Taylor v Rive Droite Music Ltd [2004] EWHC 1605 (Ch) (06 July 2004)

Taylor v Rive Droite Music Ltd [2004] EWHC 1605 (Ch) (06 July 2004)

The court found that the publishing agreement was for a two-year term based on the express wording of clause 4 and the parties' conduct, rejecting RDM's claim for rectification. Mr Taylor was not contractually obliged to work exclusively for RDM under the producer agreement. No diversion of projects or copyright...

Source-derived case information.

Citation
[2004] EWHC 1605 (Ch)
Parties
Claimant: Mark Taylor; Defendant: Rive Droite Music Ltd
Jurisdiction
England and Wales
Judgment Date
06 July 2004
Procedural Posture
Commercial Contractual Dispute / Judgment on Liability
Outcome
Liability determined in favour of the claimant on principal issues.
Legal Topics
Publishing Agreements, Producer Agreements, Copyright Infringement, Implied Terms, Rectification, Royalty Accounting
Contract Law Intellectual Property Publishing Agreements Producer Agreements Copyright Infringement Implied Terms Rectification Royalty Accounting

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Parties

Mark Taylor

Claimant

Rive Droite Music Ltd

Defendant

Procedural Posture

Commercial Contractual Dispute / Judgment on Liability

  1. 1 Whether the latest publishing agreement was for a term of 2 years or 3, either on its true construction or following rectification
  2. 2 Whether Mr Taylor was contractually obliged to work exclusively for RDM under the producer agreement
  3. 3 What, if any, terms are to be implied into the producer agreement

Ratio Decidendi

The court found that the publishing agreement was for a two-year term based on the express wording of clause 4 and the parties' conduct, rejecting RDM's claim for rectification. Mr Taylor was not contractually obliged to work exclusively for RDM under the producer agreement. No diversion of projects or copyright infringement by Mr Taylor was established. RDM breached the publishing contract by failing to exploit 'Follow Your Heart'. RDM's application of the cover clause and deductions in royalty accounting was not justified.

Court Disposition

Liability determined in favour of the claimant on principal issues.

Orders

  • Declaration that the publishing agreement was for a two-year term
  • Declaration that Mr Taylor was not contractually obliged to work exclusively for RDM