Complaint
Complaint
Complaint
Provided by:
Overhauser Law Offices
LLC
www.iniplaw.org
www.overhauser.com
Plaintiff,
vs.
Defendants.
ORIGINAL COMPLAINT
Plaintiff, Design Basics, LLC, files this Complaint against Culver Construction, Inc.,
doing business as Culver Remodeling, Culver Design Build, Culver Custom Homes, and
Hallmark Homes of Michiana (Culver Construction); Culver Development Corporation, doing
business as Property Management Services (Culver Development); Wes Culver Realty, LLC,
doing business as KW Commercial and Industrial, Wes Culver Auctions, and Wes Culver Home
Team (Culver Realty); and New Paris Development Company, LLC (New Paris)
(collectively referred to as Defendants), and for its causes of action alleges the following:
Parties
1.
Design Basics, LLC, is a Nebraska Limited Liability Company with its principal
place of business in Omaha, Nebraska. Under Articles of Merger executed on July 1, 2009,
Design Basics, LLC, is the successor by merger to Design Basics, Inc., and as such is the owner
of all assets (including copyrights, trade and service names, trade and service marks, and all
causes of action) that Design Basics, Inc., owned as of that date. Design Basics, LLC, and its
predecessor (Design Basics, Inc.) will hereinafter be referred to as Design Basics.
2.
licensing the use of architectural works (as that term is defined in the Copyright Act and the
Architectural Works Copyright Protection Act of 1990, both codified at 17 U.S.C. 101 et seq.)
and technical drawings depicting such architectural works.
3.
State of Indiana with its principal place of business in Elkhart County, Indiana. Culver
Construction may be served through its registered agent, Wesley H. Culver, 2020 Elkhart Road,
Goshen, Indiana 46526.
4.
State of Indiana with its principal place of business in Elkhart County, Indiana. Culver
Development may be served through its registered agent, Wesley H. Culver, 2020 Elkhart Road,
Goshen, Indiana 46526.
5.
Defendant Culver Realty is a limited liability company organized under the laws
of the State of Indiana with its principal place of business in Elkhart County, Indiana. Culver
Realty may be served through its registered agent, Wesley H. Culver, 2020 Elkhart Road,
Goshen, Indiana 46526.
2
6.
New Paris is a limited liability company organized under the laws of the State of
Indiana with its principal place of business in Elkhart County, Indiana. New Paris may be served
through its registered agent, Wesley Culver, 2020 Elkhart Road, Suite D, Goshen, Indiana
46526.
Jurisdiction and Venue
7.
This Court has subject matter jurisdiction of this case under 28 U.S.C. 1338
because this action arises under federal copyright law, 17 U.S.C. 101 et seq.
8.
may be found in this District. Furthermore, or in the alternative, venue is proper in this District
under 28 U.S.C. 1391(b) because a substantial part of the events giving rise to the claims at
issue occurred in this District; and Defendants reside and do business in this District.
Factual Background
9.
Design Basics is a building design firm which creates, markets, and licenses the
use of architectural works (as that term is defined in the Copyright Act and the Architectural
Works Copyright Protection Act of 1990 (the AWCPA)) and technical drawings depicting
architectural works. Design Basics owns copyrights protecting the architectural works and
technical drawings it has created.
10.
Design Basics is the author and the owner of all copyrights in the following
works, each of which has been registered with the United States Copyright Office:
Title
Plan No. 2761 Mayberry
11.
12.
The Copyrighted Works have been published in various Design Basics plan
books and publications. A chart that identifies some of those Design Basics plan books that
published the various Copyrighted Works is attached as Exhibit A. The Copyrighted Works
have also been published by Design Basics on the internet at www.designbasics.com.
13.
Design Basics is currently, and at all relevant times has been, the sole owner of
all right, title and interest in and to the works described in paragraph 10 above.
15.
publishing, distributing and advertising residential home designs through traditional print
media, on the internet on sites, and in marketing, advertising, constructing and selling homes
built according to such designs.
16.
architectural designs for single family residential homes, each consisting of a floor plan and
exterior elevations, that Defendants have identified and marketed under the following model
names: Atlanta, Willow, and Wilshire.
17.
Design Basics home designs, including the Copyrighted Works, have been
marketed for years on a nationwide basis, including in this District, by means of plan books and
other publications and also on the internet, including many websites.
18.
Defendants have been actually aware of Design Basics and the works that Design
Basics markets. At all times material to this case, Defendants have had a reasonable
opportunity to have viewed the Copyrighted Works.
19.
Defendants have violated and continue to violate Design Basics exclusive rights
in each of the Copyrighted Works (including the right to reproduce, the right to prepare
derivative works and the right to sell), by copying, publishing, distributing, advertising,
marketing, selling and/or constructing in the marketplace, plans, drawings and houses which
were copied or otherwise derived from the Copyrighted Works, as detailed by the following
examples:
a.
b.
c.
20.
and construction drawings based on Design Basics Copyrighted Works has infringed and
continues to infringe Design Basics copyrights in the Copyrighted Works.
22.
Design Basics Copyrighted Works has infringed and is infringing Design Basics copyrights in
the Copyrighted Works.
5
23.
the foregoing infringement, and all of Defendants profits from such infringement, pursuant to
17 U.S.C. 504(b).
24.
In the alternative to the actual damages and infringer profits sought above,
Design Basics is entitled to an award of statutory damages for all infringements of Design
Basics Copyrighted Works, as permitted by 17 U.S.C. 504(c).
25.
Pursuant to 17 U.S.C. 505, Defendants are liable for Design Basics costs and
pursuant to 17 U.S.C. 502 prohibiting Defendants from further infringement of Design Basics
copyrights, including but not limited to the further use of infringing plans, creation or use of
derivative plans, and construction, sale or rental of infringing structures.
27.
Furthermore, this Court should issue an order pursuant to 17. U.S.C. 503
directing the United States Marshals Service to (a) impound all copies of the Copyrighted
Works, in possession of Defendants or their agents or contractors in violation of Design Basics
exclusive rights, and (b) upon final hearing of this case, to destroy or otherwise dispose of those
copies.
Conditions Precedent
28.
With respect to all counts, Design Basics generally avers that all conditions
precedent to their rights of recovery have occurred or been performed, or have been waived or
excused by Defendants.
Jury Demand
29.