the book and the movie. She points to a picture of the “Mecca of Ice” at the end of the book and a picture of an “Ice Castle” in the movie. Contrary to the plaintiffs argument, the “Mecca of Ice” and the “Ice Castle” do not have “substantially similar aesthetics.” The picture of the Mecca of Ice in the book looks like the skyline of a city seen from a distance. In the movie, the Ice Castle appears briefly as a tall single ice tower, surrounded by a circular ice road.
In general, the physical “aesthetics” and tone of the two works are very different. The mood and appearance of the book is black and gothic. The movie is bright and busy, featuring “3-D special effects” (the glasses come with the DVD).
Randolph argues that the themes in the book and movie, of searching for one’s father and the “true identity of power that he or she possesses,” are substantially similar. Copyright law does not protect an idea, but only “the expression of an idea,”
Williams v. Crichton,
The themes that Randolph identifies — searching for one’s father and identifying one’s strengths — appear in innumerable works of literature and are the stuff of many books, plays, and movies. The presence of these themes in the book and movie does not make them substantially similar. “Material or themes commonly repeated in a certain genre are not [protectable] by copyright,” nor are “so-called
scenes a faire.” American Direct Mktg.,
In sum, the record shows no substantial similarity between the two works. The motion to dismiss the Copyright Act claim is granted. Because any attempt to amend would be futile, the dismissal is without leave to amend.
B. The Unfair Competition Claim
Randolph alleges a claim under the Lanham Act, 15 U.S.C. § 1125(a). She argues that this is a “reverse passing off claim” based on the defendants’ false designation of the origin and authorship of the movie as their work rather than Randolph’s.
The Lanham Act does not protect an author’s expression from false designation.
See Dastar Corp. v. Twentieth Century Fox Film Corp.,
In the complaint, and in response to the motion to dismiss, Randolph does not argue that the defendants offered for sale tangible goods that she produced, but that they copied from a book the she wrote in creating the movie. Such conduct does not give rise to a claim under the Lanham Act. The claim is dismissed for failure to state a claim upon which relief can be granted, without leave to amend.
C. The Texas Deceptive Trade Practices Act Claim
The defendants move to dismiss the Texas DTPA claim on the basis that it is preempted by the federal Copyright Act. The Copyright Act generally preempts state law claims that are equivalent to any of the exclusive rights created by the copyright law.
See
17 U.S.C. § 301(a). In determining whether a state-law claim is preempted by federal copyright law, the court applies a two-part test.
See Daboub v. Gibbons,
In this case, the gravamen of the plaintiffs complaint is the wrongful copying of her work and the distribution of the infringing work. The state-law DTPA claim is preempted by the Copyright Act claim.
See Daboub,
At the initial conference in this case, Randolph agreed that the DTPA claim was preempted. The DTPA claim is dismissed.
For the reasons stated above, the defendants’ motion to dismiss is granted without leave to amend. A separate order of dismissal will be entered.
