Thursday, 14 February 2008

i was maid in porno store ii



I Was a maid In a Porno Store II

Back in March, I did a post about a suit filed by Carol Burnett over

Fox's evocation of her "Charwoman" character on the TV show "Family

Guy." The wheels of justice have moved very swiftly indeed, with a

June 4th opinion, granting a rare FRCP 12(b)(6) motion to dismiss for

failure to state a claim on fair use grounds, Burnett v. Twentieth

Century Fox Film Corporation, 2007 WL 1662343 (C.D. Cal. June 4,

2007). For those unfamiliar with the protagonists, here is a brief

summary by the court:

Family Guy is a half-hour, animated, comedy television program

broadcast on primetime and geared toward an adult audience. The show

borrows heavily from popular culture, following the exploits of the

Griffin family and friends in the fictional suburb of Quahog, Rhode

Island. Family Guy routinely puts cartoon versions of celebrities in

awkward, ridiculous, and absurd situations in order to lampoon and

parody those public figures and to poke fun at society's general

fascination with celebrity and pop culture.

On or about April 23, 2006, Fox aired an episode of "Family Guy"

entitled "Peterotica." Near the beginning of the episode, the Griffin

family patriarch, Peter Griffin, an "Archie Bunker"-like character,

enters a porn shop with his friends. Upon entering, Peter remarks that

the porn shop is cleaner than he expected. One of Peter's friends

explains that "Carol Burnett works part time as a janitor." The screen

then switches for less than five seconds to an animated figure

resembling the "Charwoman" from the Carol Burnett Show, mopping the

floor next to seven "blow-up dolls," a rack of "XXX" movies, and a

curtained room with a sign above it reading "Video Booths." As the

"Charwoman" mops, a "slightly altered version of Carol's Theme from

The Carol Burnett Show is playing."

Judge Pregerson's discussion of the first factor and parody is

instructive:

In their opposition to the motion to dismiss, plaintiffs argue that

Family Guy's use of the Charwoman in the Peterotica episode "does not

constitute parody in the strict legal sense" and thus cannot be

considered "transformative." In support of this argument, plaintiffs

assert that the target of the Family Guy parody was not the Charwoman

character as such, but Carol Burnett herself. In fact, the Family Guy

characters explain that the porn shop is clean because "Carol Burnett

works part-time as a janitor" and make reference to Carol Burnett's

signature ear tug. Plaintiffs point out that the Charwoman never

tugged her ear in The Carol Burnett Show; rather, Carol Burnett

playing herself tugged at her ear in the closing segment of the show

as a salute to her grandmother. Furthermore, plaintiffs assert that

the act of placing the Charwoman in the role of a janitor in an erotic

store is neither "absurd" nor "transformative" because "one could

easily imagine a charwoman cleaning the floor of a porn shop."

Secondarily, plaintiffs argue that a comparison of the Family Guy's

Charwoman and Burnett's Charwoman demonstrates that the Family Guy

version is virtually a literal copy of Burnett's, which is another

indication that the use of the Charwoman is not "sufficiently

transformative." In sum, the crux of plaintiffs' argument is that the

target of the "Family Guy's crude joke" appears to be Burnett, her

family, and her wholesome image as opposed to the Charwoman.

However, as the Supreme Court has pointed out, the correct inquiry is

not whether the use of the material constitutes parody in a "strict

legal sense." Rather, the "threshold question when fair use is raised

in defense of parody is whether a parodic character may reasonably be

perceived" and "[w]hether ... parody is in good taste or bad taste

does not and should not matter to fair use." ... As defendant

correctly notes, it is immaterial whether the target of Family Guy's

"crude joke" was Burnett, the Carol Burnett Show, the Charwoman,

Carol's Theme Music or all four. The eighteen-second clip of the

animated figure resembling the "Charwoman," mopping the floor next to

"blow-up dolls," a rack of "XXX" movies, and "video booths" in a porn

shop is clearly designed to "imitate[ ] the characteristic style of an

author or a work for comic effort or ridicule," and is executed in

such a manner that "the characteristic turns of thought and phrase or

class of authors are imitated in such a way as to make them appear

ridiculous.". Criticism of figures as universally recognized as Carol

Burnett "will not always be reasoned or moderate," and may come in the

form of " `vehement, caustic, and sometimes unpleasantly sharp

attacks." ... Here, Family Guy put a cartoon version of Carol

Burnett/the Charwoman in an awkward, ridiculous, crude, and absurd

situation in order to lampoon and parody her as a public figure.

Therefore, the Court finds that a parodic character may reasonably be

perceived in the Family Guy's use of the Charwoman because it is a

"literary or artistic work that broadly mimics an author's

characteristic style and holds it up to ridicule." ... The episode at

issue put a cartoon version of Carol Burnett/the Charwoman in an

awkward, ridiculous, crude, and absurd situation in order to lampoon

and parody her as a public figure. Accordingly, the Court finds this

factor weighs in favor of fair use.

What I find so wholesome in these remarks are their disregard for the

parody/satire dichotomy that threatened fair use in the wake of

Justice Souter's distinction between the two in Campbell. Some,

including I believe Professor Rebecca Tushnet, have cautioned that

Justice Souter did not mean to create a binary world - one in which

parody has a leg up and satire has an uphill battle - and this

decision as well as a few earlier ones are of great help. The court's


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