How are property agreements in Texas divorce decrees enforced and interpreted?

This question has been addressed in 2 Texas court opinions:

Morrison v. Morrison

Supreme Court of TexasJanuary 30, 2026

In Morrison v. Morrison, a former wife sought to enforce a divorce decree after her ex-husband allegedly damaged their marital home and failed to return various items of personal property. Although the original decree split the home sale proceeds 50/50, the trial court awarded the wife 100% of the proceeds as damages without making specific findings regarding the fair market value (FMV) of the losses. The Supreme Court of Texas analyzed the distinction between the power to 'enforce' a decree under Family Code Chapter 9 and the prohibition against 'modifying' a substantive property division. The Court held that while trial courts can award money judgments for breaches, they impermissibly modify a decree when they reallocate community assets without a direct evidentiary link to the proven fair market value of the damaged or missing property.

Litigation Takeaway

To successfully recover damages for damaged or missing assets after a divorce, you must provide specific evidence of fair market value; a court cannot simply reallocate property interests as a penalty for bad behavior without a dollar-for-dollar evidentiary accounting.

In the Matter of the Marriage of Brittany Lea Lannen and Clint Douglas Lannen

COA10January 29, 2026

Years after her divorce, Brittany Lannen sought a declaratory judgment to determine if her ex-husband's 'right to purchase' specific real estate—a provision included in their 2014 divorce decree—was still valid or had been waived. The trial court dismissed her suit, agreeing with the husband's argument that the lawsuit was an impermissible 'collateral attack' on a final judgment. On appeal, the Waco Court of Appeals reversed the dismissal. The court analyzed the Uniform Declaratory Judgments Act (UDJA) and concluded that because the decree incorporated a settlement agreement 'enforceable as a contract,' the UDJA was the proper procedural tool to interpret the parties' legal rights. The court held that seeking to construe the meaning or validity of a contract within a decree is not an attempt to overturn the judgment, but rather a request for the court to define the current legal status of those provisions.

Litigation Takeaway

If your divorce decree incorporates a settlement agreement as an enforceable contract, you can use the Uniform Declaratory Judgments Act to clarify or interpret its terms years later. This allows parties to resolve disputes over property rights—like purchase options or rights of first refusal—without being barred by rules that usually prevent people from 'attacking' final judgments.