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England and Wales High Court (Technology and Construction Court) Decisions |
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You are here: BAILII >> Databases >> England and Wales High Court (Technology and Construction Court) Decisions >> IBM United Kingdom Ltd v LzLabs GmbH & Ors [2024] EWHC 423 (TCC) (28 February 2024) URL: http://www.bailii.org/ew/cases/EWHC/TCC/2024/423.html Cite as: [2024] EWHC 423 (TCC) |
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BUSINESS AND PROPERTY COURTS OF ENGLAND AND WALES
TECHNOLOGY AND CONSTRUCTION COURT (KBD)
Rolls Building London, EC4A 1NL |
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B e f o r e :
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IBM UNITED KINGDOM LIMITED | Claimant |
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- and - |
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(1) LZLABS GmbH (a company incorporated in Switzerland) (2) WINSOPIA LIMITED (3) LZLABS LIMITED (4) MARK JONATHAN CRESSWELL (5) THILO ROCKMANN (6) JOHN JAY MOORES |
Defendants |
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Roger Stewart KC & George McDonald (instructed by Clifford Chance LLP) for the Defendants
Hearing date: 16th February 2024
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Crown Copyright ©
Mrs Justice O'Farrell:
Background
i) interrogation of the source code of both IBM and LzLabs, and deconstruction of the software development process for the SDM, to ascertain whether it involved reverse assembling, reverse compiling or reverse engineering of IBM software;
ii) analysis of contemporaneous technical and non-technical communications within and between the defendants to determine whether development of the SDM was in breach of the ICA or permitted by virtue of the Copyright, Design and Patents Act 1988; and
iii) analysis of contemporaneous communications within and between the claimant, IBM Corp and customers to determine when the claimant knew, or ought to have known, of relevant matters said to give rise to an actionable claim.
Confidentiality Order
"1.1.2 'Confidential Customer Information' means:
(a) any information contained or identified in any document:
(i) which relates and/or refers to Source Code Information of a customer, potential customer, business partner, or third party; or
(ii) which is otherwise proprietary or confidential to, and/or protected by confidentiality arrangements in place with customer, potential customer, business partner, or other third party.
…
1.1.9 'Inner Confidentiality Ring Information' means:
(a) documents (or any part thereof) that have been or are to be disclosed by a Party to these Proceedings and that (i) are designated by the disclosing Party as Inner Confidentiality Ring Information in writing in accordance with paragraph 7 of this Confidentiality Order, or (ii) are designated as Inner Confidentiality Ring Information by the Court; and
(b) documents (or any part thereof) which contain or otherwise disclose Inner Confidentiality Ring Information falling within paragraph 1.1.9(a), above, but excluding a redacted version or copy of such a document which does not contain or otherwise disclose any such content
Inner Confidentiality Ring Information shall include but shall not be limited to:
(c) all copies, extracts and complete or partial summaries of the Inner Confidentiality Ring Information, together with portions of transcripts or any Confidential Proceedings Document and exhibits or annexes that contain or otherwise disclose the Inner Confidentiality Ring Information;
(d) portions of Inner Confidentiality Ring Information filed at Court or served on another Party;
and
(e) any information, findings, data or analysis containing or otherwise disclosing the Inner Confidentiality Ring Information or the substance of the Inner Confidentiality Ring Information,
provided that in all instances set out above: (i) Inner Confidentiality Ring Information is information which by its nature is highly sensitive commercial information that is reasonably necessary and proportionate to designate as Inner Confidentiality Ring Information in accordance with the terms of this Order and (ii) the designating Party has an honest and reasonable belief as to the designation acting in good faith.
…
1.1.12 'Outer Confidentiality Ring Information' means:
(a) documents (or any part thereof) that have been or are to be disclosed by a Party to these Proceedings and that (i) are designated by the disclosing Party as Outer Confidentiality Ring Information in writing in accordance with paragraph 7 of this Confidentiality Order, or (ii) are designated as Outer Confidentiality Ring Information by the Court; and
(b) documents (or any part thereof) which contain or otherwise disclose Outer Confidentiality Ring Information falling within paragraph 1.1.12(a), above, but excluding a redacted version or copy of such a document which does not contain or otherwise disclose any such content.
Outer Confidentiality Ring Information shall include but shall not be limited to:
(c) all copies, extracts and complete or partial summaries of the Outer Confidentiality Ring Information, together with portions of transcripts or any Confidential Proceedings Document and exhibits or annexes that contain or otherwise disclose the Outer Confidentiality Ring Information;
(d) portions of Outer Confidentiality Ring Information filed at Court or served on another Party;
(e) documents which contain special categories of personal data within the meaning of Article 9(1) of Regulation (EU) 2016/679 of the European Parliament and of the Council of 27 April 2016 (the General Data Protection Regulation); and
(f) any information, findings, data or analysis containing or otherwise disclosing the Outer Confidentiality Ring Information or the substance of the Outer Confidentiality Ring Information.
…
1.1.18 'Source Code Information' means:
(a) any Confidential Information insofar as it consists of computer source code (whether written in a high-level language, low level-language, Assembler or other instructions) and related instructions and associated metadata;
(b) Winsopia Responses; and
(c) Requests sent from the First Defendant to the Second Defendant through the DR System,
unless upon the agreement of the Parties or an application to the Court it is determined that some or all of the information in paragraphs (b) and (c) above should not be treated as Source Code Information.
1.1.19 'Winsopia Response' means any information sent from the Second Defendant to the First Defendant through the 'Discovery Request system' (as provided for in the Services Agreement dated 4 December 2013 between the First and Second Defendants (the "DR System")) and any attachments to a Winsopia Response (including any attachment that was sent separately from the corresponding Winsopia Response due to attachment size constraints in the DR System)."
The Application
Applicable legal principles
"(1) A party to whom a document has been disclosed may use the document only for the purpose of the proceedings in which it is disclosed, except where—
(a) the document has been read to or by the court, or referred to, at a hearing which has been held in public;
(b) the court gives permission; or
(c) the party who disclosed the document and the person to whom the document belongs agree.
(2) The court may make an order restricting or prohibiting the use of a document which has been disclosed, even where the document has been read to or by the court, or referred to, at a hearing which has been held in public."
Approach to review
i) It is agreed that the parties should engage in a review of documents in the trial bundle to consider whether some of the documents can be de-designated as confidential.
ii) It is agreed that the same principles, approach and exercise should apply to all parties.
iii) It is agreed that: (a) source code and references to descriptions of source code and/or information that reveals source code or proprietary information; (b) the identities of customers; and (c) IP addresses relating to internet domains used by the parties should remain in the Inner Confidentiality Ring or as Source Code Information.
iv) It is agreed that where confidential information appears in a document, only that part of the information that is confidential should be redacted, rather than the whole document.
Scope of the exercise
Principles or presumptions
"… 'trade secret' means information which meets all of the following requirements:
(a) it is secret in the sense that it is not, as a body or in the precise configuration and assembly of its components, generally known among or readily accessible to persons within the circles that normally deal with the kind of information in question;
(b) it has commercial value because it is secret;
(c) it has been subject to reasonable steps under the circumstances, by the person lawfully in control of the information, to keep it secret."
Further steps
Conclusion