Warnermedia Direct LLC V Paramount Global Et Al Summons Complaint 1
Warnermedia Direct LLC V Paramount Global Et Al Summons Complaint 1
Warnermedia Direct LLC V Paramount Global Et Al Summons Complaint 1
651001/2023
NYSCEF DOC. NO. 1 RECEIVED NYSCEF: 02/24/2023
v. SUMMONS
Defendants.
YOU ARE HEREBY SUMMONED to answer the complaint in this action and to serve a
copy of your answer on the Plaintiff’s counsel within 20 days after the service of this Summons,
exclusive of the day of service (or within 30 days after the service is complete if this summons is
not personally delivered to you within the State of New York); and in case of your failure to appear
or answer, judgment will be taken against you by default for the relief demanded herein.
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v. COMPLAINT
Defendants.
COMPLAINT
attorneys, asserts the following claims against defendants Paramount Global (“Paramount”), South
Park Digital Studios LLC (“SPDS”), and MTV Entertainment Studios (“MTV”) (collectively,
“Defendants”). Warner/HBO, Paramount, SPDS, and MTV are referred to collectively herein as
“the Parties.”
NATURE OF ACTION
exclusive streaming rights in the popular animated comedy series South Park, for which
Warner/HBO agreed to pay more than half a billion dollars. When Paramount decided to launch
a new streaming platform of its own (“Paramount+”), its priorities changed drastically, and
breaching its contract and stealing its content. That scheme, which was blatantly intended to prop
2. South Park (“the Series”) is an extremely valuable franchise. The Series has aired
for more than twenty years and throughout that time has remained wildly popular with its fanbase,
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which is primarily composed of the key age 18-34 demographic. Although nearly all South Park
episodes first air on Comedy Central, one of Paramount’s cable channels, a lucrative aftermarket
has emerged for the digital rights to this content. Similar to sitcoms such as Friends and The Big
Bang Theory, the South Park franchise is “anchor” content on any platform, and therefore central
to branding and marketing for any distributor of the Series. The availability of South Park episodes
on a streaming platform can increase subscribers and subscription fees, as well as draw in
advertisers.
and South Park’s creators, Matt Stone and Trey Parker—held open bids in September 2019 for the
exclusive streaming rights to South Park. SPDS publicly announced that these rights would
encompass both the existing library, as well as 30 new episodes for upcoming seasons 24, 25, and
26 (more than 300 episodes in all). The bidding was fierce, with a number of major entertainment
companies vying to acquire the rights. In the end, Warner/HBO had to aggressively outbid its
competitors to win exclusive rights to the Series, signing a contract with SPDS in October 2019.
Under its terms, Warner/HBO agreed to pay more than half-a-billion dollars to SPDS in exchange
for exclusive streaming rights to the Series’ entire library and three new seasons of content.
streaming platform) started touting its exclusive streaming of South Park in its advertising.
5. After the Parties started performing under the contract, Paramount launched its own
streaming platform, Paramount+. While that was certainly within Paramount’s rights, on
information and belief, SPDS, Paramount, and MTV Entertainment Studios (Paramount’s indirect
subsidiary) then engaged in an illicit scheme to unfairly and deceptively divert to its nascent
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flagrant duplicitous contortions of fact and breaches of contract, as well as other forms of
6. Warner/HBO brings this lawsuit to vindicate its rights and recover the hundreds of
and belief, even Defendants have valued those damages in the hundreds of millions.
THE PARTIES
organized and existing under the laws of Delaware with its principal place of business in New
York, New York. Warner/HBO is the domestic operator of HBO Max, a subscription video-on-
is a corporation organized and existing under the laws of Delaware with its principal place of
business in New York, New York. Paramount is a multinational mass media and entertainment
corporation that owns and operates properties such as Paramount Pictures (a film and television
studio), CBS Entertainment Group (consisting of the CBS television network, television stations,
and other CBS-branded assets), media networks (consisting of cable television networks including
Comedy Central, MTV, Nickelodeon, BET, and Showtime), and streaming platforms (including
9. Defendant South Park Digital Studios LLC (“SPDS”) is a limited liability company
organized and existing under the laws of Delaware with its principal place of business in
California. SPDS is a joint venture between Paramount and the creators of South Park, Trey Parker
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10. Defendant MTV Entertainment Studios (“MTV”) is, upon information and belief,
an indirect subsidiary of Paramount Global, and has its principal place of business in New York,
New York.
11. This Court has jurisdiction over Defendants pursuant to CPLR §§ 301 and 302,
because Paramount’s and MTV’s principal place of business are in New York and Defendants
12. Venue is proper in New York County pursuant to CPLR § 503 because
13. This case is appropriate for assignment to the Commercial Division because the
amount in controversy exceeds $500,000 and the primary claims pertain to breach of contract and
business torts.
FACTUAL ALLEGATIONS
A. BACKGROUND
14. Warner/HBO is part of Warner Bros. Discovery (“WBD”), a leading global media
and entertainment company that creates and distributes the world’s most differentiated and
complete portfolio of content and brands across television, film, and streaming. WBD’s iconic
brands and products include HBO, HBO Max, Discovery Channel, discovery+, CNN, DC, HGTV,
Food Network, OWN, Investigation Discovery, TLC, Magnolia Network, TNT, TBS, TruTV,
Travel Channel, MotorTrend, Animal Planet, Science Channel, Warner Bros. Pictures, Warner
Bros. Television, Warner Bros. Games, New Line Cinema, Cartoon Network, Adult Swim, Turner
15. Warner/HBO, together with its affiliated entities, operate HBO Max, a subscription
video-on-demand streaming platform, and licenses content on its behalf for distribution on the
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platform. By purchasing a monthly subscription to HBO Max, users can access this content by
16. HBO Max features original programming from its namesake network, HBO, along
with programming and films curated from across WBD’s portfolio of networks, brands, and
17. Like any streaming platform, HBO Max is specifically programmed to attract and
retain the broadest possible range of subscribers, as the competition to obtain popular content is
extremely fierce among streaming platforms. The inclusion of exclusive content offerings
18. South Park is an extraordinarily popular animated television series. New episodes
of the Series have consistently been among the top performers on HBO Max since its launch in
2020, based on key streaming metrics such as “first views” (i.e., the first show a subscriber watches
when they launch the streaming platform), “total hours viewed,” and “viewing accounts” (i.e.,
19. Since its debut in 1997, South Park has been nominated for 18 Emmys (winning
five), was adapted into a theatrical film (1999’s South Park: Bigger, Longer & Uncut, which
grossed over $80 million worldwide—approximately $150 million in today’s dollars—on a $21
20. South Park episodes currently premiere on Comedy Central, a cable network owned
by Paramount.
21. In 1998, Paramount Pictures Corporation (“PPC”), a Paramount affiliate that owns
and operates the Paramount Pictures film and television studios, entered into a Joint Production
Agreement (the “1998 Agreement”) with Warner Bros. Entertainment Inc. (“WB”), then a division
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of Time Warner Entertainment Company, L.P., and now a subsidiary of WBD, and an affiliate of
Warner/HBO.
22. Pursuant to the 1998 Agreement, WB and PPC each had a 50% interest in the
motion picture that would become South Park: Bigger, Longer & Uncut, as well as in its copyright
23. Pursuant to the 1998 Agreement, and premised on their shared ownership, the
Parties agreed that all subsequent productions based on the motion picture—including sequels and
24. Two decades later, on September 12, 2019, Paramount and its subsidiary, Comedy
Central, issued a press release announcing that South Park’s creators, Parker and Stone, were
extending the Series by “three seasons and 30 episodes in a new deal with Comedy Central,
taking the longest-running primetime scripted series in cable through an unprecedented 26th
25. SPDS then solicited bids for the exclusive right to stream the 30 new episodes after
their Comedy Central premieres, as well as the exclusive right to stream the existing library of old
26. South Park is premium content and a top performer, especially with the highly
prized 18-34 audience that is dedicated to the show and engages in repeated viewing.
1
Press Release, “South Park Renewed Through a Historic 26th Season,” Comedy Central,
https://southpark.cc.com/news/3r78fl/south-park-renewed-through-historic-26th-season.
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27. Warner/HBO expected South Park to serve as a critical content offering that would
differentiate HBO Max from other streaming platforms, attract new subscribers by targeting a key
demographic that HBO content alone did not traditionally serve, and solidify its subscriber base.
competitive.2
29. During the bidding process, SPDS encouraged Warner/HBO to propose a flat-rate,
per-episode license fee that would apply equally to all Series episodes: both the older “library”
episodes (seasons 1 through 23) and the new episodes to be produced for seasons 24 through 26.
30. On information and belief, SPDS knew that the older “library” episodes of South
Park were far less valuable than the new episodes SPDS would be licensing for seasons 24 through
26.
31. Nevertheless, SPDS told Warner/HBO that it would likely reject any bid that
offered differentiated pricing for the older episodes (as opposed to the new episodes).
32. In other words, SPDS said that it would consider only offers with the highest “flat
33. Warner/HBO acted in reliance on that information, assuming that SPDS was
2
See “Bidding War for ‘South Park’ U.S. Streaming Rights Could Hit $500 Million,” VARIETY,
(Oct. 18, 2019), https://variety.com/2019/tv/news/bidding-war-for-south-park-u-s-streaming-
rights-could-hit-500-million-1203375769 (noting “elbows are being sharpened in the fight for
coveted reruns as streaming services look to bulk up their content libraries and appeal to
subscribers that are faced with an ever-increasing array of direct-to-consumer
entertainment choices”); “‘South Park’ Plays the Go-Go Steaming Field with Bids Approaching
$500M,” DEADLINE (Oct. 18, 2019), https://deadline.com/2019/10/south-park-plays-the-go-go-
streaming-field-with-bids-approaching-500m-1202764073/ (noting “South Park is exploring the
booming streaming marketplace for established shows”).
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agreed to consider the value of the existing library, the value of the new episodes, and the total
35. By adding the relatively lower per-episode fee amounts for the library episodes to
the relatively higher per-episode fees for the new episodes, and then dividing that by the combined
number of old and new episodes, Warner/HBO would be able to offer a competitive flat-fee per-
episode bid.
36. Thus, SPDS’s representations that the new seasons would comprise 30 episodes
were essential to Warner/HBO’s calculation of its proposed per-episode rate. On information and
belief, SPDS knew that its representations about the number of new episodes were dispositive in
37. On information and belief, SPDS knew that if it actually intended to offer fewer
than 10 episodes for each of the new seasons, the reduced number of episodes would mean a lower
38. Conversely, on information and belief, SPDS knew that more new South Park
39. Thus, SPDS’s representation of 10 new episodes per season was essential to the
40. In October 2019, prior to receiving Warner/HBO’s bid, SPDS again confirmed to
Warner/HBO that the exclusive streaming license would include at least 333 total episodes—in
other words, the 303 existing “library” episodes and 10 new episodes for each of seasons 24
through 26.
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41. Exclusivity was so important to Warner/HBO that when SPDS asked Warner/HBO
whether it would consider sharing the rights to South Park with CBS All Access or another
proposed a flat-rate license fee of $1,687,500 for each episode—offering a total of more than half
a billion dollars for the exclusive domestic streaming rights to the 333 South Park episodes SPDS
44. On October 22, 2019, the Parties entered into an agreement, using a binding term
sheet that memorialized the terms of the deal (the “2019 Agreement”).
45. Although, by its terms, the Parties expected to subsequently draft a final agreement,
at SPDS’s suggestion, the Parties agreed to treat the term sheet as the final agreement.
46. The 2019 Agreement’s term extended from June 24, 2020 through June 23, 2025
(the “Term”).
47. The 2019 Agreement provided for two types of content (collectively, the “Licensed
Content”).
b. The second type of content comprised all season 24-26 episodes that did not
meet the premiering criteria applicable to Type A Licensed Content (e.g.,
long-form content that premiered on a streaming platform) (“Type B
Licensed Content”).
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49. SPDS gave HBO Max “the option but not the obligation” to license Type B
Licensed Content.
50. The 2019 Agreement specifically provided that Warner/HBO’s streaming rights
were “exclusive.”
51. The 2019 Agreement provided for a bargained-for blended-rate “License Fee” of
52. The 2019 Agreement contained “Exhibit A,” which listed every South Park long-
form episode released at the time of the execution of the Agreement. Each season listed consisted
of at least 10 episodes.
53. While the Parties initially agreed that HBO Max would receive in 2020 the first
episodes of the new South Park season 24, in March 2020, SPDS informed Warner/HBO that it
would not go forward with production of season 24 as a result of the COVID pandemic.
54. Despite the pandemic, however, SPDS proceeded to produce other South Park
content. Specifically, between September 2020 and March 2021, it produced two COVID-themed
3
The Agreement includes certain limited exceptions to exclusivity relevant only to seasons 1-10
and not relevant to Plaintiff’s claims. Under this exception, Pluto TV was permitted to stream a
limited number of episodes from season 1-10 per week, on an ad-interrupted basis.
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“specials” (collectively, the “Pandemic Specials”), each of which was approximately 50 minutes
long and initially premiered on Comedy Central. The first, The Pandemic Special, aired on
September 30, 2020. The second, South ParQ Vaccination Special, aired on March 10, 2021.
55. Before its release, SPDS insisted to Warner/HBO that The Pandemic Special was not
the first episode of the new season but agreed that it was “Licensed Content” under the 2019
Agreement.
56. However, since The Pandemic Special was approximately 50 minutes in length, the
Parties also agreed to a license fee of over $3.3 million—double the regular single-episode fee.
57. During this period, SPDS gave various assurances to Warner/HBO that the season
58. However, SPDS stated that season 24 would consist of a series of longer
“specials”—rather than the promised 10-episode season which was more desirable and lucrative to
Warner/HBO.4
59. As of 2021, none of the ten 22-minute episodes for season 24 (i.e., the Type A
Content) had been delivered to HBO Max under the 2019 Agreement.
60. In January 2021, Paramount announced that it intended to launch its own streaming
platform, Paramount+.
4
This is because HBO Max could stagger ten 22-minute episodes over a 10-week period, rather
than the much-condensed exhibition period permitted by only two or four 50-minute episodes.
HBO Max prefers to release programs with a long-established and devoted fan base, like South
Park over a longer period, which allows for a longer marketing and promotion period and increases
the time period in which subscribers are engaged with the platform. This reduces “churn”—
subscribers canceling and restarting subscriptions—and makes it less likely that subscribers will
move to a competing platform.
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61. Paramount decided to make South Park a core part of its strategy to grow
Paramount+.
62. To do so, on information and belief, Paramount, SDPS, and MTV Entertainment
Studios (“MTV”), acting in concert, planned to divert as much of the new South Park content as
63. Indeed, in August 2021, less than six months after the launch of Paramount+, one
Paramount+ executive admitted that it intended to use South Park “to help fuel” Paramount+ and
that “[f]ranchising marquee content like South Park . . . is at the heart of [their] strategy to continue
Warner/HBO’s exclusive rights to stream South Park’s new and existing episodes through June
2025.
64. On August 25, 2021, in furtherance of their scheme, Paramount’s indirect subsidiary,
MTV, announced5 a new deal with Parker and Stone, reportedly worth more than $900 million. As
Stone publicly described it, “we have f—k you money now.”
65. That deal provided, among other things, that extensive new South Park content would
premiere exclusively on Paramount+ over the next five years—even though: (1) HBO Max had
exclusive U.S. streaming rights to all long-form South Park episodes through season 26; (2) SPDS
had the obligation to offer Warner/HBO any Type B Licensed Content during the Term; and (3)
SPDS had yet to provide HBO Max with a single episode of South Park season 24, having repeatedly
told HBO Max that the Pandemic Specials were not part of season 24.
5
See Press Release, MTV Entertainment Studios inks new and expansive deal with creators Trey
Parker and Matt Stone through 2027, Comedy Central, https://southpark.cc.com/news/ivrtcw/mtv-
entertainment-studios-inks-new-and-expansive-deal-with-creators-trey-parker-and-matt-stone-
through-2027.
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66. Rather than honor its obligations to Warner/HBO, on information and belief, SPDS,
acting in concert with Paramount and MTV, engaged in a campaign of verbal trickery designed to
circumvent the terms of the 2019 Agreement. To accomplish this, Defendants used grammatical
contractual obligations.
67. Specifically, MTV publicly announced that, under the Paramount+ deal, 14 “made-
68. On information and belief, MTV, in coordination with Paramount and SPDS,
calculated and deliberate attempt to distinguish them from the Pandemic Specials that were included
promised to Paramount+ were substantially similar in kind to the Pandemic Specials that had been
70. On October 27, 2021, Paramount+ and MTV issued a press release announcing that
71. The press release stated that the first “event,” entitled South Park: Post COVID,
would premiere on Paramount+ in the United States on November 25, 2021, and that the second
73. First, SPDS had not yet provided Warner/HBO with any season 24 episodes.
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74. Second, SPDS had told Warner/HBO in June 2021 that the next South Park episodes
it would receive would be set in the future, post-COVID—just like the Post-COVID Content being
75. Third, calling the Post-COVID Content “events” did not vitiate SPDS’s obligation to
first offer Warner/HBO the option to stream that content, as it had with the Pandemic Specials.
76. Prior to the press release, SPDS had not given Warner/HBO any notice of its plan to
77. Shortly after MTV’s announcement, and after previously telling Warner/HBO that
the Pandemic Specials were not part of season 24, SPDS reversed its position, deciding not only
that the two Pandemic Specials in fact were part of season 24, but also that they would constitute
78. SPDS further assured Warner/HBO that it would “still get the remaining six
episodes of season 24” to be delivered in the first quarter of 2022, thus re-affirming its recognition
of Warner/HBO’s right to receive 10 episodes of new South Park content per season.
79. On December 8, 2021, Paramount+ and MTV issued another press release, on
information and belief at Defendant SPDS’s direction or with its permission, announcing that yet
another South Park episode was being provided to Paramount+—making clear that Defendants were
80. Specifically, they announced that the “second of this year’s exclusive ‘South Park’
events,” entitled South Park: Post COVID: The Return of COVID, would premiere on Paramount+
81. It had become evident that Paramount sought to use the Post-COVID Content to
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Moreover, on information and belief, Paramount and SPDS deliberately characterized the Post-
COVID Content as “events” rather than “episodes” in a disingenuous attempt to distinguish them
from the Pandemic Specials provided to Warner/HBO under the 2019 Agreement.
82. But these so-called “events” were substantially similar in format and length to the
Pandemic Specials, which SPDS had agreed constituted Licensed Content under the 2019
Agreement. All four episodes featured the iconic characters from the prior 23 seasons of South Park,
addressed similar subject matter (COVID), and had similar running times (approximately 50-60
83. Incredibly, this was not Defendants’ only duplicity with respect to the Post-COVID
Content. When MTV and Paramount+ announced the Post-COVID Content, they had initially
characterized the episodes as “movies.” However, when WB pointed out that exploitation of movie
sequels to South Park: Bigger, Longer & Uncut required WB’s written consent under the 1998
Agreement, MTV, on information and belief, in coordination with Paramount and SPDS, changed
84. Thus, on information and belief, Defendants engaged in a simple and obvious artifice
of mischaracterizing the content to avoid obligations under both the 2019 and 1998 Agreements.
85. SPDS’s failure to offer Warner/HBO the option to license the Post-COVID Content
for HBO Max was another clear breach of the 2019 Agreement.
86. Defendants’ machinations did not stop there. After repeatedly claiming that the
Pandemic Specials did not constitute episodes of season 24 of the Series, SPDS reversed course for
the third time in January 2022 and announced that those two episodes alone would count as the
entirety of season 24, and that season 25 would consist of only six episodes—in direct violation of
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SPDS’s agreement that each new season under the 2019 Agreement would include at least 10
87. On information and belief, this announcement was made in concert with, or at the
88. As of February 9, 2023, notwithstanding the clear terms of the 2019 Agreement,
SPDS had provided Warner/HBO with only eight new South Park episodes: the two Pandemic
Specials it claims constitute the entirety of season 24 and six episodes for season 25.
89. SPDS provided Warner/HBO with the first episode of season 26 on February 9, 2023,
and the second episode of season 26 on February 16, 2023. Prior to that, SPDS had not provided
Warner/HBO with any new South Park content since the final episode of season 25 premiered on
90. On information and belief, season 26 will also consist of only six, rather than ten,
episodes.
91. Yet, since announcing its massive deal with Paramount+ in August 2021, SPDS has
provided Paramount+ with four supersized South Park episodes of the same format and similar
length as the two supersized Pandemic Specials which SPDS had provided to Warner/HBO as the
entirety of season 24: the Post-COVID Content, South Park The Streaming Wars Part 1 (“Streaming
Wars Part 1”) and South Park The Streaming Wars Part 2 (“Streaming Wars Part 2”) (collectively,
92. Moreover, pursuant to the MTV deal with Stone and Parker, SPDS is scheduled to
provide an additional 10 supersized South Park episodes to Paramount+ over the next five years,
including at least four during the Term of the 2019 Agreement. This is a further diversion of content
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to Paramount+ that should be going to Warner/HBO, and a further dilution of the exclusivity
93. Warner/HBO has suffered, and continues to suffer, significant damages because of
Defendants’ misconduct.
94. First, by providing Warner/HBO with fewer than half of the promised episodes,
SPDS deprived it of the ability to release new South Park episodes over an extended period of time
95. Second, SPDS caused Warner/HBO to significantly overpay for each South Park
episode, since—at SPDS’s express instruction—it calculated the blended per-episode rate based on
SDPS’s representation that it would receive 30 new episodes over three seasons, not the mere 14
96. Third, and in contrast, since announcing its $900 million deal with Paramount+ in
August 2021, SPDS has provided Paramount+ with four supersized South Park episodes of the
same format and similar length as the two supersized Pandemic Specials provided to Warner/HBO
as season 24: (1) the Post-COVID Content, and (2) the Streaming Wars Content—all, in violation
97. Finally, Paramount and SPDS have been unfairly enriched by their own deliberate
misconduct, through which, on information and belief, they have profited at Warner/HBO’s expense.
Warner/HBO is entitled to disgorgement of the value of any profits Defendants earned as a result of
their misconduct. Had SDPS adhered to its obligation under the 2019 Agreement, HBO Max would
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98. Paramount enjoyed a sizeable increase in its subscriptions during the quarter that the
99. For example, during Paramount’s Q4 2021 earnings call, CEO Robert Bakish
reported that the “company added 9.4 million new streaming subscribers in Q4 alone, 80% of them
on Paramount+.”6 Significantly, the surge in subscribers came during the quarter that the Post-
100. Paramount+ similarly experienced a huge uptick around the time Streaming Wars
Part 1 aired (June 2, 2022). Bakish reported that “Paramount+ [had] added 4.9 million global
subscribers,” touting Paramount+’s status “as one of the fastest growing premium streaming
services” and attributing its growth to “strong performances. . . [including by] . . . our latest South
101. Following the release of Streaming Wars Part 2 (July 3, 2022), Bakish told
investors that in Q3, Paramount+ had gained another 4.6 million global subscribers, for a total of
46 million subscribers and that year-over-year revenue for Paramount+ had grown by 95%.8
102. These reports further demonstrate that Paramount has earned massive profits—to
6
Transcript of Paramount Global 4Q21 Earnings Call, Feb 15, 2022, at 19,
https://ir.paramount.com/static-files/8e4932d4-89c0-4ad9-882b-529bc31a44a8.
7
Transcript of Paramount Global 2Q22 Earnings Call, Aug. 4, 2022, at 4,
https://ir.paramount.com/static-files/63a9d94c-58e4-4ba0-a004-51acb5ada613.
8
Transcript of Paramount Global 3Q22 Earnings Call, Nov. 2, 2022, at 4,
https://ir.paramount.com/static-files/df4682f9-ea95-4a49-b2ee-0de7a2d9bc2b.
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CAUSES OF ACTION
herein.
105. The 2019 Agreement between Warner/HBO and SPDS is a valid and enforceable
contract.
106. Warner/HBO has performed its obligations under the 2019 Agreement in all
material aspects.
107. SPDS breached the 2019 Agreement, which grants Warner/HBO the exclusive right
and license to make seasons 24 through 26 of the Series available on HBO Max via streaming and
108. SPDS breached the 2019 Agreement by failing to offer Warner/HBO the right to
109. SPDS breached the 2019 Agreement by providing Warner/HBO with fewer than
10 episodes for each of seasons 24 and 25 of the Series, and on information and belief, for season
26 of the Series.
herein.
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112. By virtue of their dealings, SPDS and Warner/HBO assumed a relationship of trust
and confidence.
113. SPDS had a duty to act fairly and in good faith and to do nothing that would have
the effect of destroying, interfering, frustrating, or injuring the rights of Warner/HBO to receive
114. SPDS breached the implied covenant of good faith and fair dealing by engaging in
a course of conduct that did and was intended to deprive Warner/HBO of its rights under the 2019
Agreement. SPDS has, among other things, destroyed, interfered with, frustrated, and injured
Warner/HBO’s rights by diverting and licensing South Park episodes to Paramount+, failing to
offer Warner/HBO the right to license the Post-COVID Content and the Streaming Wars Content,
and providing Warner/HBO with fewer than 10 episodes for each of seasons 24 and 25 of the
115. As a direct and proximate result of SPDS’s breach of the implied covenant of good
faith and fair dealing under the 2019 Agreement, Warner/HBO has been injured and damaged in
116. Warner/HBO repeats and realleges the allegations in paragraphs 1–103 as if fully
oriented conduct.
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118. By virtue of the conduct alleged above, Defendants have engaged in acts and
practices that were materially deceptive and have resulted in consumer injury and broad adverse
119. On information and belief, Defendants’ conduct was willful and intentional, and
intended to unfairly compete against Warner/HBO, divert its subscribers to Paramount+, steal its
120. On information and belief, Defendants’ conduct also had a significant consumer-
facing impact, causing substantial confusion over which streaming platform had “exclusive” rights
to South Park and necessitating that consumers purchase streaming subscriptions from
Paramount+ when they already believed such exclusivity resided with HBO Max.
121. As a result of Defendants’ unlawful acts, including but not limited to conducting
economic activity in a deceitful and anti-competitive manner, consumers have been harmed.
122. As a result of Defendants’ unlawful acts, Warner/HBO has suffered injury to its
reputation, as well as monetary damages, including but not limited to lost advertising revenue, in
123. Defendants’ conduct, as described above, warrant the award of attorneys’ fees to
Warner/HBO.
herein.
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125. Warner/HBO has a valid agreement with SPDS, which grants it the exclusive right
and license to make the 24th through 26th seasons of the Series available on Warner/HBO’s HBO
126. Paramount and MTV had and has full knowledge of Warner/HBO’s 2019
127. Based on information and belief, as well as the facts recited herein, Paramount and
MTV maliciously and intentionally induced SPDS to breach its Agreement with Warner/HBO. As
a result of Paramount’s actions, SPDS breached the Agreement repeatedly, including by (1) failing
to offer Warner/HBO the right to license the South Park Post-COVID Content and the Streaming
Wars Content; (2) providing Warner/HBO with fewer than 10 episodes for each of seasons 24 and
25 of the Series; and, on information and belief, season 26 of the Series; and (3) diverting and
128. Paramount and MTV had and has no lawful justification for its tortious interference
129. Paramount and MTV acted wrongfully and employed improper means because
their purpose in interfering with the contract was to appropriate the benefits of Warner/HBO’s
130. Paramount and MTV acted maliciously and with wanton disregard for
Warner/HBO’s rights.
Agreement with SPDS, Warner/HBO has suffered and will continue to suffer irreparable harm, as
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herein.
133. Paramount and MTV have enjoyed substantial revenue through advertising and
hundreds of millions to secure the exclusive right to stream the Licensed Content in order to gain
revenue through, but not limited to, advertising and new subscribers.
135. It would be against equity and good conscience to permit Paramount and MTV to
136. By reason of the foregoing, Warner/HBO has incurred damages, the total amount
WHEREFORE, Warner/HBO prays for judgment in its favor and against Defendants and
A. Judgment against SPDS on the First, Second, and Third Causes of Action;
B. Judgment against Paramount and MTV on the Third, Fourth, and Fifth Causes of
Action;
wrongful conduct, including but not limited to compensatory damages, consequential damages,
D. Punitive damages;
E. Reasonable attorneys’ fees and costs associated with bringing this action; and
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F. Such other and further relief as the Court deems just and proper.
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