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Frank Sinatra — Part 2
Page 23
23 / 119
LA 28-263
"VII
"Plaintiff is informed and believes, and therefore
alleges, that the defendant FRANK SINATRA has been and at all
times mentioned herein is now the owner and in charge of the
business transactions conducted by ‘Barton Music Publishers,
Inc.,' a corporation, and that the said FRANK SINATRA is
therefore the ‘alter ego' of such corporation.
"Plaintiff 1s informed and believes, and therefore
alleges, that the defendant HARRY LILLIS- CROSBY at all times
mentioned herein has been and is now the owner and in charge
aie. tT o~
awe Se ee SS Re ee OW
of the business transactions conducted by 'Bing “Crosby
Enterprises, Inc.,' a corporation, and that the said HARRY
LILLIS CROSBY is therefore the 'aiter ego' of such corporation.
“ Pl owt ntbir 4ePasenatd anA kh214 avan awe theref
OP
alleges, that the defendant COLUMBIA BAPADCASTING SYSTEM, INC.,
at all times mentioned herein has been and is now the owner and
in charge of the business transactions conducted by 'Bing
Crosby Enterprises, Inc. ae a corporation, and that the said
‘COLUMBIA BROADCASTING SYSTEM, INC, i6 therefore the ‘aiter ego’
of such corporation.
"Plaintiff is informed and believes, and therefore
alleges, that the defendant SAMUEL GOLDWYN at all times
mentioned herein has been and is now owner and in charge of
the business transactions conducted by 'Metro-Goldwyn-Mayer,
Inc.,' a corporation, and that the said SAMUEL GOLDWYN is
therefore the ‘alter ego' of such corporation.
"VIII
"after July 12, 1955, defendants conspired and
confederated, combined, concerted and agreed to infringe, and
they have infringed said copyrights by copyihg and appropriating
from manuscript ‘and printed coples thereof and ‘private letters
of plaintiff referring thereto, submitted and communicated to
defendants and retained in the possession of the defendants,
and by marketing, exhibiting and selling to the general public
aratnat the will and georeatild¢ and without tha sangent utbhorit ¥
eg tsa hdl wWaaw FS ake es ale ele a Re ee a ae ol Feu VAS u wea eo hg Mlle WF th Nar ie le
or license of the plaintiff, copyright proprietor, and by by
f (4
' Ne
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