Child Sexual Exploitative and Abuse
Material8" is to be used to refer to pictures and videos of children in sexually
explicit and exploitative scenarios ... pornographic purposes; publishing or transmitting of material
depicting children in sexually explicit acts; creating text or digital images of
such kind, collecting, advertising, promoting, exchanging
repeatedly subjected her to sexual assault. In addition, the Prosecutrix
stated that her husband coerced her into sending sexually explicit messages
BAIL APPLN. 2738/2024 ... accused Aashu,
used to force her to send these explicit sexual messages to the Applicant and
demand a screenshot of the same as proof. Moreover
plaintiff
with other
celebrities
and
creating
inappropri
ate content
● By
making
sexually
explicit
comments
and
remarks
CS(COMM) 454/2026 Page 10 of 17
This ... enriching themselves. So much so that the AI generated videos are sexually
explicit and abhorrent depiction of the plaintiff.
39. In para
picture/photos on social media profiles,
posts, reels with specially created sexually explicit remarks on his
social media accounts and using filthy and abusive language ... present
applicant does not come within the meaning of „sexually explicit act or
conduct‟. It is further submitted that Section
propagating
biased and defamatory content, as AI systems trained on sexually explicit or
misleading videos may falsely attribute such acts to the Plaintiff. He states
morph and
superimpose the Plaintiff's face to create distasteful, sexually explicit;
and
v. disseminating pornographic videos and images of the Plaintiff
technology
(including Artificial
Intelligence).
3. Creating inappropriate / 13, 14 and 18
sexually explicit content of the
Plaintiff by the use of
technology (including Artificial
Intelligence
Plaintiff
with other celebrities and creating
inappropriate content, making
sexually explicit comments and
remarks.
33.19 The entire business model of Defendant
Plaintiff
with other celebrities and creating
inappropriate content, making
sexually explicit comments and
remarks.
33.19 The entire business model of Defendant
publishing videos
on YouTube, wherein, they are sharing sexually explicit and vulgar content
using the name and image of the characters of the show ... characters. The defendant no. 21 is making short animated videos narrating
sexually explicit stories using the names of the characters from the show, as
well