Summary
Kimble v. Marvel Entertainment, LLC, decided in 2015, addressed whether patent holders could receive royalties after patent expiration. The Supreme Court upheld the precedent set by Brulotte v. Thys Co., affirming that post-expiration royalties are not enforceable. Justice Elena Kagan delivered the opinion, emphasizing the importance of stare decisis to maintain legal stability and predictability. In Nichols v. United States, decided in 2016, Justice Samuel Alito delivered the opinion.Full Conversation
Kimble v. Marvel Entertainment, LLC?
Kimble v. Marvel Entertainment, LLC is a U.S. Supreme Court case decided in *, cited as * U.S. *. The case involved patent law and addressed whether a patent holder could continue to receive royalties after the patent expired. The court upheld the decision in Brulotte v. Thys Co., affirming that post-expiration royalties are not enforceable.
Why is stare decisis the “preferred course” of action in this case located at * U.S. * (*) is Kimble v. Marvel Entertainment, LLC.
In Kimble v. Marvel Entertainment, LLC, the U.S. Supreme Court emphasized stare decisis, or respecting precedent, as the "preferred course" because it maintains legal stability and predictability. It upheld the ruling in Brulotte v. Thys Co., which disallowed post-expiration patent royalties, to avoid disrupting settled expectations and legal consistency.
The case located at * U.S. * (*) is Nichols v. United States
Case Rating: *
Thanks for sharing the details! If you have any questions about the Nichols v. United States case or need general legal information related to it, feel free to ask. Is there anything specific you would like more information on?
who delivered the opinion in this case
Case Rating: *
In the case of Kimble v. Marvel Entertainment, LLC, the opinion was delivered by Justice Elena Kagan.
The case located at * U.S. * (*) is Nichols v. United Stateswho delivered the opinion in this case
Case Rating: *
In the case of Nichols v. United States, the opinion was delivered by Justice Samuel Alito. If you have any other questions or need further information, feel free to ask!