Assignment of copyright in software under Indian Copyright Act
Ownership and assignment of copyright for computer software in India was addressed by the Delhi High Court in a judgment on Pine Labs Private Limited vs Gemalto Terminals India Private Limited and others.
Justice A.K. Sikri and Justice Suresh Kait upheld Pine Labs' contention that the assignment of copyright in software developed by it for Gemalto came to an end after 5 years and thereafter, the copyright reverted to Pine Labs.
Facts
Gemalto had engaged Pine Labs for the development of software for various programs including the one for the IOCL Fleet Card Program. A master service agreement was signed in June 2004. Clause 7 of the MSA provided that Pine Labs " assigns" all copyright to Gemalto. Pursuant to the MSA, Pine Labs authored a computer program known as the Version 1.03 for the IOCL Fleet Card Program and a complete version of the same was provided to Gemalto in August 2004. Thereafter, certain other functionalities were added to the program and subsequent versions were also provided from time to time. In 2009, Pine Labs filed a suit in the Delhi high Court claiming that copyright had reverted to it as the assignment had expired by virtue of section 19 and 19 of the Indian Copyright Act.Section 19 and 19 provide that:
- 19 If the period of assignment is not stated, it shall be deemed to be five years from the date of assignment.
- 19 If the territorial extent of assignment of the rights is not specified, it shall be presumed to extend within India.
Injunction
Ex parte injunction was granted by the Single judge but was later vacated after hearing arguments. Pine Labs filed an appeal before the Division Bench. Division Bench initially granted interim stay and vide judgment dated 3 August 2011 ruled in favour of Pine Labs.Judgment
The bench observed that:The Bench relied upon section 19 and 19 of the Copyright Act and came to the conclusion that:
Gemalto contended that the MSA was only an agreement to assign and not an assignment and it was the equitable owner of the copyright. As such, section 19 and 19 of the Copyright Act had no application and Pine Labs was liable to execute documents assigning the copyright to Gemalto. This contention was overruled by the Bench which concluded that section 19 and 19 of the Copyright Act applied whether the MSA was an agreement to assign or an assignment.