Greenfield v. Philles Records, Inc., 98 N.Y.2d 562 (2002)
An unconditional transfer of ownership rights to a work of art, such as a master recording, includes the right to use that work in any manner unless those rights are specifically limited by the terms of the contract.
Summary
The Ronettes, a singing group, signed a contract with Philles Records in 1963, granting Philles ownership of their master recordings. Years later, Philles licensed these recordings for synchronization in movies and domestic redistribution without paying royalties to the Ronettes. The Ronettes sued, claiming the contract didn’t allow these uses. The New York Court of Appeals held that the broad grant of ownership to Philles, without explicit restrictions, allowed them to license the recordings as they did, subject to the original royalty agreement. The court emphasized that an artist must explicitly reserve rights when transferring ownership if they wish to retain them.
Facts
In 1963, The Ronettes signed a five-year recording contract with Philles Records, granting Philles ownership of the recordings of their musical performances.
The contract stipulated a royalty schedule for compensating the Ronettes.
The Ronettes received an initial advance of $15,000 but no subsequent royalty payments.
Philles Records later licensed the master recordings for synchronization in movies (e.g., “Dirty Dancing”) and domestic redistribution without paying royalties to the Ronettes.
Ronnie Greenfield (lead singer) divorced Phil Spector (Philles Records owner) and signed a general release.
Procedural History
The Ronettes sued Philles Records in 1987 for breach of contract, claiming unauthorized licensing of recordings.
Supreme Court ruled in favor of the Ronettes, awarding approximately $3 million in damages and interest.
The Appellate Division affirmed.
The New York Court of Appeals granted leave to appeal.
Issue(s)
Whether the unconditional transfer of ownership rights to master recordings in a 1963 contract included the right to license those recordings for synchronization and domestic redistribution, even if the contract did not explicitly address those specific uses.
Whether a general release signed during a divorce proceeding bars one of the singers from receiving royalties.
Holding
Yes, because the contract unambiguously granted Philles Records complete ownership rights to the master recordings, and there was no explicit reservation of rights by The Ronettes. The right to make “other reproductions… by any method now or hereafter known” was broad enough to encompass synchronization and domestic licensing.
No, because under California law, extrinsic evidence supported the finding that the general release was not intended to cover the singer’s right to compensation under the 1963 recording contract.
Court’s Reasoning
The court applied the fundamental principle of contract interpretation: agreements are construed according to the parties’ intent, best evidenced by the plain meaning of the contract terms. “The best evidence of what parties to a written agreement intend is what they say in their writing.”
The court found the contract unambiguous in granting Philles Records unconditional ownership rights. The agreement explicitly refers to defendants’ “right to make phonograph records, tape recordings or other reproductions of the performances embodied in such recordings by any method now or hereafter known, and to sell and deal in the same”.
Citing Pushman v. New York Graphic Socy., the court reiterated that the unconditional sale of artistic property transfers all rights to the buyer unless explicitly reserved. “[A]n artist must, if he wishes to retain or protect the reproduction right, make some reservation of that right when he sells the painting.”
The court distinguished this case from others where the grant of ownership was less than full or specified only certain rights, in which case other rights may be retained by the grantor.
The court addressed the singer’s general release in the divorce settlement, applying California law (where the release was executed) and finding the release did not bar her from receiving royalties from the recording contract.
The court remitted the case to the Supreme Court to recalculate the damages for royalties due to the plaintiffs on domestic sales based on the contract’s schedule.