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UNITED STATES DISTRICT COURT DISTRICT OF MASSACHUSETTS ---------------------------------x MASSACHUSETTS MUSEUM OF CONTEMPORARY ART FOUNDATION, : INC., : Plaintiff, : v. : CHRISTOPH BÜCHEL, : Defendant. ---------------------------------x

Civil Action No. 3:07-cv-30089-MAP

JURY TRIAL DEMANDED

PLAINTIFF'S REPLY TO DEFENDANT'S COUNTERCLAIMS Plaintiff Massachusetts Museum of Contemporary Art Foundation, Inc. ("MASS MoCA") replies to the counterclaims set forth in the Answer And Counterclaims Of Christoph Büchel upon knowledge as to itself and otherwise upon information and belief as follows: ("Introduction.") MASS MoCA avers that the three-page portion of the Answer And Counterclaims Of Christoph Büchel that is entitled "Introduction" contains legal conclusions to which no response is required. To the extent that a response is deemed required, MASS MoCA denies each and every allegation contained in the Introduction, except that MASS MoCA admits that it entered into an agreement with Defendant Christoph Büchel ("Büchel") regarding a planned Exhibit to be located in MASS MoCA's football field-sized Building 5 gallery, as further described in MASS MoCA's Complaint For Declaratory Relief ("Complaint"). 1.
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MASS MoCA admits the allegations of paragraph 1.1

References to numbered paragraphs refer to the portion of the Answer And Counterclaims Of Christoph Büchel that begins on page 9 of that document and is entitled "Büchel's Counterclaims."

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2. 3.

MASS MoCA admits the allegations of paragraph 2. MASS MoCA is without knowledge or information sufficient to admit or

deny the allegations contained in paragraph 3, except that MASS MoCA admits that Büchel resides in Basel, Switzerland. 4. MASS MoCA is without knowledge or information sufficient to admit or

deny the allegations contained in paragraph 4, except that MASS MoCA admits that Büchel is an artist who has created large and complex art installations. 5. MASS MoCA denies each and every allegation contained in paragraph 5,

and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 6. MASS MoCA denies each and every allegation contained in paragraph 6,

and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 7. MASS MoCA denies each and every allegation contained in paragraph 7,

and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 8. MASS MoCA denies each and every allegation contained in paragraph 8,

and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 9. MASS MoCA denies each and every allegation contained in paragraph 9,

and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph.

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10.

MASS MoCA avers that the allegations contained in paragraph 10 are

legal conclusions to which no response is required. To the extent that a response is deemed required, MASS MoCA denies each and every allegation contained in paragraph 10, and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 11. MASS MoCA denies each and every allegation contained in paragraph 11,

and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 12. MASS MoCA denies each and every allegation contained in paragraph 12,

except that to the extent that paragraph purports to quote an e-mail and letter from Joseph Thompson, the Director of MASS MoCA, to Mr. Büchel dated September 16, 2006 (copies of an e-mail chain incorporating that e-mail, and the letter referenced in that e-mail, are attached hereto as Exhibit 12), MASS MoCA refers to that document for its content, and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 13. MASS MoCA denies each and every allegation contained in paragraph 13,

except that to the extent that paragraph purports to quote an e-mail and letter from Mr. Thompson to Mr. Büchel dated September 16, 2006 (copies of an e-mail chain incorporating that e-mail, and the letter referenced in that e-mail, are attached hereto as Exhibit 1), MASS MoCA refers to that document for its content, and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph.

E-mail addresses and telephone numbers have been redacted from the Exhibits to this public filing. 3

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14.

MASS MoCA denies each and every allegation contained in paragraph 14,

and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 15. MASS MoCA denies each and every allegation contained in paragraph 15,

and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 16. MASS MoCA denies each and every allegation contained in paragraph 16,

and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 17. MASS MoCA denies each and every allegation contained in paragraph 17,

except that to the extent that paragraph purports to quote a statement that was posted on MASS MoCA's web site in or about December 2006 (a copy of which is attached hereto as Exhibit 2), MASS MoCA refers to that document for its content, and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 18. MASS MoCA denies each and every allegation contained in paragraph 18,

and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 19. MASS MoCA denies each and every allegation contained in paragraph 19,

and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph.

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20.

MASS MoCA is without knowledge or information sufficient to admit or

deny the allegations contained in paragraph 20, and, on that basis, denies each and every allegation contained therein. 21. MASS MoCA denies each and every allegation contained in paragraph 21,

and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 22. MASS MoCA denies each and every allegation contained in paragraph 22,

except that to the extent that paragraph purports to describe e-mails and other correspondence and communications between and MASS MoCA, including but not limited to (i) an e-mail from Mr. Büchel to Mr. Thompson dated December 27, 2006 (a copy of which is attached hereto as Exhibit 3), (ii) an e-mail from Mr. Thompson to Mr. Büchel dated January 4, 2007 (a copy of which is attached hereto as Exhibit 4), (iii) an e-mail from Mr. Büchel to Mr. Thompson dated January 5, 2007 (a copy of which is attached hereto as Exhibit 5), (iv) an e-mail to Mr. Thompson dated January 20, 2007 attaching a letter from Mr. Büchel to Mr. Thompson dated January 16, 2007 (a copy of the e-mail and letter are attached hereto as Exhibit 6), (v) an e-mail from Mr. Thompson to Mr. Büchel dated January 24, 2007 (a copy of which is attached hereto as Exhibit 7), (vi) an e-mail from Mr. Thompson to Mr. Büchel dated January 24, 2007 (a copy of which is attached hereto as Exhibit 8), (vii) an e-mail from Mr. Büchel to Mr. Thompson dated January 27, 2007 (a copy of which is attached hereto as Exhibit 9), (viii) an e-mail from Mr. Thompson to Mr. Büchel dated January 29, 2007 (a copy of which is attached hereto as Exhibit 10), (ix) an e-mail from Mr. Thompson to Mr. Büchel dated February 2, 2007 attaching a letter from Mr. Thompson to Mr. Büchel dated February 1, 2007 (a copy of which is attached hereto as Exhibit 11), (x) an e-mail from Mr. Thompson to Mr. Büchel dated February 2, 2007 (a copy of

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which is attached hereto as Exhibit 12), (xi) an e-mail from Mr. Büchel to Mr. Thompson dated February 2, 2007 (a copy of which is attached hereto as Exhibit 13), (xii) an e-mail from Mr. Thompson to Mr. Büchel dated February 5, 2007 (a copy of which is attached hereto as Exhibit 14), (xiii) an e-mail from Mr. Büchel to Mr. Thompson dated February 5, 2007 (a copy of which is attached hereto as Exhibit 15), (xiv) an e-mail from Mr. Thompson to Mr. Büchel dated February 6, 2007 (a copy of which is attached hereto as Exhibit 16), and (xv) a copy of an e-mail from Mr. Büchel to Mr. Thompson dated February 6, 2007 (a copy of which is attached as Exhibit 17), MASS MoCA refers to those documents and communications for their content, and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 23. MASS MoCA denies each and every allegation contained in paragraph 23,

and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 24. MASS MoCA denies each and every allegation contained in paragraph 24,

and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 25. MASS MoCA denies each and every allegation contained in paragraph 25,

except that to the extent that paragraph purports to quote documents that appear on various Internet web sites, MASS MoCA refers to those documents for their content, and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 26. MASS MoCA denies each and every allegation contained in paragraph 26,

except that to the extent that paragraph purports to quote an article that appeared in the March

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28, 2007 Boston Globe, MASS MoCA refers to that article for its content, and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 27. MASS MoCA denies each and every allegation contained in paragraph 27,

except that to the extent that paragraph purports to quote an article that appeared in the March 28, 2007 Boston Globe, MASS MoCA refers to that article for its content, and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 28. MASS MoCA denies each and every allegation contained in paragraph 28,

except that to the extent that paragraph purports to quote a letter from Mr. Thompson to Mr. Büchel dated March 28, 2007 (a copy of which is attached hereto as Exhibit 18), MASS MoCA refers to that letter for its content, and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 29. MASS MoCA denies each and every allegation contained in paragraph 29,

except that to the extent that paragraph purports to quote a letter from Mr. Büchel's counsel to Mr. Thompson dated May 2, 2007 (a copy of which is attached hereto as Exhibit 19) MASS MoCA refers to that letter for its content, and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 30. MASS MoCA denies each and every allegation contained in paragraph 30,

except that to the extent that paragraph purports to quote a document that appears on MASS MoCA's web site (a copy of which is attached hereto as Exhibit 20) MASS MoCA refers to that document for its content, and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph.

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31.

MASS MoCA denies each and every allegation contained in paragraph 31,

except that to the extent that paragraph purports to quote a document that appears on MASS MoCA's web site (a copy of which is attached hereto as Exhibit 20) MASS MoCA refers to that document for its content, and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 32. MASS MoCA denies each and every allegation contained in paragraph 32

except that to the extent that paragraph refers to an article and accompanying photographs that appeared in the May 21, 2007 New York Times and to an article that appeared in the July 1, 2007 Boston Globe, MASS MoCA refers to those articles for their content, and by way of further response refers to the allegations of its Complaint that accurately describe the events purportedly described by that paragraph. 33. 34. 35. MASS MoCA denies each and every allegation contained in paragraph 33. MASS MoCA denies each and every allegation contained in paragraph 34. MASS MoCA denies each and every allegation contained in paragraph 35,

except that to the extent that paragraph refers to articles that appeared in various print and Internet publications, MASS MoCA refers to those articles for their content. 36. MASS MoCA denies each and every allegation contained in paragraph 36

except that to the extent that paragraph refers to an article that appeared in the July 1, 2007 Boston Globe, MASS MoCA refers to that article for its content. 37. MASS MoCA denies each and every allegation contained in paragraph 37,

except that to the extent that paragraph purports to quote (i) a document that appears on MASS MoCA's web site (a copy of which is attached hereto as Exhibit 20), (ii) an article that appeared in the May 22, 2007 Berkshire Eagle, and (iii) a letter from Mr. Thompson to Mr. Büchel dated

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March 28, 2007 (a copy of which is attached hereto as Exhibit 18), MASS MoCA refers to those documents for their content. FIRST COUNTERCLAIM: DECLARATORY JUDGMENT (Violation of the Visual Artists Rights Act) 38. MASS MoCA incorporates its answers and averments contained in

paragraphs 1 through 37 above as if fully set forth herein. 39. 40. MASS MoCA denies each and every allegation contained in paragraph 39. MASS MoCA denies each and every allegation contained in paragraph 40,

and by way of further response refers to its Complaint for an accurate statement of its claim for declaratory judgment. 41. MASS MoCA avers that paragraph 41 contains legal conclusions to which

no response is required. To the extent a response is deemed required, MASS MoCA denies each and every allegation in paragraph 41. 42. MASS MoCA avers that paragraph 42 contains legal conclusions to which

no response is required. To the extent a response is deemed required, MASS MoCA denies each and every allegation in paragraph 42. 43. MASS MoCA denies each and every allegation contained in paragraph 43,

and by way of further response refers to its Complaint for an accurate statement of its claim for declaratory judgment and the relief sought thereby. 44. 45. 46. MASS MoCA denies each and every allegation contained in paragraph 44. MASS MoCA denies each and every allegation contained in paragraph 45. MASS MoCA denies each and every allegation contained in paragraph 46,

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47.

MASS MoCA avers that paragraph 47 contains legal conclusions to which

no response is required. To the extent a response is deemed required, MASS MoCA refers to its Complaint for an accurate statement of its claim for declaratory judgment and the relief sought thereby. 48. MASS MoCA avers that paragraph 48 purports to contain a prayer for

relief, and denies that Büchel is entitled to any relief whatsoever. To the extent a further response is deemed required, MASS MoCA denies each and every allegation in paragraph 48. 49. MASS MoCA avers that paragraph 49 purports to contain a prayer for

relief, and denies that Büchel is entitled to any relief whatsoever. To the extent a further response is deemed required, MASS MoCA denies each and every allegation in paragraph 49. 50. MASS MoCA avers that paragraph 50 purports to contain a prayer for

relief, and denies that Büchel is entitled to any relief whatsoever. To the extent a further response is deemed required, MASS MoCA denies each and every allegation in paragraph 50. SECOND COUNTERCLAIM (Violation of the Visual Artists Rights Act) 51. MASS MoCA incorporates its answers and averments contained in

paragraphs 1 through 37 above as if fully set forth herein. 52. 53. 54. 55. 56. MASS MoCA denies each and every allegation contained in paragraph 52. MASS MoCA denies each and every allegation contained in paragraph 53. MASS MoCA denies each and every allegation contained in paragraph 54. MASS MoCA denies each and every allegation contained in paragraph 55. MASS MoCA avers that paragraph 56 purports to contain a prayer for

relief, and denies that Büchel is entitled to any relief whatsoever. To the extent a further response is deemed required, MASS MoCA denies each and every allegation in paragraph 56. 10

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THIRD COUNTERCLAIM (Violation of § 106(5) of the Copyright Act) 57. MASS MoCA incorporates its answers and averments contained in

paragraphs 1 through 37 above as if fully set forth herein. 58. MASS MoCA avers that paragraph 58 contains legal conclusions to which

no response is required. To the extent a response is deemed required, MASS MoCA denies each and every allegation in paragraph 58. 59. MASS MoCA avers that paragraph 59 contains legal conclusions to which

no response is required. To the extent a response is deemed required, MASS MoCA denies each and every allegation in paragraph 59, except avers that it is without knowledge or information sufficient to admit or deny the allegation that Büchel is a citizen of Switzerland. 60. 61. 62. 63. MASS MoCA denies each and every allegation contained in paragraph 60. MASS MoCA denies each and every allegation contained in paragraph 61. MASS MoCA denies each and every allegation contained in paragraph 62. MASS MoCA avers that paragraph 63 purports to contain a prayer for

relief, and denies that Büchel is entitled to any relief whatsoever. To the extent a further response is deemed required, MASS MoCA denies each and every allegation in paragraph 63. 64. MASS MoCA avers that paragraph 64 purports to contain a prayer for

relief, and denies that Büchel is entitled to any relief whatsoever. To the extent a further response is deemed required, MASS MoCA denies each and every allegation in paragraph 64. 65. MASS MoCA avers that paragraph 65 purports to contain a prayer for

relief, and denies that Büchel is entitled to any relief whatsoever. To the extent a further response is deemed required, MASS MoCA denies each and every allegation in paragraph 65.

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FOURTH COUNTERCLAIM (Violation of § 106(2) of the Copyright Act) 66. MASS MoCA incorporates its answers and averments contained in

paragraphs 1 through 37 above as if fully set forth herein. 67. MASS MoCA avers that paragraph 67 contains legal conclusions to which

no response is required. To the extent a response is deemed required, MASS MoCA denies each and every allegation in paragraph 67, except avers that it is without knowledge or information sufficient to admit or deny the allegation that Büchel is a citizen of Switzerland. 68. 69. 70. 71. MASS MoCA denies each and every allegation contained in paragraph 68. MASS MoCA denies each and every allegation contained in paragraph 69. MASS MoCA denies each and every allegation contained in paragraph 70. MASS MoCA avers that paragraph 71 purports to contain a prayer for

relief, and denies that Büchel is entitled to any relief whatsoever. To the extent a further response is deemed required, MASS MoCA denies each and every allegation in paragraph 71. 72. MASS MoCA avers that paragraph 72 purports to contain a prayer for

relief, and denies that Büchel is entitled to any relief whatsoever. To the extent a further response is deemed required, MASS MoCA denies each and every allegation in paragraph 72. 73. MASS MoCA avers that paragraph 73 purports to contain a prayer for

relief, and denies that Büchel is entitled to any relief whatsoever. To the extent a further response is deemed required, MASS MoCA denies each and every allegation in paragraph 73. FIFTH COUNTERCLAIM (Violation of § 106(2) of the Copyright Act) 74. MASS MoCA incorporates its answers and averments contained in

paragraphs 1 through 37 above as if fully set forth herein.

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75.

MASS MoCA avers that paragraph 75 contains legal conclusions to which

no response is required. To the extent a response is deemed required, MASS MoCA denies each and every allegation in paragraph 75, except avers that it is without knowledge or information sufficient to admit or deny the allegation that Büchel is a citizen of Switzerland. 76. 77. 78. 79. MASS MoCA denies each and every allegation contained in paragraph 76. MASS MoCA denies each and every allegation contained in paragraph 77. MASS MoCA denies each and every allegation contained in paragraph 78. MASS MoCA avers that paragraph 79 purports to contain a prayer for

relief, and denies that Büchel is entitled to any relief whatsoever. To the extent a further response is deemed required, MASS MoCA denies each and every allegation in paragraph 79. 80. MASS MoCA avers that paragraph 80 purports to contain a prayer for

relief, and denies that Büchel is entitled to any relief whatsoever. To the extent a further response is deemed required, MASS MoCA denies each and every allegation in paragraph 80. 81. MASS MoCA avers that paragraph 81 purports to contain a prayer for

relief, and denies that Büchel is entitled to any relief whatsoever. To the extent a further response is deemed required, MASS MoCA denies each and every allegation in paragraph 81. FURTHER, MASS MoCA denies each and every allegation in the portion of the Counterclaims entitled "Prayer For Relief" and beginning with the word “WHEREFORE” (including subparagraphs 1 through 8 thereof) and denies that Büchel is entitled to any relief whatsoever.

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AFFIRMATIVE DEFENSES AND NOW, having answered Büchel's Counterclaims, MASS MoCA sets forth its affirmative defenses to those counterclaims as follows: First Affirmative Defense (Failure To State A Claim) 1. Each and every allegation and claim in the Counterclaims fails to state a

claim upon which relief may be granted. Second Affirmative Defense (Lack of Particularity) 2. Büchel is barred from asserting his Counterclaims because he has failed to

particularize his claims, thereby depriving MASS MoCA of the ability to ascertain the true basis of Büchel's claims, if any, and the law applicable to each of those claims. Third Affirmative Defense (MASS MoCA Met Its Obligations) 3. Each and every allegation and claim in the Counterclaims is barred

because MASS MoCA met all of its obligations under its agreement with Büchel. FourthAffirmative Defense (Excuse) 4. Each and every allegation and claim in the Counterclaims is barred

because any allegedly wrongful conduct on the part of MASS MoCA is excused by reason of Büchel's failure to meet his obligations under his agreement with MASS MoCA. FifthAffirmative Defense (License and Payment) 5. Büchel's Counterclaims are subject to the defenses of license and payment.

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Sixth Affirmative Defense (No Breach of Duty) 6. Each and every allegation and claim in the Counterclaims is barred

because MASS MoCA has not breached any duty owed to Büchel, if any. Seventh Affirmative Defense (Operation of Law) 7. Büchel's Counterclaims may or will be, or are, barred by operation of law.

Eighth Affirmative Defense (No Violation of the Copyright Act: Original Work of Authorship) 8. Büchel's Counterclaims are barred because the materials that are the

subject matter of his Counterclaims ("Materials") do not contain sufficient original expression on the part of Büchel to be protected under the Copyright Act. Ninth Affirmative Defense (No Violation of the Copyright Act: Joint Ownership) 9. Büchel's Counterclaims are barred because MASS MoCA is a joint owner

of any copyright in the Materials which are the subject matter of Büchel's counterclaims. Tenth Affirmative Defense (No Violation of the Copyright Act: Right of Display) 10. Büchel's Counterclaims are barred because MASS MoCA is the lawful

owner of the Materials which are the subject matter of Büchel's Counterclaims and as such is entitled to display those Materials publicly. Eleventh Affirmative Defense (No Violation of the Copyright Act: Failure to Register) 11. Büchel's Counterclaims are barred because he has failed to register the

Materials which are the subject matter of his Counterclaims with the United States Copyright Office.

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Twelfth Affirmative Defense (No Violation of the Visual Artists Rights Act: Work of Visual Art) 12. Büchel's Counterclaims are barred because the Materials which are the

subject matter of his Counterclaims do not constitute a work of visual art subject to the Visual Artists Rights Act. Thirteenth Affirmative Defense (No Violation of the Visual Artists Rights Act: Conservation) 13. Büchel's Counterclaims are barred because any modification to the

Materials which are the subject matter of his Counterclaim is the result of conservation or placement. Fourteenth Affirmative Defense (No Violation of the Copyright Act or Visual Artists Rights Act: Fair Use) 14. Büchel's Counterclaims are barred by the doctrine of fair use. Fifteenth Affirmative Defense (Good Faith) 15. Each and every allegation and claim in the Counterclaims is barred

because MASS MoCA at all times acted in good faith. Sixteenth Affirmative Defense (Lack of Willfulness) 16. Büchel's Counterclaims are barred because any allegedly infringing

conduct on the part of MASS MoCA was neither willful nor intentional. Seventeenth Affirmative Defense (Waiver) 17. doctrine of waiver. Each and every allegation and claim in the Counterclaims is barred by the

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Eighteenth Affirmative Defense (Estoppel) 18. doctrine of estoppel. Nineteenth Affirmative Defense (Ratification) 19. Each and every allegation and claim in the Counterclaims is barred by the Each and every allegation and claim in the Counterclaims is barred by the

doctrine of ratification. Twentieth Affirmative Defense (Laches) 20. doctrine of laches. Twenty-First Affirmative Defense (Unclean Hands) 21. Each and every allegation and claim in the Counterclaims is barred by the Each and every allegation and claim in the Counterclaims is barred by the

doctrine of unclean hands. Twenty-Second Affirmative Defense (No Standing) 22. Büchel lacks standing to bring his Counterclaims. Twenty-Third Affirmative Defense (Comparative/Contributory Negligence) 23. Each and every allegation and claim in the Counterclaims is barred

because if damages were sustained by Büchel, such damages are attributable to Büchel's own reckless, negligent or culpable conduct and Büchel's claims are therefore barred by comparative and/or contributory negligence.

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Twenty-Fourth Affirmative Defense (No Damages) 24. Each and every allegation and claim in the Counterclaims is barred

because Büchel has not been caused any damage by any conduct of MASS MoCA. Twenty-Fifth Affirmative Defense (Superseding/Intervening Cause) 25. If Büchel sustained any damages, which is expressly denied, the same is

the proximate result of some superseding or intervening cause. Twenty-Sixth Affirmative Defense (Failure to Mitigate Damages) 26. Each and every allegation and claim in the Counterclaims is barred

because Büchel failed to act reasonably to mitigate damages, if any. Twenty-Seventh Affirmative Defense (Offset Damages) 27. Each and every allegation and claim in the Counterclaims is barred

because if damages were sustained by Büchel, they must be offset by the value rendered to Büchel by MASS MoCA. Twenty-Eighth Affirmative Defense (Punitive Damages Unlawful and/or Unconstitutional) 28. To the extent that any claim in this action seeks exemplary or punitive

damages, any such relief would violate statutory limitations on damages, and/or MASS MoCA's right to procedural and substantive due process under the Fourteenth Amendment of the United States Constitution.

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Twenty-Ninth Affirmative Defense (Reservation of Rights) 29. MASS MoCA hereby gives notice that it intends to rely upon such other

and further defenses as may become available or apparent during pre-trial proceedings in this case and hereby reserves its rights to amend this Reply and to assert such defenses. REQUEST FOR RELIEF WHEREFORE, MASS MoCA requests that this Court: A. B. Dismiss Mr. Büchel's Counterclaims with prejudice; and Grant such other and further relief as the Court may deem just and proper. JURY TRIAL DEMAND MASS MoCA demands a trial by jury on any and all of Büchel's Counterclaims which are so triable. Dated: July 12, 2007 Boston, Massachusetts Respectfully submitted, /s/ Kurt Wm. Hemr Kurt Wm. Hemr (BBO #638742) SKADDEN, ARPS, SLATE, MEAGHER & FLOM LLP One Beacon Street Boston, Massachusetts 02108 (617) 573-4800 khemr@skadden.com Counsel for Massachusetts Museum of Contemporary Art Foundation, Inc.

Of Counsel: Barry H. Garfinkel John L. Gardiner SKADDEN, ARPS, SLATE, MEAGHER & FLOM LLP Four Times Square New York, New York 10036 (212) 735-3000 bgarfink@skadden.com jgardine@skadden.com

CERTIFICATE OF SERVICE I, Kurt Wm. Hemr, hereby certify that this document filed through the ECF system will be sent electronically to the registered participants as identified on the Notice of Electronic Filing ("NEF"), and paper copies will be sent to those indicated as non-registered participants on July 12, 2007. Dated: July 12, 2007 /s/ Kurt Wm. Hemr Kurt Wm. Hemr

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