Lastrada Entertainment Company, Ltd. v. Mark Ronson, Et Al.
Lastrada Entertainment Company, Ltd. v. Mark Ronson, Et Al.
Lastrada Entertainment Company, Ltd. v. Mark Ronson, Et Al.
Roger Troutman and Zapp, we heard them a whole lot in our formative years.
You cant help hide those things that are your influence, but at the same time the
goal is to do something new.
Mark Ronson
Plaintiff Lastrada Entertainment Company, Ltd. as and for its Complaint against
defendants hereby alleges upon personal knowledge and upon information and belief:
Background
1. This case is about English music producer, Mark Ronson, copying the funk
anthem, More Bounce to the Ounce written by legendary funk musician, Roger Troutman, in the
influential artists of all time before his murder in 1999 at the age of 47. Roger was commercially
successful as a solo artist and as the leader of Zapp, a funk group comprised of Roger and his
brothers, Larry, Lester, and Terry. Roger and Zapp had fifteen records that were top ten hits on
Billboards charts, and six gold and platinum albums. Since his passing, Rogers influence and
legacy has only grown and his music has been sampled (digitally copied) on albums that have
sold over 200 million copies, including on five # 1 hits, and on recordings by the greatest rappers
3. The musical composition written by Roger at issue in this case, More Bounce to
the Ounce, was released on Zapps debut album and reached the #1 spot on Billboards R&B
Albums chart in 1980. The New York Times called the album a funk masterpiece and its lead
4. Since its release in 1980, More Bounce to the Ounce has become hugely
influential. It has been sampled over 200 times, including by many of the most successful and
influential hip hop artists of all time, including Notorious B.I.G., Ice Cube, Public Enemy,
5. Rogers music was described as James Brown to the third power by hip hop
legend, Snoop Dogg. Roger described his own distinctive funk music as the black experience,
its the blues of the Eighties. It has the same purpose with black people as blues had for black
6. The tradition of English musicians copying the musical works of blues musicians
has a long history, going back to the 1960s. The tradition is well known to Mark Ronson who,
during a recent lecture, compared his own copying of his musical influences to the way the
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Delta blues struck a chord with the Stones and the Beatles and Clapton, and they felt the need to
carbon copy . . . it is original. Ronsons beliefs notwithstanding, the U.S. Copyright Act makes
8. The copying of More Bounce to the Ounce in Uptown Funk is obvious and the
writers, producers and artists performing on Uptown Funk have candidly admitted to Rogers
influence on Uptown Funk. For example, in a recent interview about the creation of Uptown
Funk, Mark Ronson specifically, and unprompted, stated, Roger Troutman and Zapp, we heard
them a whole lot in our formative years. You cant help hide those things that are your influence,
Bhasker, co-writer and producer of Uptown Funk, who was specifically asked about it in an
Q: Obviously Uptown Funk has a totally classic sound to it. Your keyboards
are straight out of the 80s, some Zapp and Roger Troutman type stuff.
10. Mark Ronson failed in his goal to write something new. Substantial parts of
Uptown Funk were copied from More Bounce to the Ounce. The significant and substantial
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https://www.youtube.com/watch?v=H3TF-hI7zKc. Delta blues musicians have varied experiences when it
came to being voluntarily credited by the English music groups they influenced. Chicago blues artist, Willie
Dixon was credited by the Rolling Stones as the writer of their number one record, Little Red Rooster. Robert
Johnson was credited by Cream and Eric Clapton as the writer of Cross Roads. In other instances, Willie Dixon had
to sue Led Zeppelin for credit as the writer of a number songs including, Bring It On Home. Similarly, the Estate of
Robert Johnson had to sue The Rolling Stones to receive credit as the writer of their recording, Love in Vain (Let It
Bleed) and Breakin Down (Exile on Main Street).
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similarities between the two songs have been widely commented on by ordinary observers,
11. For example, Chris Molanphys review of Uptown Funk in Slate stated so dense
are [Uptown Funks musical] allusions that you could strip it for vintage parts and identified
12. Likewise, Sean Ross of Billboard Magazine identified the similarity between
Uptown Funk and More Bounce to the Ounce, and Vernon Reid, one of the 100 Greatest
Guitarists of all time, according to Rolling Stone, publicly commented on the similarity of the
seq., arising from the defendants unauthorized preparation of a derivative work, reproduction,
public performance and/or distribution of the plaintiffs copyrighted musical composition, More
Jurisdiction
14. The Court has jurisdiction over the subject matter of this action under 28 U.S.C.
1338(a) because this action arises under the Copyright Act of 1976, 17 U.S.C. 101 et seq.
15. This Court has personal jurisdiction over defendants because they have transacted
business in the state, contracted to supply goods and/or services in the state, directed their
activities and marketing of infringing recordings at New York residents, and New York residents
are able to purchase, download and stream the infringing composition and recording, Uptown
Funk, (and Defendants have derived substantial revenue from their exploitations of the infringing
composition and recording, Uptown Funk). Defendants thus do continuous and systematic
16. Venue is proper in this Judicial District pursuant to 28 U.S.C 1391(b), 1391(c)
and 1400(a) because defendants are subject to personal jurisdiction in this Judicial District and
Parties
citizen of England and the U.S. and a resident of New York. Ronson conducts systematic and
continuous business in New York including, but not limited to, recording and producing albums
in New York as well as performing and promoting musical works in New York. Ronson is a
writer, producer and performer of Uptown Funk. Ronson has reproduced, distributed and
publicly performed the infringing composition and sound recording, Uptown Funk, and/or has
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19. Defendant Jeffrey Bhasker aka Billy Kraven is an individual residing in Los
Angeles, California. Bhasker conducts systematic and continuous business in New York
including, but not limited to, recording and producing albums in New York. Bhasker is a writer,
producer and performer of Uptown Funk. Bhasker has reproduced, distributed and publicly
performed the infringing composition and sound recording Uptown Funk and/or has authorized
the same.
Los Angeles, California. Philip Lawrence conducts systematic and continuous business in New
York including, but not limited to, writing, recording and producing albums in New York.
Lawrence is a writer of the infringing composition Uptown Funk. Lawrence has reproduced,
distributed and publicly performed the infringing composition and sound recording Uptown Funk
21. Defendant Imagem Music LLC doing business as Songs of Imagem and Songs
of Zelig is a Delaware limited liability company authorized to do business in New York with an
address of 229 West 28th Street in New York, New York. Imagem Music LLC is a music
publisher of the infringing composition Uptown Funk and has authorized its reproduction,
22. Defendant Imagem Music Inc. doing business as Songs of Imagem and Songs
229 West 28th Street in New York, New York. Imagem Music Inc. is a music publisher of the
infringing composition Uptown Funk and has authorized its reproduction, distribution and public
performance.
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23. Defendant Imagem, C.V. doing business Imagem Music and Songs of Zelig
is a company formed in Netherlands with an office at 229 W 28th Street in New York, NY.
Imagem, C.V. is a music publisher of the infringing composition Uptown Funk and has
24. Defendant Way Above, Inc. is a California corporation doing business in New
York as Way Above Music. Way Above, Inc is a music publisher of the infringing composition
Uptown Funk and has authorized its reproduction, distribution and public performance.
liability company authorized to do business in New York. Sony/ATV Songs is a music publisher
of the infringing composition Uptown Funk and has authorized its reproduction, distribution and
public performance.
limited liability company authorized to do business in New York. Sony/ATV Music is a music
publisher of the infringing composition Uptown Funk and has authorized its reproduction,
in New York. WB Music Corp. is a music publisher of the infringing composition Uptown Funk
do business in New York. Warner/Chappell Music, Inc. is a music publisher of the infringing
composition Uptown Funk and has authorized its reproduction, distribution and public
performance.
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29. Defendant ZZR Music, LLC is a California limited liability company doing
business in New York. ZZR Music, LLC is a music publisher of the infringing composition
Uptown Funk and has authorized its reproduction, distribution and public performance.
business in New York. Universal Music Corp. is a music publisher of the infringing composition
Uptown Funk and has authorized its reproduction, distribution and public performance.
existing under the laws of the State of Delaware and authorized to do business in New York,
with an address of 550 Madison Avenue in Manhattan. Sony Music Entertainment is engaged
among other things, in the business of manufacturing, distributing, and licensing of sound
recordings. RCA Records is a division of Sony Music Entertainment with a principal place of
business in New York. Sony Music Entertainment, acting through RCA Records, reproduced,
distributed and publicly performed and/or authorized the reproduction, distribution and public
performance of the infringing composition and sound recording, Uptown Funk, including
business in New York and is a general partner/owner of defendant Sony Music Entertainment.
33. Defendant USCO Sub LLC is a Delaware limited liability company doing
business in New York and is a general partner/owner of defendant Sony Music Entertainment.
organized under the laws of England and in the business of discovering and developing
recordings artists and is engaged among other things, in the business of manufacturing,
distributing, and licensing of sound recordings. Through its divisions and/or subsidiaries, Sony
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distribution and public performance of the infringing composition and sound recording, Uptown
Funk, including individually as a single, and on the album, Uptown Special, by Mark Ronson.
business in New York with a principal place of business in New York. VEVO LLC has
reproduced, distributed and publicly performed and/or authorized the reproduction, distribution
and public performance of the infringing composition and sound recording, Uptown Funk.
in New York with a principal place of business in New York. Spotify USA Inc. has reproduced,
distributed and publicly performed and/or authorized the reproduction, distribution and public
business in New York. Apple owns and operates the iTunes Store (iTunes), a software-based
digital media store that is the most popular music vendor in the world. Apple has reproduced,
distributed and publicly performed and/or authorized the reproduction, distribution and public
38. Lastrada is a family-owned business that has been active in the music publishing
business for over 40 years. Lastradas catalog features over 250 #1, Top 5, Top 10, Top 20 and
Grammy Award-winning hits covering all genres and spanning the last six decades in music.
Lastrada owns an undivided copyright interest in the musical work, More Bounce to the Ounce.
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40. More Bounce to the Ounce was released on Zapps self-titled debut album, Zapp,
41. The group Zapp was comprised of Roger Troutman and his brothers.
42. Zapps debut album was #1 on Billboards R&B Albums chart in 1980 and was
certified Gold indicating sales in excess of 500,000 copies. The New York Times called the
album a funk masterpiece and its lead single, More Bounce to the Ounce, a party anthem.
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43. More Bounce to the Ounce was released as the lead single from the debut album
44. A 5:12 edit of More Bounce to the Ounce was subsequently included on the
album, Zapp & Roger All the Greatest Hits, released in 1993, which was certified double
45. In 2016, More Bounce to the Ounce was identified as the #1 Best Funk Song
46. The copyright in the musical composition More Bounce to the Ounce was
registered in 1981 under copyright registration number PA 100-155. Lastrada has owned an
interest in the copyright in the musical composition, More Bounce to the Ounce, continuously
since 1994 and at all times relevant to this Complaint. Lastrada currently owns a 72.81% interest
in the copyright and a corresponding share of all accrued causes of action, including the claims
47. The creators of Uptown Funk had access to More Bounce to the Ounce.
Uptown Funk
48. In 2014, defendants Mark Ronson, Philip Martin Lawrence II, and Jeff Bhasker
began recording Uptown Funk in various recording studios in the U.S. including in New York,
50. Since its release, Uptown Funk has reached #1 in the U.S., U.K., and numerous
51. Uptown Funk held on to the number 1 position on Billboards Hot 100 chart for
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52. Uptown Funk was certified 11 times platinum in the U.S. by the R.I.A.A. and,
upon information and belief, has sold over 16.8 million copies worldwide.
53. The music video for Uptown Funk has been viewed over two billion times on
YouTube.
54. In addition, defendants have licensed Uptown Funk to third parties for numerous
uses including, without limitation, Super Bowl advertisements, films, television shows, and
recordings.
55. To write and record the song Uptown Funk, its writers intentionally and
unlawfully copied from the More Bounce musical composition. Uptown Funk is so substantially
similar to More Bounce that ordinary observers all over the world have remarked that the two
56. Uptown Funk bears substantial similarity to More Bounce, specifically, to the
highly creative continuous sequence and original combination of melodic, rhythmic and
harmonic elements in an extended passage of the funk anthem More Bounce to the Ounce from
0:47 2:10. 2
57. The original combination and sequence of elements in More Bounce to the Ounce
copied in Uptown Funk include: (1) three-note introductory talk-box melody doubled on
guitar; (2) chordal pattern; (3) eight note melody: (4) instrumentation; (5) talk-box vocalization
of the word doh; and (6) clap groove on the backbeat. There are no other songs, other than
More Bounce and Uptown Funk, that feature this sequence and combination of musical elements.
2
This timing mark refers to the original track released on the Zapp album of 9:27 duration. The same
passage is found at 0:19 1:12 on the album, Zapp & Roger - All The Greatest Hits.
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58. All of the notes in the continuous passage of Uptown Funk that have been copied
from the continuous passage of More Bounce are highlighted in red in the charts below:
59. The passage from More Bounce that is copied in Uptown Funk is quantitatively
important to More Bounce as it is substantially repeated in More Bounce such that it constitutes
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60. The passage in More Bounce copied in Uptown Funk is qualitatively important to
More Bounce because it is the dominant theme of More Bounce, and the heart of the work. If
the music from the passage in More Bounce was removed, there would be little left of the song
61. The passage of More Bounce is substantially reproduced in the first 48 seconds, of
Uptown Funk. In addition to the first 48 seconds of Uptown Funk, virtually the entire guitar part,
bass melody and vocoder part of Uptown Funk, (as well as the combination and sequence of
these elements in Uptown Funk), is copied from this continuous passage of More Bounce to the
Ounce.
62. The guitar part of Uptown Funk is comprised almost entirely of a two-bar chordal
pattern and eight-note melody. According to defendant Ronson, it took him 82 takes to perform
the guitar part in Uptown Funk. According to Ronson, the guitar part in Uptown Funk is so
good that his stepfather, legendary guitarist, Mick Jones of the band Foreigner, did not believe
63. The complexity of the guitar part in Uptown Funk, is with good reason it was
copied from More Bounce to the Ounce and written by a master guitar player, Roger Troutman.
64. The guitar chordal pattern in Uptown Funk is virtually identical to the guitar part
in the passage of More Bounce and the eight-note guitar melody in Uptown Funk is virtually
identical to the talkbox melody in More Bounce Get get get get get get on the dance
floor a melody that was described in John Bushs review of Get Bounce on allmusic.com as
infectious.
65. The talkbox instrumentation of the first three notes in the passage of More
Bounce was copied in the bass melody of Uptown Funk (doh doh doh). The talkbox and
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vocoder (talkbox) are similar seldom used devices that modulate instrument sounds to mimic
human speech. Roger Troutman was a pioneer and perhaps the musician most identified with the
talkbox. The use of the talkbox remains relatively uncommon in music today.
66. The doh doh doh talkbox and bass hook of Uptown Funk is copied directly from
the introductory notes of the passage in More Bounce to the Ounce sung as more bounce that
immediately precedes and introduces guitar chordal pattern part of More Bounce. In addition,
and as noted in the chart above, Troutman also vocalized doh in the passage More Bounce
67. Further, this melodic phrase is doubled in both songs, meaning the melody is
performed on two instruments simultaneously to highlight its importance and effect. In More
Bounce to the Ounce the talkbox melody (more bounce) is simultaneously performed on guitar
and in Uptown Funk the talkbox melody (doh doh doh) is simultaneously performed on bass
guitar.
68. The handclaps on the 2 and 4 beat of Uptown Funk in combination with each of
the melodic, rhythmic and harmonic elements discussed above are also copied from the passage
of More Bounce. The handclaps occur throughout the passage copied from More Bounce as well
69. As noted in John Bushs review on allmusic.com, the clap heavy synth groove
has [been sampled from More Bounce to the Ounce] in close to 100 tracks by the most crucial
artists in rap history: Public Enemy, EPMD, Ice Cube, Wu Tang Clan, Notorious B.I.G., Digital
70. The handclaps in More Bounce to the Ounce were recorded using groundbreaking
time manipulation techniques. The percussive handclap element of More Bounce to the Ounce
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has been commented on at length by hip hop producers including Fredwreck and artists such as
Snoop Dogg.
71. When defendants originally released Uptown Funk, the only song they
specifically credited as copying was Trinidad James' 2012 top 10 R&B and rap hit All Gold
Everything.
72. Several other songs were copied by defendants, however, in the creation of
Uptown Funk. In fact, More Bounce is not the only funk anthem defendants copied from in the
73. For example, when Uptown Funk was released and its copyright was registered,
there was no indication that the melody for the its signature lyric (Up-town, funk you up,
uptown funk you up) borrowed heavily from I Don't Believe You Want to Get Up and Dance
74. Oops Upside Your Head is another funk anthem, recorded in 1979 by the R&B
group The Gap Band and released from their fourth studio album, The Gap Band II. Oops Upside
Your Head and its parent album both achieved commercial success. The single became an
international hit for the group upon its late 1979 release, though it failed to reach the Billboard
Hot 100 (peaking at number-one on its Bubbling Under Hot 100 chart). Oops Upside Your Head
hit the top ten on the US R&B and disco charts and became a big-seller overseas where it peaked
75. In May, 2015, it was reported that defendants have given The Gap Band a writing
credit on their huge hit Uptown Funk, due to its similarities with their 1979 track Oops Up Side
Your Head. Ronnie Wilson, Charles Wilson and Robert Wilson of the group as well as producers
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Rudolph Taylor and Lonnie Simmons are now recognized as songwriters on Uptown Funk. See
76. Plaintiff repeats and realleges the allegations set forth above as though set forth
fully herein.
77. The copyright in More Bounce to the Ounce is registered with the U.S. Copyright
78. Plaintiff is, and has at all times relevant to this Complaint been, the owner of an
interest in the copyright in More Bounce to the Ounce. The copyright for the musical
79. Defendants had access to More Bounce to the Ounce by virtue of its wide
dissemination, including without limitation, on the original certified gold album, Zapp, the
double platinum album, Zapp & Roger All The Greatest Hits, and the availability of More
Bounce to the Ounce on every major digital retailer and streaming service including without
recognizable portions of More Bounce to the Ounce in Uptown Funk that are quantitatively and
81. The substantial similarity of the passage of More Bounce to the Ounce and
82. The inclusion of the signature elements of More Bounce to the Ounce greatly
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83. Defendants copied and reproduced More Bounce to the Ounce in Uptown Funk as
identified herein, without authorization, and Uptown Funk constitutes inter alia, an unauthorized
derivative work.
84. Beginning in November 2014 and continuing through today, each of the
distribution and public performance of the infringing composition and sound recording Uptown
Funk and each of the defendants continues to infringe More Bounce to the Ounce.
85. From the date Uptown Funk was produced, defendants have infringed plaintiffs
copyright interest in More Bounce to the Ounce including: (a) by substantially copying,
distributing and publicly performing, or authorizing the copying, distributing and public
performances, including publicly performing Uptown Funk at radio, streaming, live concerts,
personal appearances, and on film, video, television, and otherwise; (b) by authorizing the
reproduction, distribution and sale of the records and digital downloads through the execution of
licenses, and/or actually selling, manufacturing, and/or distributing Uptown Funk through
various sources; (c) by using Uptown Funk in the marketing and promotion of the sale of other
products and experiences including without limitation, tickets to concerts and other
performances, and other merchandise; and (d) by participating in and furthering the
aforementioned infringing acts, and/or sharing in the proceeds therefrom, all through substantial
use of More Bounce to the Ounce in and as part of Uptown Funk, packaged in a variety of
configurations and digital downloads, mixes and versions, and performed in a variety of ways
including radio, concerts, personal appearances, film, video, television, and/or otherwise.
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86. No one ever gave permission or consent, or ever granted any of the defendants a
license, to reproduce, distribute, publicly perform, or otherwise, use the music from More
87. Defendants copied the music from More Bounce to the Ounce in the composition
and recording, Uptown Funk and authorized others to do so, including without limitation, on the
album, Uptown Special, the music video for Uptown Funk and the digital single for Uptown
Funk and began reproducing and distributing, or authorizing reproduction and distribution of
Uptown Funk infringes on plaintiffs exclusive rights in the musical composition, More Bounce
to the Ounce held under the Copyright Act, 17 USC 101 et seq.
89. Defendants conduct has at all times been knowing and willful.
determined at trial.
91. The infringement is continuing as the album on which Uptown Funk appears,
continues to be sold and both the album and the single continues to be licensed for sale,
downloads, ringtones, mastertones, motion pictures, and advertisements and other exploitations
92. As a direct and proximate result of defendants conduct, plaintiff has suffered
actual damages including lost licensee fees for the use of More Bounce in Uptown Funk.
93. Pursuant to 17 U.S.C. 504(b), plaintiff is entitled, at its election, to an award of:
(a) actual damages, including its own damages and the substantial profits of defendants, as will
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be proven at trial; or, in the alternative, (b) statutory damages pursuant to 17 U.S.C. 504(c) in
94. Plaintiff is also entitled to its costs, including reasonable attorneys fees, pursuant
to 17 U.S.C. 505.
95. Plaintiff repeats and realleges the allegations set forth above as though set forth
fully herein.
employees, and all other persons in active concert or privity or in participation with them, from
directly or indirectly infringing on plaintiffs copyright in the More Bounce composition or from
continuing to market, offer, sell, dispose of, license, lease, transfer, display, advertise, reproduce,
develop, or manufacture any works derived and/or copied, from the composition, in whatever
97. Plaintiff will suffer irreparable harm if injunctive relief is not granted by this
Court.
declaratory relief and a permanent injunction enjoining defendants from continuing the aforesaid
100. Plaintiff respectfully requests a trial by jury on all claims asserted in this
Complaint.
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Plaintiff Lastrada Entertainment Company, Ltd., by its attorneys Schwartz, Ponterio &
Levenson, PLLC, respectfully requests that judgment be entered against defendants jointly and
severally, as follows:
A. For judgment that defendants have violated the Copyright Act and that all such
violations have been willful; and
D. For a judgment directing that defendants deliver up for destruction to plaintiff all
copies of Uptown Funk in their possession or under their control, pursuant to 15
U.S.C. 1118 and 17 U.S.C. 503.
E. For judgment granting such other, further, and different relief as to the Court may
seem just and proper, including plaintiffs costs and reasonable attorneys' fees.
By: __________________________
Brian S. Levenson
Matthew F. Schwartz
134 West 29th Street - Suite 1006
New York, New York 10001
Telephone: (212) 714-1200
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