NORTH CAROLINA JOURNAL OF LAW & TECHNOLOGY Volume 17 Article 5 Issue 5Online Issue 5-1-2016 Gucci v. Alibaba: A Balanced Approach to Secondary Liability for E-Commerce Platforms Esther A. Zuccaro Follow this and additional works at:http://scholarship.law.unc.edu/ncjolt Part of theLaw Commons Recommended Citation Esther A. Zuccaro,Gucci v. Alibaba: A Balanced Approach to Secondary Liability for E-Commerce Platforms, 17N.C. J.L. & Tech.On. 144 (2016). Available at:http://scholarship.law.unc.edu/ncjolt/vol17/iss5/5 This Notes is brought to you for free and open access by Carolina Law Scholarship Repository. It has been accepted for inclusion in North Carolina Journal of Law & Technology by an authorized administrator of Carolina Law Scholarship Repository. For more information, please contact [email protected]. NORTH CAROLINA JOURNAL OF LAW & TECHNOLOGY 17 N.C. J.L. & TECH. ON. 144 (2016) GUCCI V. ALIBABA: A BALANCED APPROACH TO SECONDARY LIABILITY FOR E-COMMERCE PLATFORMS Esther A. Zuccaro* This Recent Development discusses the future of secondary liability for e-commerce platforms whose users sell counterfeit goods in the wake of the ongoing Gucci v. Alibaba litigation. Should the plaintiffs prevail, e-commerce platforms will be held accountable to cooperate with brand owners by removing infringing listings in a timely fashion and sanctioning users who sell counterfeits in an effective manner, resulting in a more brand- protective environment than that under the current Tiffany v. eBay standard. Such a result will compel e-commerce platforms to share the burden of policing counterfeiters with trademark owners, working together to combat trademark infringement. Not only will this be a more effective means of discouraging appropriation, but it will also reinforce public policy goals and ultimately benefit trademark owners, e-commerce platforms, and consumers. I. INTRODUCTION What qualifies an item as “luxury”? The concept of luxury “can be as subjective and elusive as it is obvious.”1 High price, non-essential nature, indulgence, provenance, craftsmanship, exclusivity, and experience can all be indicators of luxury.2 This allure attracts consumers to pay top dollar for extravagant and often unnecessary items.3 Indeed, reputation is a critical component of luxury; one that is not easily created.4 * J.D. Candidate, University of North Carolina School of Law, 2016. 1 Tom Teicholz, Cult of Luxury: Who Makes High-End Goods and How We Recognize It, FORBES (Feb. 5, 2015, 7:56 PM), http://www.forbes.com/sites/ tomteicholz/2015/02/05/cult-of-luxury-what-it-is-who-makes-it-and-how-we- recognize-it/. 2 Id. 3 Tom Teicholz, Cult of Luxury: Craftsmanship, Scarcity, and the Hermès Brand, FORBES (Mar. 12, 2015, 5:31 PM), http://www.forbes.com/sites/ 144 17 N.C. J.L. & TECH. ON. 144, 145 A Balanced Approach to Secondary Liability Trademarks are powerful tools for luxury brands, as they denote the “status, quality, and price of the brand’s goods.”5 Accordingly, trademarks convey a notion of the brand’s reputation, undoubtedly a product of the goodwill and quality of the brand’s goods or services.6 To protect such reputation, luxury brands spend hundreds of millions of dollars to combat counterfeiting.7 At first glance, counterfeits or knockoffs may resemble luxury goods; however they are often made of poor quality materials, lacking the attention to detail and high standard of craftsmanship for which luxury brands are known.8 Counterfeiting threatens a brand’s very livelihood in that consumers may confuse knockoff products with the genuine articles and conclude that the brand’s luxury items are of inferior quality and not worth the high price.9 The scope of global counterfeiting efforts is vast and often considered the “single greatest threat to brand owners.”10 In 2014, the U.S. Border Patrol confiscated knockoff goods at the border that would have been valued at $1.2 billion dollars, had they been genuine pieces.11 Throughout the world, it is estimated that $1.8 tomteicholz/2015/03/12/cult-of-luxury-craftmanship-scarcity-and-the-hermes- brand/. 4 Tom Teicholz, Cult of Luxury: Dolce, Gabbana And The Importance Of A Good Reputation, FORBES (Mar. 20, 2015, 2:34 AM), http://www.forbes.com/ sites/tomteicholz/2015/03/20/cult-of-luxury-dolce-gabbana-and-the-importance- of-a-good-reputation/. 5 See Kurt M. Saunders & Gerlinde Berger-Walliser, The Liability of Online Markets for Counterfeit Goods: A Comparative Analysis of Secondary Trademark Infringement in the United States and Europe, 32 NW. J. INT’L L. & BUS. 37, 38 (2011). 6 See id. 7 French Conglomerate LVMH Has Built its Name on Luxury, THE FASHION LAW (September 1, 2015), http://www.thefashionlaw.com/home/french- conglomerate-lvmh-has-built-its-name-on-luxury. 8 Saunders & Berger-Walliser, supra note 5, at 38. 9 Id. 10 See First Amended Complaint at 42, Gucci Am. Inc. v. Alibaba Grp. Holding Ltd., No. 15-cv-03784 (S.D.N.Y. 2015). 11 Counterfeit.com, THE ECONOMIST (Aug. 1, 2015), http://www.economist.com/news/business/21660111-makers-expensive-bags- clothes-and-watches-are-fighting-fakery-courts-battle. 17 N.C. J.L. & TECH. ON. 144, 146 A Balanced Approach to Secondary Liability trillion dollars in knockoffs are sold every year.12 Counterfeited items include watches, jewelry, handbags, wallets, clothing, pharmaceuticals, personal care items, footwear, and consumer electronics.13 With the advance of new technology, counterfeiting has become an even larger, more complex threat to brands. In recent years, with the rise of e-commerce platforms and online stores, the Internet has redefined the shopping experience. What was once an activity requiring customers to dress in their finery and travel downtown has now been reduced to a few clicks of a mouse. The sheer breadth of items available for purchase online has grown exponentially as well.14 Online auction websites such as eBay allow anyone to relatively anonymously sell items on such platforms.15 With the creation of e-commerce platforms and online boutiques, online shoppers can buy anything from a two dollar toothbrush to a two thousand dollar handbag. However, such convenience comes at a price: instances of trademark infringement and counterfeiting have become more prevalent with the popularity of e-commerce websites.16 Online shopping permits consumers to buy and sell counterfeits from the comfort of their living rooms, eliminating “dark alleys and basements from the buying equation.”17 E-commerce marketplaces can provide a successful setting for counterfeiters: low operating costs to sell on websites, 12 Id. 13 Id. 14 What is Taobao?, WALL STREET JOURNAL (May 28, 2014), http://www.wsj.com/video/what-is-taobao/69BD4B54-0417-4075-A54D-5FC89 5B5B3F3.html; Paul Grey, How Many (More) Products Does Amazon Sell?, EXPORT X (August 14, 2014), http://export-x.com/2014/08/14/many-products- amazon-sell-2/. For instance, over 800 million products are available on Alibaba’s Chinese e-commerce platform Taobao at any time. It is estimated that Amazon sells over 250 million products in America alone. Id. 15 EBAY, What We Do, https://www.ebayinc.com/our-company/who-we-are/ (last visited October 29, 2015) (“Whether you are buying new or used, plain or luxurious, commonplace or rare, trendy or one-of-a-kind – if it exists in the world, it probably is for sale on eBay.”). 16 See Saunders & Berger-Walliser, supra note 5, at 38. 17 Maura Kutner, The Fight Against Fakes Online, HARPER’S BAZAAR (Dec. 14, 2010), http://www.harpersbazaar.com/fashion/trends/a622/fight-against- fakes-online-0111/. 17 N.C. J.L. & TECH. ON. 144, 147 A Balanced Approach to Secondary Liability less risk of legal action, and the ability to easily open another store, should one be shut down.18 Accordingly, e-commerce platforms and Internet operators have been sued by luxury brands over counterfeits sold by users, both in the United States and in Europe.19 Trademark owners have asserted that online marketplaces should be held liable for their users’ illegal activity because they allow the sale of counterfeits through their websites.20 Courts have determined the outcome of such cases based on the requisite level of knowledge e-commerce platforms possess of their users’ illicit acts.21 The current landscape of contributory liability law in the United States under the Tiffany standard22 protects the e-commerce platform, not the trademark owner, to the detriment of public policy concerns.23 However, an ongoing lawsuit, Gucci v. Alibaba,24 carries the potential to shift the standard to one, which, should the plaintiffs prevail, is more 18 Second Amended Complaint at 47, Gucci Am. Inc. v. Alibaba Grp. Holding Ltd., No. 15-cv-03784 (S.D.N.Y. 2015). 19 See Tiffany (NJ) v. eBay Inc., 600 F.3d 93 (2d. Cir. 2010); Louis Vuitton Malletier, S.A. v. Akanoc Solutions, Inc., 658 F.3d 936 (9th Cir. 2011); Perfect 10, Inc. v. Visa Intern. Service Ass’n, 494 F.3d 788 (9th Cir. 2007); L’Oreal SA v. eBay Int’l AG [2009] EWHC 1094 (Eng.). 20 See Tiffany, 600 F.3d at 106 (“Tiffany urged that eBay be held contributorially liable on the basis that despite that knowledge, it continued to make its services available to infringing sellers.”) 21 See id. at 107. (“[T]he district court concluded that for Tiffany to establish eBay’s contributory liability, Tiffany would have to show that eBay ‘knew or had reason to know of specific instances of actual infringement’ beyond those that it addressed upon learning of them.”) 22 Id. 23 Id. at 109 (internal citations omitted). The court held: Tiffany and its amici express their concern that if eBay is not held liable except when specific counterfeit listings are brought to its attention, eBay will have no incentive to root out such listings from its website. They argue that this will effectively require Tiffany and similarly situated retailers to police eBay’s website – and many others like it ‘24 hours a day, and 365 days a year.’ They urge that this is a burden that most mark holders cannot afford to bear. Id. 24 Gucci Am. Inc. v. Alibaba Grp. Holding Ltd., No. 15-cv-03784 (S.D.N.Y. 2015). 17 N.C. J.L. & TECH. ON. 144, 148 A Balanced Approach to Secondary Liability brand protective.25 A verdict for the plaintiffs would safeguard brands against counterfeiters imposing upon the brands’ good will and esteemed reputation, and restore confidence in consumers that what they purchase online is legitimate. This Recent Development will proceed in five parts: Part II will introduce the Alibaba marketplace’s history of counterfeiting issues and the Gucci complaint; Part III will provide an overview of secondary liability for trademark infringement in the United States under the Tiffany standard; Part IV will apply the Tiffany standard to the Gucci complaint and argue why the Plaintiff’s secondary liability argument should prevail; and Part V will conclude. II. INTRODUCING ALIBABA’S HISTORY OF COUNTERFEITING ISSUES AND THE GUCCI COMPLAINT A. The Alibaba Group Founded sixteen years ago, Alibaba is China’s largest e- commerce company, utilized in eighty percent of online Chinese commerce.26 Alibaba is a network of interconnected products and services,27 constituting an all-in-one e-commerce marketplace, 25 Currently, in the interest of pursuing mediation, the Plaintiffs have entered a Notice of Voluntary Dismissal without Prejudice against four of the eleven Alibaba Defendants: Alibaba.com Investment Holding Limited; Alibaba.com Investment Limited; Alibaba.com, Inc.; and Taobao Holding, Ltd. The Plaintiffs are not pursuing mediation with respect to the thirty-one merchant defendants. In the event that mediation fails, this prospectus will still be valid. See Stipulation and Notice of Voluntary Dismissal Without Prejudice Against Certain Defendants, Gucci Am. Inc. v. Alibaba Grp. Holding Ltd., No. 15-cv- 03784 (S.D.N.Y. 2015). 26 Sarah Gray, Why a company you’ve never heard of is about to take over the world, SALON (Sept. 18, 2014 11:05 AM), http://www.salon.com/2014/09/18/ why_a_company_youve_never_heard_of_is_about_to_take_over_the_world/. For an introduction to the Alibaba Group, see Alibaba Grp. Holding Ltd. Registration Statement (Form F-1) 1-6 (May 6, 2014) [hereinafter Registration Statement]. 27 What is Alibaba?, WALL STREET JOURNAL, http://projects.wsj.com/ alibaba/?mod=e2tw. 17 N.C. J.L. & TECH. ON. 144, 149 A Balanced Approach to Secondary Liability bank, and search engine.28 Alibaba offers services on its platforms conceptualized as a mix of eBay’s user-generated listings29 and Amazon’s wide product availability,30 with additional features such as product search functions and online payment systems, similar to those of Google31 and PayPal.32 The Alibaba company offers three main e-commerce websites: Taobao, Tmall, and Alibaba.com.33 Taobao is Alibaba’s largest business, on which vendors may list items free of charge, but pay for services such as advertising so that their products stand out.34 Similar to Google, Alibaba makes money by selling advertising and search placement to Taobao vendors.35 Tmall is a more upscale e-commerce website on which large brands such as Nike or Proctor and Gamble pay a hefty fee to list their products.36 Alibaba also obtains commission from the 28 Id. 29 eBay is an online auction website that provides a platform for users to buy and sell goods. EBAY, What is Ebay?, http://pages.ebay.co.uk/help/ account/questions/about-ebay.html (last visited November 19, 2015). See also eBay, supra note 15. 30 Amazon is an e-commerce platform where customers “can find and discover virtually anything they want to buy online,” offering “low prices, vast selection, and convenience.” AMAZON, Overview, http://phx.corporate-ir.net/ phoenix.zhtml?c=176060&p=irol-mediaKit (last visited November 19, 2015). 31 Google offers various technologies such as a search engine, email service, Internet browser, advertising programs, and cloud computing tools. See GOOGLE, Our products and services, https://www.google.com/intl/en/about/ company/products/ (last visited November 19, 2015). 32 “Paypal is a service that enables you to pay, send money, and accept payments without revealing your financial details.” PAYPAL, Checkout with PayPal – Faster. Safer. Easier., https://www.paypal.com/webapps/mpp/paypal- popup (last visited November 19, 2015). See also Gray, supra note 26. 33 Wall Street Journal, supra note 27. “The Alibaba Defendants have created an online global marketplace on their websites Alibaba.com, AliExpress.com and Taobao.com (collectively, the ‘Alibaba Marketplaces’) for the sale of wholesale and retail products originating from China.” Second Amended Complaint at 3, Gucci Am. V. Alibaba Grp. Holding Ltd., No. 15-cv-03784 (S.D.N.Y. 2015). 34 Wall Street Journal, supra note 27. 35 Alibaba is not the Amazon of China, CNN MONEY (HONG KONG) (Sept. 16, 2014), http://money.cnn.com/2014/09/15/investing/alibaba-amazon-china/ index.html?iid=EL. 36 Wall Street Journal, supra note 27. 17 N.C. J.L. & TECH. ON. 144, 150 A Balanced Approach to Secondary Liability retail brands who sell their goods on Tmall.37 Alibaba.com connects Chinese companies with exporters throughout the world.38 Alibaba’s latest venture involved offering over $3.5 billion dollars for ownership of Youku Tudou, the Chinese equivilant of Youtube, investing in China’s rapidly growing digital media market.39 Alibaba is arguably the world’s largest e-commerce company, as it hosts millions of merchants and businesses and boasts hundreds of millions of users throughout its three principal websites: Taobao, Tmall, and Alibaba.com.40 According to lead founder and executive chairman Jack Ma,41 the company also employs a so-called Internet “ecosystem,” which permits consumers to shift between Alibaba’s e-commerce platforms and mobile apps.42 These apps allow users to perform a myriad of activities beyond the realm of online shopping, from hailing a taxi to investing in a money market fund.43 Although the average American consumer has likely never heard of the company,44 Alibaba handles more business than any other e-commerce company in the world.45 Alibaba is not only home of the largest online clothing marketplace,46 it is the most frequented e-commerce destination in the world.47 In 2013, it 37 CNN Money, supra note 35. 38 Chris Wright, So What Exactly Is Alibaba?, FORBES (Sept. 16, 2014), http://www.forbes.com/sites/chriswright/2014/09/16/so-what-exactly-is-alibaba/. 39 Alibaba offers $3.6 billion to buy China’s ‘Youtube’, CNN MONEY (LONDON) (Oct. 16, 2015), http://money.cnn.com/2015/10/16/technology/ alibaba-youku-tudou-video/index.html. 40 Wright, supra note 38. 41 ALIBABA GROUP, Leadership, http://www.alibabagroup.com/en/about/leadership (last visited November 19, 2015). 42 CNN Money, supra note 35. 43 Id. 44 See Gray, supra note 26. 45 Wall Street Journal, supra note 27. 46 Gregory Babcock, Alibaba Is the Biggest Online Clothing Marketplace in the World, and Is Full of Fake Yeezys, Givency, and Everything Else, COMPLEX (Sept. 23, 2014), http://www.complex.com/style/2014/09/a-sample-of-fake- products-on-alibaba/. 47 Wall Street Journal, supra note 27; See Paul Mozur and Juro Osawa, Alibaba 11.11 Shopping Festival Breaks Record, WALL STREET JOURNAL (Nov. 11, 2013), http://www.wsj.com/news/articles/SB1000142405270230464410457 17 N.C. J.L. & TECH. ON. 144, 151 A Balanced Approach to Secondary Liability boasted $248 billion dollars in total transactions, a figure greater than eBay and Amazon’s sales combined.48 In 2015, Alibaba.com alone boasted 350 million active buyers and more than $12 billion dollars in earnings.49 On the Chinese equivalent of Black Friday in 2013, Alibaba’s sales totaled $5.75 billion dollars, a figure three times larger than that Americans spent on all United States online shopping websites during both Thanksgiving and Black Friday.50 Such large sales are attributable in part to the sheer volume of Chinese Internet users and the popularity of online shopping in China.51 There are an estimated 500 million Internet users in China, compared to the United States population of about 330 million people.52 Moreover, unlike in the United States, many large cities in China do not offer shopping malls or large retail centers, resulting in Chinese residents turning to shopping online for their retail needs.53 Alibaba’s business thrives on the lack of brick and mortar stores in China, a hallmark of American shopping.54 Jack Ma explained, “E-Commerce in the U.S. is like a dessert... It’s just supplementary to your own business. In China, because the infrastructure of commerce is [so] bad, e-commerce becomes the main course.”55 9191590951567808. China is considered the world’s fastest growing e- commerce market; it is estimated that China’s e-commerce market will reach $713 billion by the year 2017. 48 Wall Street Journal, supra note 27. 49 See Second Amended Complaint, supra note 18, at 47–48. 50 See Nicholas Carlson, A Single Chinese Company Dwarfed All Of America’s Black Friday And Thanksgiving Online Sales In One Day, BUSINESS INSIDER (Dec. 3, 2013), http://www.businessinsider.com/alibaba-dwarfs- americas-black-friday-2013-12#!KcRrH. Singles Day is the Chinese equivalent of Black Friday, celebrated every year on November 11, in celebration of single individuals. Alibaba specifically chose 11/11 as Singles Day because the date is entirely comprised of ones. 51 See Carlson, supra note 50. 52 Id. 53 Id. 54 Registration Statement, supra note 26, at Table of Contents. As of 2013, China’s retail space per capita totaled 0.6 square meters, compared with 2.6 square meters in the United States, 1.3 square meters in the United Kingdom, 1.3 square meters in Japan, and 1.5 square meters in Germany. 55 CNN Money, supra note 35. 17 N.C. J.L. & TECH. ON. 144, 152 A Balanced Approach to Secondary Liability However Alibaba is not merely the Chinese equivalent of American e-commerce platforms such as eBay or Amazon.56 More precisely, it is a combination of Amazon, eBay, and Google, offering platforms in “e-commerce, logistics, cloud computing, digital marketing[,] and mobile Internet services.”57 Ma even rejects the notion that it is an e-commerce company,58 insisting that Alibaba assists others to execute e-commerce, and does not sell goods.59 Essentially, Ma emphasized that Alibaba works to connect buyers and sellers, but Alibaba itself is not a seller.60 Alibaba boasted the largest initial public offering (“IPO”) to date, with a closing value of $25 billion dollars and company value of $231 billion dollars.61 According to its IPO filing, Alibaba’s international strategy focuses on connecting Chinese merchants and manufacturers with worldwide businesses and consumers.62 In creating Alibaba, Ma, a former English teacher, aimed from the very start to compete against Silicon Valley instead of other Chinese companies, and has been compared to the Steve Jobs or Bill Gates of China.63 After Alibaba’s IPO, Ma became the 56 See id. 57 China’s Alibaba files for landmark IPO, CNN MONEY (NEW YORK) (MAY 7, 2014), http://money.cnn.com/2014/05/06/investing/alibaba-ipo/index.html; ALIBABA GROUP, Dear Fellow Shareholder, http://ar.alibabagroup.com/2015/ letter2.html (last visited November 19, 2015). 58 Interestingly, in its F-1 SEC Filing, Alibaba introduces its company and websites by purporting, “Alibaba is synonymous with e-commerce in China.” Registration Statement, supra note 26, at Table of Contents. 59 CNN Money, supra note 35. 60 Id. 61 Telis Demos & Juro Osawa, Alibaba Debut Makes a Splash, WALL STREET JOURNAL (Updated Sept. 19, 2014, 8:28PM), http://www.wsj.com/articles/ alibaba-shares-trade-higher-in-ipo-1411142120. 62 Lulu Yilun Chen, Alibaba Taps Chinese Diaspora as Global Amazon Battle, BLOOMBERG (Sept. 10, 2014), http://www.bloomberg.com/news/articles/ 2014-09-11/alibaba-taps-chinese-diaspora-as-global-amazon-battle. Jack Ma chose the name ‘Alibaba’ because it could be readily pronounced in nearly any language, indicative of his global aspirations. See Kevin Chan, Alibaba’s IPO Caps a Success Tale for Jack Ma, INC (Sept. 19, 2014), http://www.inc.com/ associated-press/alibaba-founder-success-tale.html. 63 E.g., Kelvin Chan, Alibaba’s IPO Caps a Success Tale for Jack Ma, INC (Sept. 19, 2014), http://www.inc.com/associated-press/alibaba-founder-success-
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