- Of importance yes it is true that Alberto Korda sued that vodka maker Smirnoff based on his "moral rights" (under the belief that Che Guevara wouldn't support alcohol) that are independent of copyright status, while also attempting to obtain copyright ownership of the photograph. Although "moral rights" are not recognized in the U.S. - they are recognized through most of the World and part of international copyright law. Moral rights are included in Berne Convention, so if the photographer is still alive, he still can sue, even if the picture is public domain. However, the moral rights are not transferable, and when Korda died 2001, no one can control the use of the picture anymore under that premise. As to his desire to show he was the rightful owner of the Copyright for the image, that was never decided upon in court as the Case of (Korda v. Lintas & Rex) was settled "sensibly and amicably" out of court.
- As Ariana Hernández-Reguant contends in (Copyrighting Che: Art and Authorship under Cuban Late Socialism Public Culture 2004 v. 16 pp. 1-30.) ~ "There was never any official ruling on whether the depiction constituted a violation of copyright." (pg 4). The author goes on to state that: ~ "Korda took the picture while working for a state-run newspaper, his actual property rights would be questionable under both Cuban and international law." (pg 4)
- Of note as well before the photographer of the photo died, in reference to the image becoming a ubiquitous worldwide symbol, he also stated “As a supporter of the ideals for which Che Guevara died, I am not averse to its reproduction by those who wish to propagate his memory” — Korda [1]
- Moreover, Wikipedia allows for the use of "Images with iconic status or historical importance: As subjects of commentary" as fair-use. (Wikipedia:Non-free content). This image meets that criteria based on the fact that the Maryland Institute College of Art proclaimed this picture "the most famous photograph in the world and a symbol of the 20th century."[2] while The V&A Museum declared it "the most reproduced image in the history of photography."[3] (Note that so long as it is argued that this photograph is in the public domain, this fair-use argument is not relevant to determining its status as such. Neither can the fair-use argument support the decision to host this photograph on Wikimedia Commons, which accepts only freely licensed media.)
- ADDENDUM OF SUPPORTING EVIDENCE:
All quotations come verbatim from ~ A Copyright Revolution: Protecting the Famous Photograph of Che Guevara, by Sarah Levy, 13 Law and Business Review of the Americas, Am. 687. Summer of 2007.
- LEGALLY
- "The Berne Convention, which 160 countries have signed, states in article 7(4) that "it shall be a matter for legislation in the countries of the Union to determine the term of protection of photographic works."
- "The Universal Copyright Convention does not require protection for photographs."
- "In 1994, the World Trade Organization (WTO) implemented the Trade-Related Aspects of Intellectual Property Rights Agreement (TRIPS), which allows the 150 WTO member countries to exclude photographs from the realm of protection provided for intellectual property."
- IN CUBA
- "The first jurisdiction of relevance is Cuban law because Cuba is both the location where the photograph originated and the domicile of the photographer."
- "General copyright protection under Cuban law lasts for photographs retain copyright protection for only ten years from the date the work is first used. After the copyright expires, the Council of Ministers can declare the work as property of the State."
- "It seems that in Cuba the copyright protection in Korda's Guevara photograph would have already expired, and despite the claims of ownership from Korda's heirs, the State would now hold any rights associated with the photograph."
- IN THE U.S.
- "A U.S. district court recently noted that "there is no uniform test to determine the copyright ability of photographs."
- "Under both the 1909 U.S. Copyright Act and the current act, in the absence of a will, courts determine the proper disposition of a copyright interest in accordance with the intestate succession law of the decedent's domicile. This holds true even if the decedent's domicile is in a foreign country. Korda was domiciled in Havana, Cuba."
- IN THE FUTURE
- "Furthermore, the question of ownership is a significant factor in determining not only the transferability of the copyright protection but also the duration of that protection within different jurisdictions. A comparison of the relevant laws of Cuba, the United States, and treaties adhered to by the international community shows a variety of possible results when looking at the protection afforded to the Korda photograph."
- "The heirs of Korda may not find the copyright protection they desire in Cuba, but other countries, including the United States, hold promising atmospheres for future litigation brought by Korda's heirs."
- "It remains to be seen what the result would be in the United States."
- "The outcome of future litigation hinges upon the duration of protection available within a jurisdiction."
Hence = The image is not protected in the United States as a copyrighted image at this time.
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