Docusign Envelope ID: AAB744D0-3F77-43F8-95DC-90E879F 783A4
FL-180
Received: 12/30/2024 7:19 PM
ATTORNEY OR PARTY WITHOUT ATTORNEY (Name, State Bar number, and address) FOR COURT USE ONLY
Joseph Mannis / James M. Simon SBN: 51098 /10913
Hersh Mannis LLP
9150 Wilshire Boulevard, Suite 209, Beverly Hills, CA 90212
TELEPHONE NO.: (310) 786-1910 FAX NO. (Optional): (310) 786-1917
E-MAIL ADDRESS (Optional):
jmannis@[Link]
ATTORNEY FOR (Name):
ANGELINA JOLIE
SUPERIOR COURT OF CALIFORNIA, COUNTY OF LOS ANGELES
STREET ADDRESS: 111 N Hill Street
MAILING ADDRESS: 111 N Hill Street
CITY AND ZIP CODE: Los Angeles, 90012
BRANCH NAME: Stanley Mosk Courthouse
MARRIAGE OR PARTNERSHIP OF
PETITIONER: ANGELINA JOLIE PITT
RESPONDENT: WILLIAM BRADLEY PITT
JUDGMENT CASE NUMBER:
L__
X DISSOLUTION L__ LEGAL SEPARATION L__ NULLITY
_ Status only
BD646058
Reserving jurisdiction over termination of marital or domestic
partnership status
X Judgment on reserved issues
Date marital or domestic partnership status ends:
1. This judgment contains personal conduct restraining orders modifies existing restraining orders.
The restraining orders are contained on page(s) of the attachment. They expire on (date):
2. This proceeding was heard as follows: X Default or uncontested L__
X By declaration under Family Code section 2336
contested Agreement in court
a. Date: Dept.: Room:
b. Judicial officer (name): Temporary judge
Petitioner present in court Attorney present court (name):
in
d Respondent present in court Attorney present in court (name):
e Claimant present in court (name): Attorney present in court (name):
f other (specify name):
3. The court acquired jurisdiction of the respondent on (date): November 4, 2016
a. The respondent was served with process.
b. X The respondent appeared.
THE COURT ORDERS, GOOD CAUSE APPEARING
4. a Judgment of dissolution is entered. Marital or domestic partnership status is terminated and the parties are restored to the
status of single persons
(1) on (specify date):
L__
b. L (2) on a date to be determined on noticed motion of either party or on stipulation.
Judgment legal separation is entered.
of
c Judgment of nullity is entered. The parties are declared to be single persons on the ground of (specify):
d This judgment will be entered nunc pro tunc as of (date):
e L_
X Judgment on reserved issues.
f. The petitioner's __ respondent's former name is restored to (specify):
g. X Jurisdiction is reserved over all other issues, and all present orders remain in effect except as provided below.
h. This judgment contains provisions for child support or family support. Each party must complete and file with the court a
Child Support Case Registry Form (form FL-191) within 10 days of the date of this judgment. The parents must notify the
court of any change in the information submitted within 10 days of the change, by filing an updated form. The Notice
of Rights and Responsibilities-Health-Care Costs and Reimbursement Procedures and Information Sheet on Changing a
Child Support Order (form FL-192) is attached. Page of 2 1
Calton JUDGMENT Family Code, SS
288
FL-180 [Rev. July 1, 2012] (Family Law) [Link]
Westlaw Doc & Form Builders
Docusign Envelope ID: AAB744D0-3F77-43F8-95DC-90E879F 783A4
FL-180
CASE NAME (Last name, first name of each party): CASE NUMBER:
PITT, ANGELINA JOLIE BD646058
PITT, WILLIAM BRADLEY
4. i. L__
X The children of this marriage or domestic partnership are:
(1) X Name Birthdate
Knox Jolie-Pitt 07/12/2008
Vivienne Jolie-Pitt 07/12/2008
(2) Parentage is established for children of this relationship born prior to the marriage or domestic partnership
j. CL child custody and visitation (parenting time) are ordered as set forth in the attached
(1) Settlement agreement, stipulation for judgment, or other written agreement which contains the information
required by Family Code section 3048(a).
(2) LL
Child Custody and Visitation Order Attachment (form FL-341).
(3) L__
Stiputation and Order for Custody and/or Visitation of Children (form FL-355).
(4) Previously established in another case. Case number: Court:
k. X child support is ordered as set forth in the etka
(1) X Settlement agreement, stipulation for judgment, or other written agreement which contains the declarations
required by Family Code section 4065(a). Confidential Judgment on Reserved Financial Issues
(2) Child Support Information and Order Attachment (form FL-342).
(3) L__
Stipulation to Establish or Modify Child Support and Order (form FL-350).
(4) Previously established in another case. Case number: Court:
1 CL
X Spousal, domestic partner, or family support is ordered:
(1 Reserved for future determination as relatesto petitioner respondent
(2) X Jurisdiction terminated to order spousal or partner support to L X petitioner X respondent
(3) As set forth in the attached Spousal, Partner, or Family Support Order Attachment (form FL-343).
4) As set forth in the attached settlement agreement, stipulation for judgment, or other written agreement.
(5) Other (specify):
m. X Property division is ordered as set forth in the
(1) Settlement agreement, stipulation for judgment, or other written agreement.
(2) Property Order Attachment to Judgment (form FL-345).
(3) x Other (specify): Confidential Judgment on Reserved Financial Issues
n C
X Attorney fees and costs are ordered as set forth in the SHARE
(1) Settlement agreement, stipulation for judgment, or other written agreement.
(2) Attorney Fees and Costs Order (form FL-346).
(3) X_Other (specify): Confidential Judgment on Reserved Financial Issues
O. Other (specify): Confidential Judgment on Reserved Financial Issues resolves the remaining issues in this matter
Each attachment to this J udgment is incorporated into this J judgment, and the parties are ordered to comply with each attachment's
provisions. Jurisdiction is reserved to make other orders necessary to carry out this judgment.
Date:
6 JUDICIAL OFFICER
5. Number of pages attached: L__
X signature FOLLOWS LAST ATTACHMENT
NOTICE
Dissolution or legal separation may automatically cancel the rights of a spouse or domestic partner under the other spouse's or
domestic partner's will, trust, retirement plan, power of attorney, pay-on-death bank account, transfer-on-death vehicle registration,
survivorship rights to any property owned in joint tenancy, and any other similar property interest. It does not automatically cancel the
rights of a spouse or domestic partner as beneficiary of the other spouse's or domestic partner's life insurance policy. You should
review these matters, as well as any credit cards, other credit accounts, insurance policies, retirement plans, and credit reports, to
determine whether they should be changed or whether you should take any other actions.
A debt or obligation may be assigned to one party as part of the dissolution of property and debts, but if that party does not pay the
debt or obligation, the creditor may be able to collect from the other party.
An earnings assignment may be issued without additional proof if child, family, partner, or spousal support is ordered.
Any party required to pay support must pay interest on overdue amounts at the "legal rate," which is currently 10 percent.
Page 2 of 2
FL-180 [Rev. July 1, 2012]
JUDGMENT
(Family Law)
1 ATTACHMENT TO JUDGMENT (FORM FL-180)
2 Pursuant to the stipulation of the parties, Petitioner Angelina Jolie (hereinafter
3 Angelina ) and Respondent William Bradley Pitt (hereinafter Brad ) move under Rule
4 5.411 of the California Rules of Court for entry of this Judgment on Reserved Financial
5 Issues
6 ADJUDGED AND DECREED AS FOLLOWS:
7 1. RECITALS
8 1.1. The parties hereto were married on August 4, 2014.
9 1.2. There are two minor children of the parties, Knox Jolie-Pitt, DOB 7/12/2008,
10 and Vivienne Jolie-Pitt, DOB 7/12/2008.
11 1.3. Irreconcilable differences between the parties caused the irremediable
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9150 WILSHIRE BOULEVARD, SUITE 209
12 breakdown of the marriage, as a result of which the parties separated on
BEVERLY HILLS, CA 90212 -3429
HERSH MANNIS LLP
13 September 15, 2016.
14 1.4.
15 1.5. On September 19, 2016, Angelina filed a Petition for Dissolution of Marriage,
16 Case No. BD646058 is . On
17 November 4, 2016, Brad filed a Response and Request for Dissolution of Marriage in this
18 action.
19 1.6. On January 28, 2019, the parties entered a Stipulation Re Confidential
20 Information, the terms of which are extended and incorporated herein by this reference and
21 shall survive the entry of this Judgment on Reserved Financial Issues and shall remain in
22 full force and effect.
23 1.7. On April 12, 2019, the Court entered in this action a Judgment of Dissolution,
24 Status Only, terminating the marital status of the parties effective April 12, 2019.
25 1.8. The Parties served their respective Preliminary and Final Declarations of
26 Disclosure prior to their execution of this Judgment on Reserved Financial Issues and the
27 Confidential Judgment on Reserved Financial Issues referenced in Section 2 below.
28 ///
-1-
ATTACHMENT TO JUDGMENT (FORM FL-180)
Case No. BD646058
5428755.1
1 2. CONFIDENTIAL JUDGMENT ON RESERVED FINANCIAL ISSUES
2 2.1 The parties affirm that they and their respective counsel have concurrently
3 executed a separate Confidential Judgment on Reserved Financial Issues, which is
4 effective on the date last signed by the parties and their attorneys. The parties further affirm
5 that the Confidential Judgment on Reserved Financial Issues contains the executory
6 provisions of the agreements reached between the parties with respect to financial issues,
7 which include but are not limited to child support, spousal support, and property division.
8 The Confidential Judgment on Reserved Financial Issues is not submitted to the Court or
9 entered as an exhibit in this matter at this time due to the parties' mutual desire to maintain
10 their rights of privacy.
11 2.2 The parties affirm that the Confidential Judgment on Reserved Financial
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9150 WILSHIRE BOULEVARD, SUITE 209
12 Issues effects a full, complete, and final settlement of all remaining financial issues over
BEVERLY HILLS, CA 90212 -3429
HERSH MANNIS LLP
13 which the family law court has jurisdiction, except as to the issue of child support which is
14 modifiable as a matter of law. The parties affirm that despite that the agreements regarding
15 their dissolution of marriage are not set forth herein, and are, instead, set forth in the
16 Confidential Judgment on Reserved Financial Issues, the parties intend to be and shall be
17 bound by the terms of the Confidential Judgment on Reserved Financial Issues, as if said
18 terms were set forth in full herein. Accordingly, the terms of the Confidential Judgment on
19 Reserved Financial Issues are incorporated herein and made a part of this Judgment on
20 Reserved Financial Issues. The parties affirm that the terms of the Confidential Judgment
21 on Reserved Financial Issues are intended to be merged into this Judgment on Reserved
22 Financial Issues and that both parties are ordered to comply in all respects with all the terms
23 of the Judgment on Reserved Financial Issues and the Confidential Judgment on Reserved
24 Financial Issues and to perform all their obligations thereunder.
25 2.3 The Confidential Judgment on Reserved Financial Issues has been executed
26 by electronic transmission, which shall be deemed an original, and either party may, subject
27 to the notice provisions set forth in paragraphs 2.4 and 2.5 below, request entry of the
28 Confidential Judgment on Reserved Financial Issues at any time that such party believes
-2-
ATTACHMENT TO JUDGMENT (FORM FL-180)
Case No. BD646058
5428755.1
1 it is reasonably necessary to enforce any term of the Confidential Judgment on Reserved
2 Financial Issues, or to seek a modification of child support as set forth in the Confidential
3 Judgment on Reserved Financial Issues.
4 2.4 Enforcement: Either party may enforce the terms of the Confidential
5 Judgment on Reserved Financial Issues by a subsequent family court proceeding. The
6 party seeking enforcement shall provide the other party with ten (10) business days advance
7 written notice (email notice to the other party shall suffice as written notice) of the
8 specific enforcement issue. If within those ten (10) business days the parties are unable to
9 reach a resolution, the enforcing party shall not be precluded, by virtue of the prior lack of
10 filing and entry of the Confidential Judgment on Reserved Financial Issues, from any of
11 her/his rights to enforce the Confidential Judgment on Reserved Financial Issues. In the
PHONE: (310) 786-1910 FAX: (310) 786 -1917
9150 WILSHIRE BOULEVARD, SUITE 209
12 event of an enforcement action, the Confidential Judgment on Reserved Financial Issues
BEVERLY HILLS, CA 90212 -3429
HERSH MANNIS LLP
13 shall be lodged
14 Stipulation Re Confidential Information.
15 2.5 Modification of Child Support: The party seeking a modification of child
16 support shall not submit or file the Confidential Judgment on Reserved Financial Issues with
17 the Court unless such party provides the other party with ten (10) business days advance
18 written notice (email notice to the other party shall suffice as written notice) of the
19 specific request for modification of child support and the other party has not agreed in writing
20 (email confirmation of agreement to the other party shall suffice as written
21 agreement) to the requested modification to be incorporated in an amendment to the
22 Confidential Further Judgment on Reserved Financial Issues. If within those ten (10)
23 business days the parties are unable to reach a resolution with respect to the child support
24 modification, the party seeking a child support modification shall not be precluded, by virtue
25 of the prior lack of filing and entry of the Confidential Judgment on Reserved Financial
26 Issues, from any of her/his rights to modify the child support provision of the Confidential
27 Judgment on Reserved Financial Issues. In the event of a modification action, the
28 Confidential Judgment on Reserved Financial Issues shall be lodged with the Court
-3-
ATTACHMENT TO JUDGMENT (FORM FL-180)
Case No. BD646058
5428755.1
Docusign Envelope ID: BA841B51-D0FB-4B66-AFB9-A6A33B7D517F
1 pursuant to the terms of the parties’ January 28, 2019 Stipulation Re Confidential
2 Information.
3 3. MISCELLANEOUS PROVISIONS
4 3.1. The Court reserves jurisdiction to interpret and enforce all executory
5 provisions of this Judgment on Reserved Financial Issues as well as the Confidential
6 Judgment on Reserved Financial Issues, and on all other matters where jurisdiction is
7 reserved by same or by law.
8 3.2. This Judgment on Reserved Financial Issues shall be effective as the
9 agreement of the parties as of the last date of execution hereof by the parties and counsel.
10 3.3. This Judgment on Reserved Financial Issues may be executed by the parties
PHONE: (310) 786-1910 FAX: (310) 786-1917
11 and counsel in counterparts and by electronic transmission, any combination of which with
9150 WILSHIRE BOULEVARD, SUITE 209
BEVERLY HILLS, CA 90212-3429
12 all signature pages attached shall be deemed an original and may be filed with the Court.
HERSH MANNIS LLP
13 THE FOREGOING IS AGREED TO BY:
12/25/2024
14 Dated:
ANGELINA JOLIE, Petitioner
15
16 Dated:
WILLIAM BRADLEY PITT, Respondent
17
18 APPROVED AS CONFORMING TO THE AGREEMENT OF THE PARTIES:
19 Dated: 12/26/2024
_ HERSH MANNIS LLP
20
21 By:
JOSEPH MANNIS / JAMES M. SIMON
22 Attorneys for Petitioner
23 Dated: ELKINS KALT WEINTRAUB REUBEN
GARTSIDE LLP
24
25 By:
MARINA Z. BECK
26 Attorneys for Respondent
27
28
-4-
ATTACHMENT TO JUDGMENT (FORM FL-180)
Case No. BD646058
5428755.1
1
2 Information.
3 3. MISCELLANEOUS PROVISIONS
4 3.1. The Court reserves jurisdiction to interpret and enforce all executory
5 provisions of this Judgment on Reserved Financial Issues as well as the Confidential
6 Judgment on Reserved Financial Issues, and on all other matters where jurisdiction is
7 reserved by same or by law.
8 3.2. This Judgment on Reserved Financial Issues shall be effective as the
9 agreement of the parties as of the last date of execution hereof by the parties and counsel.
10 3.3. This Judgment on Reserved Financial Issues may be executed by the parties
11 and counsel in counterparts and by electronic transmission, any combination of which with
PHONE: (310) 786-1910 FAX: (310) 786 -1917
9150 WILSHIRE BOULEVARD, SUITE 209
12 all signature pages attached shall be deemed an original and may be filed with the Court.
BEVERLY HILLS, CA 90212 -3429
HERSH MANNIS LLP
13 THE FOREGOING IS AGREED TO BY:
14 Dated:
ANGELINA JOLIE, Petitioner
15
16 Dated:
WILLIAM BRADLEY PITT, Respondent
17
18 APPROVED AS CONFORMING TO THE AGREEMENT OF THE PARTIES:
19 Dated: _ HERSH MANNIS LLP
20
21 By:
JOSEPH MANNIS
22 Attorneys for Petitioner
23 Dated: ELKINS KALT WEINTRAUB REUBEN
GARTSIDE LLP
24
25 By:
MARINA Z. BECK
26 Attorneys for Respondent
27
28
-4-
ATTACHMENT TO JUDGMENT (FORM FL-180)
Case No. BD646058
5428755.1
1 APPROVED AND ORDERED.
3 Dated:
SCOTT J. NORD, JUDGE OF THE
4 LOS ANGELES COUNTY SUPERIOR COURT
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PHONE: (310) 786-1910 FAX: (310) 786 -1917
9150 WILSHIRE BOULEVARD, SUITE 209
12
BEVERLY HILLS, CA 90212 -3429
HERSH MANNIS LLP
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ATTACHMENT TO JUDGMENT (FORM FL-180)
Case No. BD646058
5428755.1