Assuming without deciding that the discovery rule applies to extend the otherwise applicable 3-year statute of limitations on copyright infringement claims, this opinion hold that a plaintiff’s damages are not limited to those suffered in the three years before suit was filed. The statute of limitations bars untimely suit. It does not govern damage recovery. The Copyright Act’s remedial provisions allow recovery of damages for infringement without regard to how long before suit the damages were incurred. Petrella v. Metro-Goldwin-Mayer, Inc. (2014) 134 S.Ct. 1962 did not hold to the contrary. It dealt with a situation in which the plaintiff was aware of the infringement all along and so had to rely on the continuous accrual doctrine to bring suit more than 3 years after the original infringement. In that context, only, are damages limited to those incurred within three years of the filing of the action.