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cbs_settlement [2020/11/04 16:21] – [5. Completion of Axanar] Carlos Pedrazacbs_settlement [2021/07/20 15:40] (current) – [Execution] Carlos Pedraza
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 This <wrap lo>CONFIDENTIAL SETTLEMENT AND RELEASE AGREEMENT</wrap> (the  This <wrap lo>CONFIDENTIAL SETTLEMENT AND RELEASE AGREEMENT</wrap> (the 
-“Settlement Agreement”) is made and entered into by and between PARAMOUNT PICTURES CORPORATION (“[[Paramount Pictures|Paramount]]”), and CBS STUDIOS INC. (“[[cbs|CBS]]”) (individually and collectively the “Plaintiffs”), on the one hand and ALEC PETERS (“[[alec_peters|Peters]]”) and AXANAR PRODUCTIONS, INC. (“[[axanar_productions|Axanar Productions]]”) (individually and collectively the “Defendants”) on the other hand.  Each may be referred to herein individually as a “Party,” and collectively as the “Parties.” +“Settlement Agreement”) is made and entered into by and between <wrap lo>PARAMOUNT PICTURES CORPORATION</wrap> (“[[Paramount Pictures|Paramount]]”), and <wrap lo>CBS STUDIOS INC.</wrap> (“[[cbs|CBS]]”) (individually and collectively the “Plaintiffs”), on the one hand and <wrap lo>ALEC PETERS</wrap> (“[[alec_peters|Peters]]”) and <wrap lo>AXANAR PRODUCTIONS, INC.</wrap> (“[[axanar_productions|Axanar Productions]]”) (individually and collectively the “Defendants”) on the other hand.  Each may be referred to herein individually as a “Party,” and collectively as the “Parties.” 
  
 <wrap lo>WHEREAS</wrap>, on December 29, 2015, Plaintiffs filed an [[lawsuit|action]] against Defendants for [[copyright infringement]] and declaratory relief in the United States District Court for the Central District of California, Case No. 2:15-cv-09938-RGK-E (the “[[http://axamonitor.com/doku.php?id=primers#tab__lawsuit|Lawsuit]]”);  <wrap lo>WHEREAS</wrap>, on December 29, 2015, Plaintiffs filed an [[lawsuit|action]] against Defendants for [[copyright infringement]] and declaratory relief in the United States District Court for the Central District of California, Case No. 2:15-cv-09938-RGK-E (the “[[http://axamonitor.com/doku.php?id=primers#tab__lawsuit|Lawsuit]]”); 
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 Defendants agree that they will, jointly with Plaintiffs, release to the press and other media a joint statement in the form annexed hereto as Exhibit B. Defendants agree that they will, jointly with Plaintiffs, release to the press and other media a joint statement in the form annexed hereto as Exhibit B.
  
-=== 5.14 Required Adherence to Guidelines ===+=== 5.14 Required Adherence to Guidelines in Future Films ===
  
 For any of Defendants’ future fan film production that uses original or distinctive elements from the Star Trek universe (that are not a legally protected parody, satire, or documentary that complies with [[#documentary|Paragraph 6]] below), Defendants will honor any fan film guidelines that are released by Plaintiffs, including but not limited to the Guidelines. For any of Defendants’ future fan film production that uses original or distinctive elements from the Star Trek universe (that are not a legally protected parody, satire, or documentary that complies with [[#documentary|Paragraph 6]] below), Defendants will honor any fan film guidelines that are released by Plaintiffs, including but not limited to the Guidelines.
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 ACCEPTED AND AGREED: [Signatures of Parties] ACCEPTED AND AGREED: [Signatures of Parties]
  
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