Page 2 of 67Plaintiff Brian Masck, by and through his attorneys, Blaske & Blaske, P.L.C., for his Complaintsays:
PARTIES AND JURISDICTION
1.Plaintiff Brian Masck is a resident of Genesee County, Michigan and conducts businesswithin the State of Michigan.2.Defendant Sports Illustrated (“SI”), is a company owned by Time, Inc., with its principalplace of business at 135 West 50th Street, New York, New York 10020, and conductssubstantial business within the State of Michigan.3.SI operates, maintains and controls the web sites
. Sports Illustrated supervises and controls all information contained on itsweb sites
.4.Defendant Nissan North America, Inc. (“Nissan”), with its principal place of business atOne Nissan Way, Franklin, Tennessee 37067, conducts substantial business within theState of Michigan.5.Defendant Getty Images, Inc. (“Getty”), with its principal place of business at 605 5thAvenue South, Suite 400 Seattle, WA 98104, conducts substantial business within theState of Michigan.6.Getty operates, maintains, and controls the web site
. Getty supervises andcontrols all information contained on its web site
.7.Defendant Champions Press, L.L.C. (“Champions Press”), with its principal place of business at 30230 Manhattan Street, Saint Clair Shores, Michigan 48082, is a Michigancorporation which conducts substantial business within the State of Michigan.
2:13-cv-10226-GAD-DRG Doc # 1 Filed 01/18/13 Pg 2 of 67 Pg ID 2