{"id":49971,"date":"2016-09-30T11:27:00","date_gmt":"2016-09-30T16:27:00","guid":{"rendered":"https:\/\/ability-fl-prod.internetbrands.com\/ability-legal\/supreme\/legal-commentary\/a-kentucky-court-approves-the-seizure-of-out-of-state-companies-domain-names-a-dangerous-precedent-that-may-chill-free-speech-and-impede-global-internet-communications.html"},"modified":"2016-09-30T11:27:00","modified_gmt":"2016-09-30T16:27:00","slug":"a-kentucky-court-approves-the-seizure-of-out-of-state-companies-domain-names-a-dangerous-precedent-that-may-chill-free-speech-and-impede-global-internet-communications","status":"publish","type":"supreme","link":"https:\/\/supreme.findlaw.com\/legal-commentary\/a-kentucky-court-approves-the-seizure-of-out-of-state-companies-domain-names-a-dangerous-precedent-that-may-chill-free-speech-and-impede-global-internet-communications.html","title":{"rendered":"A Kentucky Court Approves the Seizure of Out-of-State Companies&#8217; Domain Names: A Dangerous Precedent that May Chill Free Speech and Impede Global Internet Communications"},"content":{"rendered":"\n<div class=\"wp-container-core-columns-is-layout-9d6595d7  fl-block-columns fl-sectionWithSidebar fl-container fl-flex fl-flex-wrap fl-gap30\">\n    \n    <div class=\"fl-page-articles   fl-block-column fl-section-main fl-section-main-full-width\">\n        <div class=\"yui-g\" id=\"leftcol-module\">\n      <!-- Right Line of Links Section -->\n      <!-- BEGIN PICTURE INSERTION -->\n      <!-- BEGIN TITLE AND AUTHOR INSERTION -->\n      <table>\n        <tr>\n\n          <td width=\"100\" rowspan=\"3\" class=\"wiauthor\"><a href=\"\/legal-commentary\/anita-ramasastry-archive\"><img decoding=\"async\" src=\"https://supreme.findlaw.com/static/f/images\/writ\/anita.ramasastry.jpg\" border=\"0\"><\/a><\/td>\n          <td class=\"wititle\"><h1>A Kentucky Court Approves the Seizure of Out-of-State Companies&#8217; Domain Names: A Dangerous Precedent that May Chill Free Speech and Impede Global Internet Communications<\/h1><\/td>\n        <\/tr>\n        <tr>\n          <td class=\"wiauthor\"><a href=\"\/legal-commentary\/anita-ramasastry-archive\" class=\"graybold\"><h2>By ANITA RAMASASTRY <\/h2><br><\/a><\/td>\n        <\/tr>\n        <tr>\n          <td class=\"widate\">Monday, Dec. 22, 2008<\/td>\n\n        <\/tr>\n      <\/table>\n\n<span class=\"smalltext\">\n\n\n<p>Does a government or court have the right to seize a  domain name when a website&#8217;s activities are illegal where the government or  court sits, but legal elsewhere? <\/p>\n\n<p>This is the question raised in a recent Kentucky  dispute over online gambling websites.  Online gambling is legal in many places in the world, but illegal in the  United States. Thus, the State of  Kentucky \u2013 in an effort to impede online gaming by state residents \u2013 went to  court to seize 141 domain names as a means of shutting down many popular online  casinos. All of the domain-name owners  likely reside out-of-state. <\/p>\n\n<span class=\"smalltext\"><\/span><span class=\"smalltext\">\n\n<!-- 300x250 AD -->\n\n<\/span>  \n  <p>In October, Kentucky Judge Thomas Wingate held that  Kentucky&#8217;s seizure was lawful on the ground that the domain names were illegal  &#8220;gambling devices&#8221; subject to Kentucky&#8217;s anti-gambling laws. He reached that conclusion first ex parte  (that is, without the presence of the site operators&#8217; attorneys) and then after  a hearing. Judge Wingate thus ordered  various domain name registrars to transfer ownership of the 141 domain names to  Kentucky officials \u2013 which will effectively shut down the websites, or at least  deny potential users access to those sites via their popular domain names. To reach the conclusion that Kentucky had the  power to seize the domain names, the judge had to make several logical leaps \u2013  such as finding that the domain names were intangible property located in  Kentucky. <\/p>\n\n  <p>Just  last week, three judges on the Kentucky Court of Appeals heard oral argument in  the case, which has the Internet world spinning. In the interim, the Court of Appeals has  stayed the order, so the domain names will not be transferred to the State  until and unless the Court of Appeals rules in the State&#8217;s favor. The primary  basis of the appeal is that the attempted seizure violates the U.S.  Constitution and Supreme Court precedent, including the First Amendment, and  the principle that States cannot interfere with commerce that is national or  global. <\/p>\n  <p>In this column, I will discuss the lower court&#8217;s  ruling and why it is flawed.<\/p>\n  <p><strong>The Kentucky Court&#8217;s  Ruling<\/strong><\/p>\n  <p>    Initially, Kentucky&#8217;s Justice and  Public Safety Cabinet filed its complaint in secret and under seal, obtaining  an ex parte ruling before the gambling site operators had a chance to  object. Then, some of the web site  operators sought to overturn the ruling at a September 26 court hearing. Their  attorneys contended, for example, that the court lacked jurisdiction over the  seizure of their domain names because domains are merely contractual rights,  rather than property. They also argued  that because the domain names weren&#8217;t physically located in Kentucky, Kentucky  did not have authority to seize them.<\/p>\n  <p>    The court found, however, that the domain names were  intangible property, similar to software or a patent. Judge Wingate also held that the state had  jurisdiction over the domain names because they were located in Kentucky in  that they were virtual casinos which operated like physical ones &#8212; inside  Kentucky.<\/p>\n  <p>    Finally,  Judge Wingate held that the domain names themselves were illegal gambling  devices. A Kentucky statute  provides that illegal &#8220;gambling devices&#8221; in Kentucky are subject to forfeiture,  and defines a &#8220;gambling device&#8221; as a tangible device manufactured and designed  specifically for gambling.<\/p>\n  <p>    Judge  Wingate&#8217;s interpretation of the statute is thus questionable on two  counts: The domain names are not  tangible, and it is odd to call them &#8220;devices&#8221; for gambling in the sense that,  say, a roulette table fits that definition.  Yet Judge Wingate compared the domain names to &#8220;virtual keys for entering  and creating virtual casinos from the desktop of a resident in Kentucky.&#8221; He reasoned that the domain name is  indispensable in maintaining the player&#8217;s continuing access to the virtual  casinos&#8217; &#8220;premises.&#8221;<\/p>\n  <p>    Judge Wingate  did amend his earlier seizure order to exempt any online casino that employs  geographic filtering tools to block Kentucky residents. However, as the domain name owners and  Internet civil liberties groups have argued, it is very expensive and difficult  to actually block sites from reaching different states or countries. In contrast, sites can effectively put  disclaimers on their sites or attempt to block transactions by screening credit  cards. Now, as noted above, the case is  stayed pending appeal, so the domain names are currently still in the owners&#8217;  possession.<\/p>\n  <p><strong>Are Domain Names Property, and If So,  Where Does that Property Reside? <\/strong><\/p>\n  <p>There is no question as to what the right practical  and constitutional answer is here: Domain names registered outside of Kentucky  should not be considered to be property &#8220;present&#8221; in Kentucky. If so, any government anywhere in the world  could seize the domain names of any site, thus blocking the site globally \u2013 a  grossly overbroad action when a government can block a site in its own country. <\/p>\n  <p>    But  what about the answer under Kentucky property law? Many courts have grappled with the issues of  whether a domain name is a form of property or simply a contractual right to  use a particular name to identify a certain internet protocol (IP) address on  the web (similar to how a phone directory matches a name to a phone  number). <\/p>\n  <p>    To  consider the issue, it is necessary to know a little more about how domain  names work: The job of distributing domain names and keeping track of who  controls them is delegated to registrars. There is only one &#8220;registry&#8221; for each  top-level domain, including &#8220;.com&#8221;. In  turn, there are hundreds of registrars who sell domain names to the  public. Registrars track of who has  registered each name and for how long. Each registrar has its own contractual terms,  which it applies to domain name registrations, and these vary greatly. <\/p>\n  <p>    Several  courts have held that a domain name is a form of intangible property. In 2003, for instance, the U.S. Court of  Appeals for the Ninth Circuit issued a decision upon which Judge Wingate relied. In <a href=\"https:\/\/caselaw.findlaw.com\/court\/us-9th-circuit\/\" rel=\"noopener\"><em>Kremen v. Cohen<\/em><\/a>, plaintiff  Gary Kremen sued registrar Network Solutions for conversion in connection with  the domain name &#8220;sex.com,&#8221; after a competitor had improperly obtained a  transfer of the name away from Kremen using a forged letter provided to the  registrar.<\/p>\n  <p>    In <em>Kremen<\/em>, the Ninth Circuit confronted  the issue of whether a domain name registration was a form of property that  could be subject to conversion (that is, that could be illegally taken from its  owner) under California law. The panel  of judges \u2013 in an opinion by Judge Alex Kozinski &#8212; concluded that it was,  indeed, a type of property and offered a three-part test: &#8220;[F]irst, there must  be an interest capable of precise definition; second, it must be capable of  exclusive possession or control; and third, the putative owner must have  established a legitimate claim to exclusivity.&#8221;<\/p>\n  <p>    Some courts  have followed suit; others have ruled differently. In <a href=\"https:\/\/caselaw.findlaw.com\/court\/virginia.html\" rel=\"noopener\"><em>Network  Solutions, Inc. v. Umbro International<\/em><\/a>, the Virginia Supreme  Court concluded that the holder of a domain name has a contract right, based on  an agreement with a registrar, and held that domain names are not subject to  garnishment under Virginia state law. It  reasoned that &#8220;t;a domain name registration is the product of a contract for  services between the registrar and registrant.&#8221; <\/p>\n  <p><strong>Did the Kentucky Court Have  Jurisdiction Over the Domain Names?<\/strong><\/p>\n  <p>Even assuming that Judge Wingate  (and Judge Kozinski, on whose opinion Judge Wingate relied) are right that a  domain name is property, however, where is that property located?<\/p>\n  <p>The court in <em>Kentucky v 141  Domain Names<\/em> invoked &#8220;in rem&#8221; jurisdiction \u2013 that is, jurisdiction  invoked basis on the location of the property (the &#8220;res,&#8221; or thing)  itself. (Neither the registrars nor the  domain owners appear to be located in Kentucky.) Judge Wingate, in turn, held that in rem  jurisdiction was proper here, because the gambling websites were accessible to  persons located in Kentucky and allowed them to open accounts and to gamble. But this would means that any online casino a  Kentucky resident patronizes is deemed to be located in Kentucky \u2013 and also  that any online casino is deemed to be located (not just to do business)  everywhere a single one of its users lives.<\/p>\n  <p>    This logic seems deeply  flawed. After all, Kentucky was not  seeking to ban or fine the businesses that ran the websites for illegally doing  business in Kentucky. It wanted to take  their domain names on the ground that the domain names were located there. <\/p>\n  <p>Where are domain names  located? Traditionally, courts find that  intangible property is located where its owner is domiciled, or in some cases  (such as that of stocks) where it is registered. With respect to intangible property, such as  stock, insurance policies, and rights to payment, courts have repeatedly held  that such property has its location where the party controlling it may be  found. And again, as noted above, none  of the domain name owners appear to reside in Kentucky.<\/p>\n  <p>Personal jurisdiction over the  registrars is a different issue; this, again, is in rem jurisdiction, asserted  over the domain names. In many  circumstances, states have acted to block websites from reaching their  citizens, or have prohibited Internet companies from transacting in their  states \u2013 by fining them or otherwise sanctioning them \u2013 but there, states  asserted personal jurisdiction based on the companies&#8217; doing business in the  state.<\/p>\n  <p><strong>Why the Kentucky Ruling Also Abridges  Constitutional Rights<\/strong><\/p>\n  <p>    Both the domain name owners and civil rights groups have  raised other important constitutional arguments in the Kentucky case. These organizations, including the Electronic  Frontier Foundation and the American Civil Liberties union, have highlighted  the danger that could result if a state court can order the seizure of domains  regardless of where they are registered. <\/p>\n  <p>The constitutional issues here include whether  due process is violated if the domain name registrars are hauled into court in  Kentucky, when they may not have adequate contacts there to form a basis for the  assertion of jurisdiction.<\/p>\n  <p>The First Amendment issues here,  too, are strong: A state&#8217;s power to seize a domain name might have a chilling  effect on speech, causing people to self-censor. Moreover, if the domain names were seized,  could others refer to them \u2013 or would they also be punished?<\/p>\n  <p> Finally,  the ability of Kentucky to seize the domain names \u2013 and thus effectively deny  citizens from other states access to sites &#8212; impedes interstate commerce in  the United States, and thus is a violation of the Commerce Clause.<\/p>\n  <p> If the  Kentucky Court of Appeals sides with Judge Wingate, what will this mean for  websites? The result would be both  frightening and absurd. If any state or  country had the power to order the seizure of sites&#8217; domain names (even those  used and registered elsewhere) on the ground that the sites violated local  laws, this would give huge power to any government \u2013 including repressive  regimes. As the Electronic Frontier  Foundation has noted: &#8220;If the mere ability to access a website gives every  court on the planet the authority to seize a domain name if a site&#8217;s content is  in some way inconsistent with local law, the laws of the world&#8217;s most  repressive regimes will effectively control cyberspace.&#8221; <\/p>\n  \n  <p>A country that dislikes certain types  of speech, for example, could order the transfer of the relevant domain names  and thus effectively hijack a vital part of the Internet. Of course there is an issue of whether  registrars would comply with such orders \u2013 but we should be able to depend on law,  not just the registrars, to protect our rights. <\/p>\n<\/span>\n<hr size=\"1\">\n<p class=\"authorfoot\">\n\n<!-- BEGIN AUTHORS FOOTNOTE -->\n<a name=\"bio\"><\/a>\nAnita Ramasastry is the D. Wayne and Anne Gittinger Professor of Law at the University of Washington   School of Law in Seattle and a Director of the Shidler Center for Law, Commerce &amp; Technology. She has previously written on business law, cyberlaw, computer data security issues, and other legal issues for this site, which contains an archive of her columns.  \n<br><br>\n\n<\/p>\n\n\n\n    <\/div><div class=\"was-this-helpful\">\n    <div\n            class=\"was-this-helpful__question-container\"\n            aria-labelledby=\"was-this-helpful__question\"\n            role=\"group\"\n    >\n        <span\n                id=\"was-this-helpful__question\"\n                class=\"was-this-helpful__question fl-text-lg-bold\"\n        >Was this helpful?<\/span>\n        <button\n                class=\"was-this-helpful__button fl-text-sm\"\n                aria-label=\"Yes\"\n                value=\"yes\"\n        >\n            <span class=\"was-this-helpful__button-text fl-text-bold\">Yes<\/span>\n            <i class=\"was-this-helpful__button-icon\">\n                <svg width=\"22\" height=\"22\" viewBox=\"0 0 22 22\" fill=\"none\" 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