Musical artist George Clinton appealed the district court’s order appointing a receiver and authorizing the sale of copyrights in an action against his former law firm. The firm obtained judgments against Clinton for past-due attorneys’ fees and sought an order authorizing the sale of master recordings that Clinton recorded with the group Funkadelic (the “Masters”) to satisfy the judgments. The court concluded that Clinton’s copyrights in the Masters were subject to execution to satisfy judgments entered against him; Section 201(e) of the Copyright Act, 17 U.S.C. 201(e), does not protect Clinton from the involuntary transfer of his copyrighted works; the district court did not abuse its discretion by appointing a receiver to manage or sell ownership of these copyrights; Clinton may raise claims of fraud on the court and judicial estoppel for the first time on appeal, but both claims are meritless; and Clinton failed to raise his preemption, Erie Doctrine, and Due Process Arguments in the district court. Accordingly, the court affirmed the judgment of the district court. View “Hendricks & Lewis PLLC v. Clinton” on Justia Law