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Hillman "MM CA: Young, Lance

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YOUNG, SPIEGEL HILLMAN & HOSP, LLP
LANCE S. SPIEGEL, State Bar N0. 51625 suM' COIN O'Clnhfllil
Iances@ysfamilylaw. com ”mm “r MS Ante!"
301 N. Canon Drive, Suite 300
Am“ Beverly Hills, CA 90210 SEP 2 1 2020
Telephone: 3 10.8875 100 sum -

" "‘ ""WWUnkolCom


Facsimile: 3 10,887.51 19
By
ELKINS KALT WEINTRAUB REUBEN GARTSIDE LLP 4° m Emma IDC P "ly

NONLII
ANNE C. KILEY, State Bar No. 145489
akiley@elkinskalt. com
2049 Century Park East, Suite 2700
Los Angeles, California 90067-3202
Telephone: 3 10.746.4400
Facsimile: 3 10.746.4499

Attorneys for Respondent,


WILLIAM BRADLEY PITT
10
SUPERIOR COURT OF THE STATE OF CALIFORNIA
LLP
310.746.4499
ll
FOR THE COUNTY 0F LOS ANGELES
2700
GAR1'SIDE

12
90067—3202

Suite

REUBEN
Famimile:

l3 In re the Marriage of: CASE No. BD 646 058


East.

Califomla
- l4 ANGELINA JOLIE PITT, [Assigned to Han. John W. Ouderkirk (Ran) For
Park

All Purposes]
WEINTRAUB

0.746.4400
15 Petitioner,
Century
Angeles,
AMENDED WITNESS LIST
KALT 31 l6 and
2049
1.05 Hearing Dates: October 5-23, 2020
ELKINS

Telephone:
l7 WELIAM BRADLEY PITT, Time:

18 Respondent.

19

20

21 On June l9, 2020, Respondent served his Request for Evidentiary Hearing and Witness List

22 Pursuant to Family Code Section 217 and California Rule of Court 5.1 l3. The parties agreed

23 through counsel to serve Amended and Updated Witness Lists on August l7, 2020. Respondent

24 submits this Amended Witness List setting forth the witnesses he may call at the hearing in this

25 proceeding scheduled to commence October 5, 2020. Pursuant to agreement of counsel contact

26 information is not included in this Amended Witness list. Witness contact information shall be sent

27 to opposing counsel by email upon request. Time estimates shall be provided afier discovery is

28 completed.
M6893“!
I

REQUEST FOR EVIDENTIARY HEARING IAND WITNESS LIST PURSUANT TO FAMILY CODE SECTION
217 AND CALIFORNIA RULE 0F COURT 5.] l3
O O
l. Respondent, William Bradley Pitt.

2. Petitioner, Angelina Jolie Pitt. Petitioner will be called on 776 and cross-examined.

3. Stan Katz Ph.D. Dr. Katz is expected to testify regarding his recommendations and

his interactions and communications with the parties, the children, other professionals and third

\OOOQGM-hbJNu—n

parties regarding the parties and the childrén and consistent with his deposition taken March 3,

August 10 and September 8, 2020.

4. Oren Boxer, M.D. Dr. Boxer is expected to testify regarding his intefactions and

communications with the parties, the children, Dr. Katz and third parties regarding the parties and

the children.

5. Alan Yellin, Ph.D. Dr. Yellin is expected to testify regarding his interactions and

LLP
310.746.4499
communications with the parties, the children, Dr. Katz, other professionals and third parties

2700
GARTSIDE

regarding the parties and the children.


90067-3202

Suite

Facsimile:

6. Melissa Brymer, Ph.D. Dr. Bryrner is expected to testify regarding her interactions
ReuaEN

East.

California
0 and communications with the parties, the children, Dr. Katz, other professionals and third parties
Park

Wmmmua

regarding the panics and the children.


310.7%.4400
Century
Angaies.

KALt
7. Alyce LaViolette. Ms. LaViolette is expected to testify regarding her interactions
2049
Los

ELKINS and communications with the parties, the children, Dr. Katz, other professionals and third parties
Telephone:

NNNNNNNNN—Hv—t—r—r—‘r—nv—om—

regarding the parties and the children.

Fred Luskin, PhD. Dr. Luskin


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8. is expected to testify regarding his interactions and

communications with the parties, the children, Dr. Katz, other professionals and third parties

regarding the parties and the children.

9. Bren Chasse. Ms. Chassc is expected to testify regarding her interactions and

communications with the parties, the children, Dr. Katz, other professionals and third parties

regarding the parties and the children.

10. Robin Deutsche, PhD. Dr. Deutsche will be called to testify as set forth on

Respondent's Expert Witness Designation dated August l4, 2020.

ll. Daneen Scott. Ms. Scott is expected to testify regarding her interactions and

communications with and observations of Petitioner, Respondent and/or the children.

l463934vl
2
WITNESS LIST PURSUANT TO FAMILY CODE SECTION 2] 7 AND CALKFORNIA RULE OF COURT 5.1 13
l
O. Cl

12. Jillian Armenante. Ms. Armenante is expected to testify regarding her interactions

and communications with and observations of Petitioner, Respondent and/or the children.

13. Ross Foster. Mr. Foster is expected to testify regarding his interactions and

communications with and observations of Petitioner, Respondent and/or the children.

l4. Garreth Netherword. Mr. Netherword is expected to testify regarding his interactions
\DWNGMhWN—

and communications with and observations of Petitioner, Respondent and/or the children.

lS. William Thiel. Mr. Thiel is expected to testify regarding his interactions and

communications with and observations of Petitioner, Respondent and/or the children.

16. Adam Dowell. Mr. Dowell is expected to testify regarding his interactions and

communications with and observations of Petitioner, Respondent and/or the children.

LLP
310746_4499
l7. Rich Malchat. Mr. Malchat is expected to testify regarding his interactions and

2700
GAMSIDE

communications with and observations of Petitioner, ReSpondent and/or the children.


90067-3202

Suite

Facsimile
l8. Darren Laos. Mr. Laos is expected to testify regarding his interactions and
REuaEN

East.

California
- communications with and observations of Petitioner, Respondent and/or the children.
Park

WEIrrrRAua

19. Michael Ofiedahl. Mr. Oftedahl is expected to testify regarding his interactions and
310.746.4400
Cenluty
Angeles.

KAL‘r
communications with and observations of Petitioner, Respondent and/or the children.
2049
Los

ELxms
Telephone:
20. Adama Kebe. Ms. Kebe is expected to testify regarding her interactions and

NNNNNNNNNfl—m———In—v—u—m

communications with and observations of Petitioner, Respondent and/or the children.


WQGM¥MN~OCWQOM#NNO—O

21. Binta Bah. Ms. Baht is expected to testify regarding her interactions and

communications with and observations of Petitioner, Respondent and/or the children.

This Witness List does not include impeachment and rebuttal witnesses, and Respondent

reserves his right to call same, as well as to Supplement this Witness list based upon ongoing

discovery.

DATED: August 17, 2020 ELKINS KALT WEINTRAUB REUBEN GARTSIDE LLP AND
YOUNG SPIEGEL HILLMAN & HOSP, LLP

LANCE S. SPEIGEL/ANNE KILEY


Attorneys for Respondent,
WILLIAM BRADLEY PITT

l468934vl
3
WITNESS LIST PURSUANT TO FAMILY CODE SECTION 217 AND CALIFORNIA RULE 0F COURT 5.1 l3

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