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England and Wales High Court (Chancery Division) Decisions |
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You are here: BAILII >> Databases >> England and Wales High Court (Chancery Division) Decisions >> British Sky Broadcasting Group Plc v Digital Satellite Warranty Cover Ltd & Ors [2012] EWHC 2642 (Ch) (01 October 2012) URL: http://www.bailii.org/ew/cases/EWHC/Ch/2012/2642.html Cite as: [2012] EWHC 2642 (Ch) |
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CHANCERY DIVISION
Strand, London, WC2A 2LL |
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B e f o r e :
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(1) BRITISH SKY BROADCASTING GROUP PLC (2) BRITISH SKY BROADCASTING LIMITED (3) SKY SUBSCRIBERS SERVICES LIMITED (4) SKY IN-HOME SERVICE LIMITED |
Claimants |
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(1) DIGITAL SATELLITE WARRANTY COVER LIMITED (IN LIQUIDATION) (2) NATIONWIDE DIGITAL SATELLITE WARRANTY SERVICES LIMITED (IN LIQUIDATION) (3) BERNARD FREEMAN (4) MICHAEL SULLIVAN (5) PAUL MARROW (6) DAVID STEELE T/A DALTONS DATA (7) MICHAEL WATERS T/A LONDON DATA (8) MICHAEL SIBBALD (9) DAVID REYNOLDS (IN BANKRUPTCY) (10) STEVEN LEE |
Defendants |
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The First and Second Defendants did not appear.
Mr Aubrey Craig (instructed by Brabners Chaffe Street LLP) for the Third and Fourth Defendants.
Mr Paul Marrow, the Fifth Defendant, appeared in person.
Ms Kelly Pennifer (instructed by McKays Solicitors) for the Sixth Defendant.
Mr Michael Waters, the Seventh Defendant, appeared in person.
Mr Michael Sibbald, the Eighth Defendant, did not appear.
Ms Genevieve Parke (instructed by Sillett Webb Solicitors) for the Ninth Defendant.
Mr Steven Lee, the Tenth Defendant, appeared in person.
Hearing dates: 9-11, 14-17, 21, 22 and 31 May 2012
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Crown Copyright ©
Sir William Blackburne:
Introduction
Representation
The course of these proceedings
The law
"…a defendant who procures a breach of copyright is liable jointly and severally with the infringer for the damages suffered by the plaintiff as a result of the infringement. The defendant is a joint infringer; he intends and procures and shares a common design that infringement shall take place. A defendant may procure an infringement by inducement, incitement or persuasion."
That principle is not confined to infringement of copyright.
"…there are other expressions in the cases, such as 'concerted action' or 'agreed on common action' which will serve just as well. The words are not to be construed as if they formed part of a statute. They all convey the same idea. This idea does not, as it seems to me, call for any finding that the secondary party has explicitly mapped out a plan with the primary offender. Their tacit agreement will be sufficient. Nor, as it seems to me, is there any need for a common design to infringe. It is enough if the parties combine to secure the doing of acts which in the event prove to be infringements."
That was a case of patent infringement.
The companies' trading history
Mr Freeman, Mr Sullivan and Mr Marrow
Mr Steele
"12. During a general conversation between myself and Michael Sullivan on a date I do not remember with any precision I mentioned Mr Sibbald to Michael Sullivan and what he did for a living and Mr Sullivan asked me if I would inquire with Mr Sibbald next time I saw him whether or not he could obtain data for users of Satellite TV systems. On the basis that this was the business that I knew formed the basis of Mr Sullivan's work I was not concerned at that request as he operated a company in that arena. I agreed and next time I went to Cyprus and met with Mr Sibbald I asked him if he could provide any data such as was requested by Mr Sullivan and he said yes.
13. I do not remember how this was communicated to Michael Sullivan as I did not pay a great deal of attention, it not being in my interest to do so. I assume that Michael Sullivan contacted Mr Sibbald directly as Michael Sullivan asked me to collect data from Mr Sibbald next time I was in Cyprus which I agreed to do and which Mr Sullivan agreed to pay me £250 for.
14. The next time I was going to Cyprus on another holiday or it may have been a long week end I advised Michael Sullivan that I was going and he gave me an envelope of cash to give to Michael Sibbald in return for some data which I was to bring back to Michael Sullivan. I went to Cyprus, met with Mr Sibbald, handed over the envelope from Mr Sullivan and was given a jiffy bag which was sealed and which I did not access as I had no interest in the contents.
15. The jiffy bag was then delivered to Michael Sullivan upon my return to the UK. This went on for some time with me taking envelopes of cash to Cyprus, meeting Michael Sibbald, handing him the envelope of cash and receiving a jiffy bag to deliver back to Michael Sullivan in the UK. I did wonder why the transaction was not dealt with by post and bank transfer but was advised that this was a safer way."
Mr Sibbald
Mr Waters
"7. On a date that I cannot remember Mr David Reynolds asked me if I would deliver some data for him although I cannot recall if this was on behalf of Satellite Direct Ltd or for one of Mr Reynolds other companies. From recollection Mr Reynolds ran over 30 companies and was a very wealthy and successful man, or so I thought at that time.
8. I agreed to deliver the data for Mr Reynolds and for each trip which he would arrange, I was given a sealed envelope or on occasion a jiffy bag, containing what I assume was a CD Rom(s) and was told to meet a representative of the Purchaser usually half way at Warwick services. The reason for meeting halfway was that I live in Bognor Regis on the South West Coast and a round trip journey to Liverpool where I understood the purchaser to operate from would have been exhausting for me.
9. The Purchasers representatives came from Liverpool and met me at Warwick Services usually, and were given my mobile telephone number by David Reynolds so they could call me when they arrived at Warwick Services. We would then meet I would give them the envelope from David Reynolds and they would give me an envelope to return to David Reynolds which I did.
10. Mr Reynolds paid me a fee of 10% of the invoice value as a commission for delivery. I would be paid in cash at the end of the week that I made a delivery.
11. I was never advised by Mr Reynolds or the Purchasers representatives of the nature of the data being delivered the content of the CD Rom. I was merely told it was data"
"2. At the time of making my first witness statement I was suffering quite extensively with the onset of my neurological condition and I think I was on a great deal of prescribed medication. At that time I had the benefit of legal advice but still did not really comprehend what was going on.
3. I have come to realise that I cannot now be sure of any of the contents of my earlier witness statement. My present memory of events is hazy to non-existent and I would not like to think that anyone was relying on it for anything important. Some entries in these latest documents have made me doubt my earlier statement even more.
4. One specific example is that in section 16 I say "I now understand that Mr Reynolds produced the London Data invoices". I cannot now say why that was my understanding. The way it is phrased makes it sound like it wasn't my understanding previously but for some reason, it became so. Almost as if it had been suggested to me.
5. Another reason why I now doubt that understanding is because in section 31 of Michael Sullivan's latest witness statement, he seems to say that the invoices were printed by his company's administrative staff or by Alistair MacLennan. Which may explain why my name is spelled wrong on the sample copies that have been sent to me.
6. Equally as confusing to me is the fact that Bernard Freeman says data was delivered by someone called Tom via a young man who was Tom's courier at the Warwick motorway services (8th Witness statement section 23.2). This clearly was not me. I am sure I must have stopped at the Warwick service station for refreshments a number of times on my journeys up down the country and I think I do remember meeting someone once in connection with the contract for the purchase of existing warranty customers. But surely I would be able to remember more if I had met someone there 59 times as seems to be suggested by the number of invoices there are. Perhaps at the time of my earlier witness statement I did remember more. I cannot now say.
7. At section 29 of Mr Freemans latest witness statement, he says that I supplied him with only a small amount of test contact data that is hardly worth mentioning. I cannot say when or where or what in regards to that data, if at all, but if I had met them to hand over data 59 times, to the total value of all of the invoices listed in MS1, it would surely add up to more than a small amount of data.
8. I simply cannot now be sure of the veracity of my first witness statement or how I would respond if I were to be cross examined about it. I thought I should bring this to the attention of all parties and the court.
9. I am aware that my first witness statement contained a statement of truth and all I can say about that is at the time I think my medical condition was impairing my judgment as well as my memory. I think I just signed where the solicitors asked me to. I cannot say whether at the time I had the faculties to understand the seriousness of a statement of truth. Possibly I did and possibly it is all true. I just do not feel able now to stand by it because I simply do not know. I apologise to the court for any inaccuracies or inconsistencies it may contain and for my inability to help further.
10. Sky's solicitors should by now have received a letter from my Doctor about my medical condition."
"I've got my eyesight back now Dave [Mr Reynolds] I'm alright with that…But nobody knows that, nobody knows that nobody in, you know, like in in erm, Herbert Smith [Sky's solicitors] or anything, you know. They don't know any of that. So far as they're concerned I've got a degenerative disease, I can't see anything and my memory is all gone to sh*t. So anything I wrote signed or said you know I could just sit there and go well I don't know anything you know what are you gonna do, put a half wit in, you know, into the dock…"
Mr Reynolds
A footnote regarding Mr Steele, Mr Waters, Mr Sibbald and Mr Reynolds
Mr Lee
Re-utilisation
Relief
Other matters