Philippine Supreme Court Jurisprudence


Philippine Supreme Court Jurisprudence > Year 2013 > October 2013 Decisions > G.R. No. 185728, October 16, 2013 - COMMISSIONER OF INTERNAL REVENUE, Petitioners, v. TEAM (PHILIPPINES) OPERATIONS CORPORATION [FORMERLY MIRANT (PHILIPPINES) OPERATIONS CORPORATION], Respondent.:




G.R. No. 185728, October 16, 2013 - COMMISSIONER OF INTERNAL REVENUE, Petitioners, v. TEAM (PHILIPPINES) OPERATIONS CORPORATION [FORMERLY MIRANT (PHILIPPINES) OPERATIONS CORPORATION], Respondent.

PHILIPPINE SUPREME COURT DECISIONS

FIRST DIVISION

G.R. No. 185728, October 16, 2013

COMMISSIONER OF INTERNAL REVENUE, Petitioners, v. TEAM (PHILIPPINES) OPERATIONS CORPORATION [FORMERLY MIRANT (PHILIPPINES) OPERATIONS CORPORATION], Respondent.

D E C I S I O N

VILLARAMA, JR., J.:

On appeal under Rule 45 is the August 27, 2008 Decision1 of the Court of Tax Appeals (CTA) En Banc in C.T.A. E.B. No. 369 which affirmed the August 29, 2007 Decision2 of the CTA First Division in CTA Case No. 6970 ordering petitioner Commissioner of Internal Revenue (CIR) to refund, or in the alternative, issue a tax credit certificate, in favor of respondent TeaM (Philippines) Operations Corporation3 the amount of P23,053,919.22 representing excess/unutilized creditable withholding taxes for the taxable year 2002.� Petitioner likewise assails the November 28, 2008 Resolution4 of the CTA En Banc denying its motion for reconsideration from the assailed decision.

The facts as summarized in the assailed CTA En Banc decision are as follows:chanRoblesvirtualLawlibrary

Petitioner is the duly appointed Commissioner of Internal Revenue vested with the authority to act as such, including inter alia, the power to decide, approve, and grant refunds or tax credits of overpaid internal revenue taxes as provided by law with office address at the BIR National Office Building, Agham Road, Diliman, Quezon City.

Respondent, on the other hand, is duly licensed to do business in the Philippines and is primarily engaged in the business of designing, construction, erecting, assembling, commissioning, operating, maintaining, rehabilitating and managing gas turbine and other power generating plants and related facilities for the conversion into electricity of coal, distillate and other fuel provided by and under contract with the Government of the Republic of the Philippines, or any subdivision, instrumentality or agency thereof, or any government owned or controlled corporations or other entity engaged in the development, supply or distribution of energy.

Respondent entered into Operating and Management Agreements with Mirant Pagbilao Corporation [formerly Southern Energy Quezon, Inc.] or (MPagC) and Mirant Sual Corporation [formerly Southern Energy Pangasinan, Inc.] or (MSC) to provide these corporations with maintenance and management services in connection with the operation, construction and commissioning of the coal-fired power stations situated in Pagbilao, Province of Quezon and Sual, Province of Pangasinan, respectively.� Payments received by respondent for the operating and management services rendered to MPagC and MSC were allegedly subjected to creditable withholding tax.

On April 15, 2003, respondent filed with the Bureau of Internal Revenue (BIR) its original Annual Income Tax Return (ITR) for the calendar year ended December 31, 2002 declaring zero taxable income and unutilized tax credits of P23,108,689.00, detailed as follows:

Gross Income
P 82,732,818.00

Add: Non-operating & Other Income
____172,834.00
Total Gross Income
P 82,905,652.00
Less: Deductions
__82,905,652.00
Taxable Income
P NIL
Tax Rate
������� __________32%
Minimum Corporate Income Tax (MCIT)
_P 1,658,113.00
Income Tax Due
_P 1,658,113.00
Less: Prior Years� Excess Credits
NIL
Tax Payments for 1 st 3 Quarters
NIL
Creditable Tax Withheld for 1 st 3 Quarters
P 24,766,802.00
Total Tax Credits/Payments
P 24,766,802.00
Tax Overpayment
(P 23,108,689.00)

In its ITR for the year 2002, respondent indicated its option to refund its alleged excess creditable withholding tax when it marked �X� the box corresponding to the option �To be refunded� under line 30 of said ITR.

On March 17, 2004, respondent filed an administrative claim for refund or issuance of tax credit certificate with the BIR in the total amount of P23,108,689.00, allegedly representing overpaid income tax or excess creditable withholding tax for calendar year ended December 31, 2002.

As the two-year prescriptive period for the filing of a judicial claim under Section 229 of the National Internal Revenue Code (NIRC) of 1997 was about to lapse without action on the part of petitioner, respondent elevated its case before the Court in Division by way of Petition for Review on April 27, 2004, docketed as C.T.A. Case No. 6970.5

On August 29, 2007, the CTA First Division rendered a Decision6 partially granting respondent�s petition and ordered petitioner to refund or issue a tax credit certificate in the reduced amount of P23,053,919.22 representing excess/unutilized creditable withholding taxes for the taxable year 2002.� The CTA First Division found that respondent complied with the substantiation requirements for it to be entitled to a claim of excess/unutilized tax credits for the said taxable year.� It observed that respondent presented Certificates of Creditable Tax Withheld at Source issued to it by Mirant Pagbilao Corporation (MPagC) and Mirant Sual Corporation (MSC) for the year 2002 and which were found by the court-commissioned auditing firm, SGV & Co., to be faithful reproductions of the original copies of the certificates, duly signed and prepared under the penalties of perjury and are presumed to be true and correct.

The CTA in Division, however, disallowed the amount of P54,769.78 from the amount claimed since respondent�s Annual Income Tax Return only reflected an income of P247,120,318.00 although the income upon which taxes were withheld amounted to P247,668,015.80.� Thus, the tax that corresponds to the difference of P547,697.80 was deducted from the tax claim because the income upon which it was withheld did not form part of the income as declared in respondent�s 2002 ITR.

Petitioner filed a motion for partial reconsideration from the aforementioned decision but the motion was denied by the CTA First Division in a Resolution7 dated February 4, 2008.

Petitioner appealed the decision of the CTA First Division to the CTA En Banc raising the sole issue of whether respondent is entitled to the refund of excess or unutilized creditable withholding taxes for the taxable year 2002 in the amount of P23,053,919.22.

On August 27, 2008, the CTA En Banc denied the petition for lack of merit and affirmed the ruling of the CTA First Division granting respondent�s claim for refund or issuance of tax credit certificate in the amount of P23,053,919.22.

Petitioner�s motion for reconsideration from the foregoing ruling was denied in a Resolution8 dated November 28, 2008.

Hence, petitioner filed the present petition insisting that--

RESPONDENT FAILED TO COMPLY WITH THE REQUIREMENTS FOR REFUND OF CREDITABLE WITHHOLDING TAX.9

Petitioner CIR argues that the withholding of the subject taxes had not been duly proven by respondent. Petitioner posits that in order that the claim for refund of creditable withholding tax will be granted, the claimant must present an authentic certificate of creditable withholding tax. Petitioner points out that the original copies of the subject withholding tax certificates were not presented by respondent before the CTA.� It only presented the testimony of the court-commissioned independent accountant (ICPA), Mr. Henry Tan, who merely identified the certificates and opined that said certificates were faithful reproductions of the original.� Thus, petitioner claims that she was deprived of the opportunity to scrutinize the certificates to determine their authenticity.

Petitioner also assails the CTA En Banc�s ruling brushing aside the fact that mere photocopies were presented and holding that the documents were executed under the penalties of perjury pursuant to Section 267 of the National Internal Revenue Code of 1997.� According to petitioner, even if the documents presented were executed under the penalties of perjury, it does not guarantee that the same were not perjured and does not dispense with the best evidence rule.� She claims that the competent witness who can prove the truth of the contents of the certificates is the person who prepared the same.

In its Comment/Opposition,10 respondent maintains that it had presented the original copies of the withholding tax certificates to the court-commissioned ICPA for examination under the procedures laid down in CTA Circular No. 1-95, as amended by CTA Circular No. 10-97.� Respondent avers that the original copies of those certificates were among the voluminous documents submitted by respondent for examination by the court-commissioned ICPA. Respondent asserts that under the aforementioned circulars, the duly commissioned ICPA was authorized to examine the original copies of the certificates, make photocopies thereof, and certify that the photocopies are faithful reproductions of the original.� It contends that the original copies of the certificates need not be presented in court after the court-commissioned ICPA has submitted his report together with all the supporting documents and testified on his findings and conclusions.� Respondent submits that it is enough that those certificates were properly pre-marked, introduced as evidence and made available to petitioner in case she wants to verify their authenticity.

In reply,11 petitioner stresses that the presentation of Mr. Henry Tan, the court-commissioned ICPA, who identified the withholding tax certificates and testified that said certificates were faithful reproductions of the original, does not satisfy the requirements and conditions for tax refund.� Petitioner adds that tax refunds, like tax exemptions are construed strictly against the taxpayer and a refund claimant is required to prove the inclusion of the income payments which were the basis of the withholding taxes and the fact of withholding.

The main issue to be resolved in this petition is whether respondent has complied with the requirements for refund or issuance of tax credit certificate of creditable withholding taxes for calendar year ended December 31, 2002.

We affirm the ruling of the CTA En Banc that respondent has complied with the requirements for refund of creditable withholding taxes and is therefore entitled to the P23,053,919.22 claim for refund or issuance of tax credit certificate.

A taxpayer claiming for a tax credit or refund of creditable withholding tax must comply with the following requisites:

1) The claim must be filed with the CIR within the two-year period from the date of payment of the tax;

2) It must be shown on the return of the recipient that the income received was declared as part of the gross income; and

3) The fact of withholding is established by a copy of a statement duly issued by the payor to the payee showing the amount paid and the amount of tax withheld.12

The first requirement is based on Section 229 of the National Internal Revenue Code of 1997 which provides that:chanRoblesvirtualLawlibrary

SEC. 229.� Recovery of Tax Erroneously or Illegally Collected. � No suit or proceeding shall be maintained in any court for the recovery of any national internal revenue tax hereafter alleged to have been erroneously or illegally assessed or collected, or of any penalty claimed to have been collected without authority, or of any sum alleged to have been excessively or in any manner wrongfully collected, until a claim for refund or credit has been duly filed with the Commissioner; but such suit or proceeding may be maintained, whether or not such tax, penalty, or sum has been paid under protest or duress.

In any case, no such suit or proceeding shall be filed after the expiration of two (2) years from the date of payment of the tax or penalty regardless of any supervening cause that may arise after payment: Provided, however, That the Commissioner may, even without a written claim therefor, refund or credit any tax, where on the face of the return upon which payment was made, such payment appears clearly to have been erroneously paid. (Underscoring supplied.)

The second and third conditions are specifically imposed under Section 10 of Revenue Regulation No. 6-85 (as amended), which provides:chanRoblesvirtualLawlibrary

Section 10. Claims for tax credit or refund. � (a) Claims for Tax Credit or Refund of income tax deducted and withheld on income payments shall be given due course only when it is shown on the return that the income payment received has been declared as part of the gross income and the fact of withholding is established by a copy of the Withholding Tax Statement duly issued by the payor to the payee showing the amount paid and the amount of tax withheld therefrom xxx.13 (Emphasis supplied.)

There is no dispute that respondent has complied with the first requirement when it filed its administrative claim for tax refund on March 17, 2004 and thereafter filed a petition for review with the CTA on April 27, 2004 or within two years from April 15, 2003, the date of filing of its Annual Income Tax Return.14� Respondent was also able to prove the second requirement by showing in its ITR that the income upon which the creditable withholding taxes were paid was declared as part of its gross income for the taxable year 2002.

As to the third condition, both the CTA First Division and the CTA En Banc ruled that respondent has sufficiently established the fact of withholding by presenting the Certificates of Creditable Tax Withheld at Source issued by MPagC and MSC for the year 2002. We find no cogent reason to deviate from these findings.� Oft-repeated is the rule that the Court will not lightly set aside the conclusions reached by the CTA which, by the very nature of its function of being dedicated exclusively to the resolution of tax problems, has accordingly developed an expertise on the subject, unless there has been an abuse or improvident exercise of authority.15� After a thorough review of the case, we find no abuse or improvident exercise of authority on the part of the CTA in granting respondent�s claim for tax refund.

In the present case, petitioner insists that the fact of withholding had not been established since the original copies of the Certificates of Creditable Tax Withheld at Source were not submitted to the CTA and that the payors or withholding agents or the persons who prepared and executed the Certificates of Creditable Tax Withheld at Source were not presented to prove the authenticity of the certificates.

Petitioner�s contention fails to persuade us.� It should be stressed that respondent presented the original copies of the Certificates of Creditable Tax Withheld at Source to the court-commissioned ICPA who examined the original copies and certified that the copies submitted to the CTA as evidence were faithful reproductions of the original certificates. Said procedure was in accordance with Rule 13 of the Revised Rules of the Court of Tax Appeals which provides, to wit:chanRoblesvirtualLawlibrary

SEC. 2. Duties of independent CPA. � The independent CPA shall perform audit functions in accordance with the generally accepted accounting principles, rules and regulations, which shall include:

(a) Examination and verification of receipts, invoices, vouchers and other long accounts;

(b) Reproduction of, and comparison of such reproduction with, and certification that the same are faithful copies of original documents, and pre-marking of documentary exhibits consisting of voluminous documents;

(c) Preparation of schedules or summaries containing a chronological listing of the numbers, dates and amounts covered by receipts or invoices or other relevant documents and the amount(s) of taxes paid;

(d) Making findings as to compliance with substantiation requirements under pertinent tax laws, regulations and jurisprudence;

(e) Submission of a formal report with certification of authenticity and veracity of findings and conclusions in the performance of the audit;

(f) Testifying on such formal report; and

(g) Performing such other functions as the Court may direct. (Underscoring supplied.)

Pursuant to the foregoing provision, respondent presented the pre-marked copies of the Certificates of Creditable Tax Withheld at Source (Exhibits �G�, �H�, �I� and �J�) issued by MPagC and MSC for the year 2002 together with other pertinent documents and which was identified and verified by the court-commissioned ICPA to be faithful reproductions of the original documents which it had examined and scrutinized.� In the succeeding section, Section 3 of the same rule, it was provided that the submission by the independent CPA of pre-marked documentary evidence shall be subject to verification and comparison with the original documents, the availability of which shall be the primary responsibility of the party possessing such documents and, secondarily, by the independent CPA.

After the pre-marked certificates and other documentary evidence are submitted by respondent to the CTA, respondent�s counsel manifested that the original copies of the documents are available at the respondent�s office in case petitioner wants to verify the existence of the original documents.16� However, petitioner never signified any intention to verify the authenticity of the withholding tax certificates.� It did not interpose any objection when the certificates were formally offered in court as part of respondent�s evidence.� Petitioner made no effort to examine the original certificates to determine its authenticity and to ascertain that the photocopies are faithful reproductions by comparing it with the original copies.� Hence, it cannot now claim that it was deprived of the opportunity to examine and scrutinize the certificates and other documents submitted by respondent.� There was nothing in the records which would cast doubt on the authenticity of the certificates.

Thus, we are in accord with the findings of the CTA First Division and the CTA En Banc that respondent complied with the substantiation requirements for refund of creditable withholding tax.� Here, respondent was able to establish the fact of withholding by submitting a copy of the withholding tax certificates duly issued by MPagC and MSC, as the withholding agent, indicating the name of the payor and showing the income payment basis of the tax withheld and the amount of the tax withheld.� Contrary to petitioner�s assertion, it is not necessary for the person who executed and prepared the Certificates of Creditable Tax Withheld at Source to be presented and to testify personally as to the authenticity of the certificates.� The copies of the Certificates of Creditable Tax Withheld at Source when found by the duly commissioned ICPA to be faithful reproductions of the original copies would suffice to establish the fact of withholding.� This was our ruling in the case of Commissioner of Internal Revenue v. Mirant (Philippines) Operations, Corporation,17 where this Court had agreed with the conclusion of the CTA En Banc stating that

Contrary to petitioner CIR�s contention, the fact of withholding was likewise established through respondent�s presentation of the Certificates of Creditable Tax Withheld At Source, duly issued to it by Southern Energy Pangasinan, Inc. and Southern Energy Quezon, Inc., for the year 2000 x x x.� These certificates were found by the duly commissioned independent CPA to be faithful reproductions of the original copies, as per his Supplementary Report dated March 24, 2003 x x x. (Emphasis supplied.)

As shown in the certificates, respondent�s creditable withholding tax amounted P24,766,801.58, broken down as follows:

Exh. Period Covered Withholding Agent Income Amount Tax Rate Tax Withheld
H
Jan. 2002 to Mar. 2002 Mirant Sual Corporation
81,694,812.20
10% 8,169,481.22
J
April 2002 to June 2002 Mirant Sual Corporation
32,835,093.20
10% 3,283,509.32
G
Jan. 2002 to March 2002 Mirant Pagbilao Corporation
132,590,415.80
10% 13,259,041.58
I
April 2002 to June 2002 Mirant Pagbilao Corporation
547,694.60
10% 54,769.46
247,668,015.80
24,766,801.58


However, its 2002 ITR reflected only the amount of P247,120,318 out of the total income of P247,668,015.80 or a difference of P547,697.80.� Thus, the tax that corresponds to the said amount (P54,769) was properly disallowed by the CTA First Division and CTA En Banc in the determination of respondent�s tax claim since the income upon which it was withheld did not form part of the income declared in the 2002 ITR.

In fine, we find no reason to reverse or modify the findings of the CTA En Banc which granted respondent�s claim for tax refund in the amount of P23,053,919.22.

WHEREFORE, the present petition for review on certiorari is DENIED.� The Decision dated August 27, 2008 and Resolution dated November 28, 2008 of the Court of Tax Appeals En Banc in C.T.A. E.B. No. 369 are hereby AFFIRMED and UPHELD.

No pronouncement as to costs.chanRoblesvirtualLawlibrary

SO ORDERED.

Sereno, C.J., (Chairperson), Leonardo-De Castro, Bersamin, and Reyes, JJ., concur.

Endnotes:


1Rollo, pp. 40-49.� Penned by Associate Justice Erlinda P. Uy, with Presiding Justice Ernesto D. Acosta, Associate Justices Juanito C. Casta�eda, Jr., Lovell R. Bautista, Caesar A. Casanova and Olga Palanca-Enriquez, concurring.

2 Id. at 100-110.� Penned by Associate Justice Caesar A. Casanova, with Presiding Justice Ernesto D. Acosta and Associate Justice Lovell R. Bautista, concurring.

3 Formerly Mirant (Philippines) Operations Corporation.

4 Id. at 51-54.

5 Id. at 41-43.

6 Supra note 2.

7 Id. at 118-120.

8 Supra note 4.

9 Id. at 29.

10 Id. at 147-153.

11 Id. at 205-211.

12Commissioner of Internal Revenue v. Far East Bank & Trust Company (now Bank of the Philippine Islands), G.R. No. 173854, March 15, 2010, 615 SCRA 417, 424, citing Banco Filipino Savings and Mortgage Bank v. Court of Appeals, 548 Phil. 32, 36-37 (2007).

13 As cited in Commissioner of Internal Revenue v. Far East Bank & Trust Company (now Bank of the Philippine Islands), id. at 425 and Banco Filipino Savings and Mortgage Bank v. Court of Appeals, id. at 37.

14 Exhibit �D�.

15Commissioner of Internal Revenue v. Asian Transmission Corporation, G.R. No. 179617, January 19, 2011, 640 SCRA 189, 200.

16 TSN, May 18, 2006, p. 17.

17 G.R. Nos. 171742 & 176165, June 15, 2011, 652 SCRA 80, 98.



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  • G.R. No. 202932, October 23, 2013 - EDILBERTO U. VENTURA, JR., Petitioner, v. SPOUSES PAULINO AND EVANGELINE ABUDA, Respondents.

  • G.R. No.175822, October 23, 2013 - CALIFORNIA CLOTHING, INC. AND MICHELLE S. YBA�EZ, Petitioners, v. SHIRLEY G. QUI�ONES, Respondent.

  • A.M. No. RTJ-05-1962, October 17, 2013 - ATTY. JESSIE TULDAGUE AND ATTY. ALFREDO BALAJO, JR., Complainants, v. JUDGE MOISES PARDO AND JAIME CALPATURA, LEGAL RESEARCHER AND OFFICER-IN-CHARGE, REGIONAL TRIAL COURT, BRANCH 32, CABARROGUIS, QUIRINO, Respondents.; A.M. OCA IPI NO. 05-2243-P, October 17, 2013 - ATTY.JESSIE TULDAGUE AND ATTY. ALFREDO BALAJO, JR., Complainants, v. JAIME CALPATURA, LEGAL RESEARCHER AND OFFICER-IN-CHARGE, BRANCH CLERK OF COURT, REGIONAL TRIAL COURT, BRANCH 32, CABARROGUIS, QUIRINO, Respondent.; A.M. NO. 05-10-661-RTC, October 17, 2013 - RE: REPORT ON THE JUDICIAL AUDIT AND INVESTIGATION CONDUCTED IN THE REGIONAL TRIAL COURT, CABARROGUIS, QUIRINO.

  • G.R. No. 191263, October 16, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. HADJI SOCOR CADIDIA. Accused-Appellant.

  • G.R. No. 193000, October 16, 2013 - SPOUSES FELIPE AND EVELYN SARMIENTO AND SPOUSES GREG AND FELIZA AMARILLO, Petitioners, v. SPOUSES RODOLFO AND CARMELITA MAGSINO, Respondents.

  • G.R. No. 202842, October 09, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. FLORENTINO GALAGAR, JR., ACCUSED-APPELLANT,

  • GR. No. 198261, October 16, 2013 - HECHANOVA BUGAY VILCHEZ LAWYERS, HECHANOVA & CO., INC., ATTY. EDITHA R. HECHANOVA, Petitioners, v. ATTY. LENY O. MATORRE, Respondent.

  • G.R. No. 189827, October 16, 2013 - GERSIP ASSOCIATION, INC., LETICIA ALMAZAN, ANGELA NARVAEZ, MARIA B. PINEDA, LETICIA DE MESAAND ALFREDO D. PINEDA, Petitioners, v. GOVERNMENT SERVICE INSURANCE SYSTEM, Respondent.

  • G.R. No. 196573, October 16, 2013 - VICTORINO OPINALDO, Petitioner, v. NARCISA RAVINA, Respondent.

  • G.R. No. 181852, October 09, 2013 - ERIC V. CHUANICO, Petitioner, v. LEGACY CONSOLIDATED PLANS, INC., Respondent.

  • A.M. No. 13-09-08-SC, October 01, 2013 - RE: REQUEST FOR GUIDANCE/CLARIFICATION ON SECTION 7, RULE III OF REPUBLIC ACT NO. 10154 REQUIRING RETIRING GOVERNMENT EMPLOYEES TO SECURE A CLEARANCE OF PENDENCY/NON-PENDENCY OF CASE/S FROM THE CIVIL SERVICE COMMISSION.

  • G.R. No. 200740, October 02, 2013 - LAND TRANSPORTATION FRANCHISING AND REGULATORY BOARD, JAIME JACOB, AS CHAIRMAN OF THE LTFRB, ARTHUR SAIPUDIN, MELCHOR FRONDA, NIDA QUIBIC, LILIA COLOMA, CYNTHIA DIA, GLENN ZARAGOZA AND JOEL BOLANO, IN THEIR RESPECTIVE CAPACITIES AS CHAIRMAN, VICE-CHAIRMAN AND MEMBERS OF THE SPECIAL BIDS AND AWARDS COMMITTEE, Petitioners, v. STRONGHOLD INSURANCE COMPANY, INC., Respondent.

  • G.R. No. 201109, October 02, 2013 - PEOPLE OF THE PHILIPPINES, Appellee, v. JOVI PORNILLOS Y HALLARE, Appellant.

  • G.R. No. 190622, October 07, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. RODOLFO DE JESUS Y MENDOZA, Accused-Appellant.

  • G.R. No. 172707, October 01, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. HALIL GAMBAO Y ESMAIL, EDDIE KARIM Y USO, EDWIN DUKILMAN Y SUBOH, TONY ABAO Y SULA, RAUL UDAL Y KAGUI, THENG DILANGALEN Y NANDING, JAMAN MACALINBOL Y KATOL, MONETTE RONAS Y AMPIL, NORA EVAD Y MULOK, THIAN PERPENIAN Y RAFON A.K.A LARINA PERPENIAN AND JOHN DOES, Accused-Appellamts.

  • G.R. No. 202158, September 25, 2013 - ERIC ALVAREZ, SUBSTITUTED BY ELIZABETH ALVAREZ-CASAREJOS, Petitioner, v. GOLDEN TRI BLOC, INC. AND ENRIQUE LEE, Respondents.

  • G.R. No. 185383, September 25, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. GIOVANNI OCFEMIA Y CHAVEZ, Accused-Appellant.

  • G.R. No. 191256, September 18, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. GARY ALINAO, Accused-Appellant.

  • G.R. No. 180064, September 16, 2013 - JOSE U. PUA AND BENJAMIN HANBEN U. PUA, Petitioners, v. CITIBANK, N.A., Respondent.

  • G.R. No. 187268, September 04, 2013 - JOVITO C. PLAMERAS, Petitioner, v. PEOPLE OF THE PHILIPPINES, Respondent.

  • G.R. No. 166330, September 11, 2013 - SMART COMMUNICATIONS, INC., Petitioner, v. ARSENIO ALDECOA, JOSE B. TORRE, CONRADO U. PUA, GREGORIO V. MANSANO, JERRY CORPUZ AND ESTELITA ACOSTA, Respondents.

  • A.M. No. P-13-3105 (Formerly A.M. No. 10-7-83-MTCC), September 11, 2013 - OFFICE OF THE COURT ADMINISTRATOR, Complainant, v. DESIDERIO W. MACUSI, JR., SHERIFF IV, REGIONAL TRIAL COURT, BRANCH 25, TABUK CITY, KALINGA, Respondent.

  • A.C. No. 9684, September 18, 2013 - MARY ROSE A. BOTO, Complainant, v. SENIOR ASSISTANT CITY PROSECUTOR VINCENT L. VILLENA, CITY PROSECUTOR ARCHIMEDES V. MANABAT AND ASSISTANT CITY PROSECUTOR PATRICK NOEL P. DE DIOS, Respondents.

  • G.R. No. 201760, September 16, 2013 - LBL INDUSTRIES, INC., Petitioner, v. CITY OF LAPU-LAPU, Respondent.

  • G.R. No. 195395, September 10, 2013 - ENGINEER MANOLITO P. MENDOZA, Petitioner, v. COMMISSION ON AUDIT, Respondent.

  • A.M. No. 2013-08-SC, October 08, 2013 - RE: ADMINISTRATIVE CHARGE OF MISCONDUCT RELATIVE TO THE ALLEGED USE OF PROHIBITED DRUG (�SHABU�) OF REYNARD B. CASTOR, ELECTRICIAN II, MAINTENANCE DIVISION, OFFICE OF ADMINISTRATIVE SERVICES.

  • G.R. No. 174004, October 09, 2013 - VIRGILIO G. CAGATAO, Petitioner, v. GUILLERMO ALMONTE, ARTHUR AGUILAR, SPS. ERNESTO FERNANDEZ AND AVELINA FERNANDEZ, MARVIN JOHN FERNANDEZ, MARSON FERNANDEZ, AND MARJUN FERNANDEZ, Respondents.

  • G.R. No. 187485, October 08, 2013 - COMMISSIONER OF INTERNAL REVENUE, Petitioner, v. SAN ROQUE POWER CORPORATION, Respondent.; G.R. No. 196113, October 08, 2013 - TAGANITO MINING CORPORATION, Petitioner, v. COMMISSIONER OF INTERNAL REVENUE, Respondent.; G.R. No. 197156, October 08, 2013 - PHILEX MINING CORPORATION, Petitioner, v. COMMISSIONER OF INTERNAL REVENUE, Respondent.

  • A.C. No. 4945, October 08, 2013 - MA. JENNIFER TRIA-SAMONTE, Complainant, v. EPIFANIA �FANNY� OBIAS, Respondent.

  • G.R. No. 178008, October 09, 2013 - SAN FERNANDO REGALA TRADING, INC., Petitioner, v. CARGILL PHILIPPINES, INC., Respondent.; G.R. No. 178042, October 09, 2013 - CARGILL PHILIPPINES, INC., Petitioner, v. SAN FERNANDO REGALA TRADING, INC., Respondent.

  • G.R. No. 198699, October 09, 2013 - REXIE A. HORMILLOSA, Petitioner, v. COCA-COLA BOTTLERS PHILS., INC., REPRESENTED BY ITS ILOILO PLANT HUMAN RESOURCE HEAD, ROBERT RICHARD H. DOLAR, Respondent.

  • G.R. No. 197028, October 09, 2013 - REPUBLIC OF THE PHILIPPINES, Petitioner, v. CARMEN VICTORIA BELMONTE REPRESENTED BY HER ATTORNEY-IN-FACT, DANIEL C. VICTORIA, JR., Respondent.

  • G.R. No. 191362, October 09, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. MARCIANO CIAL Y LORENA, Accused-Appellant.

  • G.R. No. 190814, October 09, 2013 - MICHELLE LANA BROWN-ARANETA, FOR HERSELF AND REPRESENTING HER MINOR DAUGHTERS, ARABELLA MARGARITA B. ARANETA AND AVANGELINA MYKAELA B. ARANETA, Petitioners, v. JUAN IGNACIO ARANETA, Respondent.

  • G.R. No. 183110, October 07, 2013 - REPUBLIC OF THE PHILIPPINES, Petitioner, v. AZUCENA SAAVEDRA BATUIGAS, Respondent.

  • G.R. No. 188385, October 02, 2013 - BENITO E. LORENZO, Petitioner, v. GOVERNMENT SERVICE INSURANCE SYSTEM (GSIS) AND DEPARTMENT OF EDUCATION (DEPED), Respondents.

  • G.R. No. 169234, October 02, 2013 - CAMP JOHN HAY DEVELOPMENT CORPORATION, Petitioner, v. CENTRAL BOARD OF ASSESSMENT APPEALS, REPRESENTED BY ITS CHAIRMAN HON. CESAR S. GUTIERREZ, ADELINA A. TABANGIN, IN HER CAPACITY AS CHAIRMAN OF THE BOARD OF TAX (ASSESSMENT) APPEALS OF BAGUIO CITY, AND HON. ESTRELLA B. TANO, IN HER CAPACITY AS THE CITY ASSESSOR OF THE CITY OF BAGUIO, Respondents.

  • G.R. No. 198780, October 16, 2013 - REPUBLIC OF THE PHILIPPINES, Petitioner, v. LIBERTY D. ALBIOS, Respondent.

  • A.C. No. 9532, October 08, 2013 - MARIA CRISTINA ZABALJAUREGUI PITCHER, Complainant, v. ATTY. RUSTICO B. GAGATE, Respondent.

  • G.R. No. 197842, October 09, 2013 - JAIME P. ADRIANO AND LEGASPI TOWERS 300, INC., Petitioners, v. ALBERTO LASALA AND LOURDES LASALA, Respondents.

  • A.C. No. 7922, October 01, 2013 - MARY ANN T. MATTUS, Complainant, v. ATTY. ALBERT T. VILLASECA, Respondent.

  • G.R. No. 190016, October 02, 2013 - FREDERICK VENTURA, MARITES VENTURA-ROXAS, AND PHILIP VENTURA (HEIRS OF DECEASED DOLORES C. VENTURA), Petitioners, v. HEIRS OF SPOUSES EUSTACIO T. ENDAYA AND TRINIDAD L. ENDAYA, NAMELY, TITUS L. ENDAYA, ENRICO L. ENDAYA, AND JOSEPHINE ENDAYA�BANTUG, Respondents

  • G.R. No. 197832, October 02, 2013 - ANITA RAMIREZ, Petitioner, v. PEOPLE OF THE PHILIPPINES, Respondent.

  • G.R. No. 201199, October 16, 2013 - STEEL CORPORATION OF THE PHILIPPINES, Petitioner, v. MAPFRE INSULAR INSURANCE CORPORATION, NEW INDIA ASSURANCE COMPANY LIMITED, PHILIPPINE CHARTER INSURANCE CORPORATION, MALAYAN INSURANCE CO., INC., AND ASIA INSURANCE PHIL. CORP., Respondents.

  • G.R. No. 190862, October 09, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. RICARDO DEARO, PAULINO LUAGUE AND WILFREDO TOLEDO, Accused-Appellants.

  • A.M. No. MTJ-13-1834 (Formerly OCA I.P.I. No. 12-2541-MTJ), October 02, 2013 - JESUS D. CARBAJOSA, Complainant, v. JUDGE HANNIBAL R. PATRICIO, PRESIDING JUDGE, MUNICIPAL CIRCUIT TRIAL COURT, PRESIDENT ROXAS, CAPIZ, Respondent.

  • G.R. No. 202920, October 02, 2013 - RICHARD CHUA, Petitioner, v. THE EXECUTIVE JUDGE, METROPOLITAN TRIAL COURT, MANILA, Respondent.

  • G.R. No. 181508, October 02, 2013 - OSCAR CONSTANTINO, MAXIMA CONSTANTINO AND CASIMIRA MATURINGAN, Petitioners, v. HEIRS OF CONSTANTINO, REPRESENTED BY LAQUINDANUM, PEDRO JR., ASUNCION, Respondent.

  • G.R. No. 184517, October 08, 2013 - SME BANK INC., ABELARDO P. SAMSON, OLGA SAMSON AND AURELIO VILLAFLOR, JR., Petitioners, v. PEREGRIN T. DE GUZMAN, EDUARDO M. AGUSTIN, JR., ELICERIO GASPAR, RICARDO GASPAR JR., EUFEMIA ROSETE, FIDEL ESPIRITU, SIMEON ESPIRITU, JR., AND LIBERATO MANGOBA, Respondents.; G.R. No. 186641, October 08, 2013 - SME BANK INC., ABELARDO P. SAMSON, OLGA SAMSON AND AURELIO VILLAFLOR, JR., Petitioners, v. ELICERIO GASPAR, RICARDO GASPAR, JR., EUFEMIA ROSETE, FIDEL ESPIRITU, SIMEON ESPIRITU, JR., AND LIBERATO MANGOBA, Respondents.

  • G.R. No. 209185, October 25, 2013 - MARC DOUGLAS IV C. CAGAS, Petitioner, v. COMMISSION ON ELECTIONS, REPRESENTED BY ITS CHAIRMAN, ATTY. SIXTO BRILLANTES, JR., AND THE PROVINCIAL ELECTION OFFICER OF DAVAO DEL SUR, REPRESENTED BY ATTY. MA. FEBES BARLAAN, Respondents.

  • G.R. No. 202932, October 23, 2013 - EDILBERTO U. VENTURA, JR., Petitioner, v. SPOUSES PAULINO AND EVANGELINE ABUDA, Respondents.

  • G.R. No.175822, October 23, 2013 - CALIFORNIA CLOTHING, INC. AND MICHELLE S. YBA�EZ, Petitioners, v. SHIRLEY G. QUI�ONES, Respondent.

  • A.M. No. RTJ-05-1962, October 17, 2013 - ATTY. JESSIE TULDAGUE AND ATTY. ALFREDO BALAJO, JR., Complainants, v. JUDGE MOISES PARDO AND JAIME CALPATURA, LEGAL RESEARCHER AND OFFICER-IN-CHARGE, REGIONAL TRIAL COURT, BRANCH 32, CABARROGUIS, QUIRINO, Respondents.; A.M. OCA IPI NO. 05-2243-P, October 17, 2013 - ATTY.JESSIE TULDAGUE AND ATTY. ALFREDO BALAJO, JR., Complainants, v. JAIME CALPATURA, LEGAL RESEARCHER AND OFFICER-IN-CHARGE, BRANCH CLERK OF COURT, REGIONAL TRIAL COURT, BRANCH 32, CABARROGUIS, QUIRINO, Respondent.; A.M. NO. 05-10-661-RTC, October 17, 2013 - RE: REPORT ON THE JUDICIAL AUDIT AND INVESTIGATION CONDUCTED IN THE REGIONAL TRIAL COURT, CABARROGUIS, QUIRINO.

  • G.R. No. 191263, October 16, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. HADJI SOCOR CADIDIA. Accused-Appellant.

  • G.R. No. 193000, October 16, 2013 - SPOUSES FELIPE AND EVELYN SARMIENTO AND SPOUSES GREG AND FELIZA AMARILLO, Petitioners, v. SPOUSES RODOLFO AND CARMELITA MAGSINO, Respondents.

  • G.R. No. 202842, October 09, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. FLORENTINO GALAGAR, JR., ACCUSED-APPELLANT,

  • GR. No. 198261, October 16, 2013 - HECHANOVA BUGAY VILCHEZ LAWYERS, HECHANOVA & CO., INC., ATTY. EDITHA R. HECHANOVA, Petitioners, v. ATTY. LENY O. MATORRE, Respondent.

  • G.R. No. 189827, October 16, 2013 - GERSIP ASSOCIATION, INC., LETICIA ALMAZAN, ANGELA NARVAEZ, MARIA B. PINEDA, LETICIA DE MESAAND ALFREDO D. PINEDA, Petitioners, v. GOVERNMENT SERVICE INSURANCE SYSTEM, Respondent.

  • G.R. No. 196573, October 16, 2013 - VICTORINO OPINALDO, Petitioner, v. NARCISA RAVINA, Respondent.

  • G.R. No. 181852, October 09, 2013 - ERIC V. CHUANICO, Petitioner, v. LEGACY CONSOLIDATED PLANS, INC., Respondent.

  • G.R. No. 180284, September 11, 2013 - NARCISO SALAS, Petitioners, v. ANNABELLE MATUSALEM, Respondent.

  • A.M. No. 13-09-08-SC, October 01, 2013 - RE: REQUEST FOR GUIDANCE/CLARIFICATION ON SECTION 7, RULE III OF REPUBLIC ACT NO. 10154 REQUIRING RETIRING GOVERNMENT EMPLOYEES TO SECURE A CLEARANCE OF PENDENCY/NON-PENDENCY OF CASE/S FROM THE CIVIL SERVICE COMMISSION.

  • G.R. No. 200740, October 02, 2013 - LAND TRANSPORTATION FRANCHISING AND REGULATORY BOARD, JAIME JACOB, AS CHAIRMAN OF THE LTFRB, ARTHUR SAIPUDIN, MELCHOR FRONDA, NIDA QUIBIC, LILIA COLOMA, CYNTHIA DIA, GLENN ZARAGOZA AND JOEL BOLANO, IN THEIR RESPECTIVE CAPACITIES AS CHAIRMAN, VICE-CHAIRMAN AND MEMBERS OF THE SPECIAL BIDS AND AWARDS COMMITTEE, Petitioners, v. STRONGHOLD INSURANCE COMPANY, INC., Respondent.

  • G.R. No. 201109, October 02, 2013 - PEOPLE OF THE PHILIPPINES, Appellee, v. JOVI PORNILLOS Y HALLARE, Appellant.

  • G.R. No. 172707, October 01, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. HALIL GAMBAO Y ESMAIL, EDDIE KARIM Y USO, EDWIN DUKILMAN Y SUBOH, TONY ABAO Y SULA, RAUL UDAL Y KAGUI, THENG DILANGALEN Y NANDING, JAMAN MACALINBOL Y KATOL, MONETTE RONAS Y AMPIL, NORA EVAD Y MULOK, THIAN PERPENIAN Y RAFON A.K.A LARINA PERPENIAN AND JOHN DOES, Accused-Appellamts.

  • G.R. No. 190622, October 07, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. RODOLFO DE JESUS Y MENDOZA, Accused-Appellant.

  • A.M. No. 2013-08-SC, October 08, 2013 - RE: ADMINISTRATIVE CHARGE OF MISCONDUCT RELATIVE TO THE ALLEGED USE OF PROHIBITED DRUG (�SHABU�) OF REYNARD B. CASTOR, ELECTRICIAN II, MAINTENANCE DIVISION, OFFICE OF ADMINISTRATIVE SERVICES.

  • G.R. No. 174004, October 09, 2013 - VIRGILIO G. CAGATAO, Petitioner, v. GUILLERMO ALMONTE, ARTHUR AGUILAR, SPS. ERNESTO FERNANDEZ AND AVELINA FERNANDEZ, MARVIN JOHN FERNANDEZ, MARSON FERNANDEZ, AND MARJUN FERNANDEZ, Respondents.

  • A.C. No. 4945, October 08, 2013 - MA. JENNIFER TRIA-SAMONTE, Complainant, v. EPIFANIA �FANNY� OBIAS, Respondent.

  • G.R. No. 187485, October 08, 2013 - COMMISSIONER OF INTERNAL REVENUE, Petitioner, v. SAN ROQUE POWER CORPORATION, Respondent.; G.R. No. 196113, October 08, 2013 - TAGANITO MINING CORPORATION, Petitioner, v. COMMISSIONER OF INTERNAL REVENUE, Respondent.; G.R. No. 197156, October 08, 2013 - PHILEX MINING CORPORATION, Petitioner, v. COMMISSIONER OF INTERNAL REVENUE, Respondent.

  • G.R. No. 178008, October 09, 2013 - SAN FERNANDO REGALA TRADING, INC., Petitioner, v. CARGILL PHILIPPINES, INC., Respondent.; G.R. No. 178042, October 09, 2013 - CARGILL PHILIPPINES, INC., Petitioner, v. SAN FERNANDO REGALA TRADING, INC., Respondent.

  • G.R. No. 198699, October 09, 2013 - REXIE A. HORMILLOSA, Petitioner, v. COCA-COLA BOTTLERS PHILS., INC., REPRESENTED BY ITS ILOILO PLANT HUMAN RESOURCE HEAD, ROBERT RICHARD H. DOLAR, Respondent.

  • G.R. No. 197028, October 09, 2013 - REPUBLIC OF THE PHILIPPINES, Petitioner, v. CARMEN VICTORIA BELMONTE REPRESENTED BY HER ATTORNEY-IN-FACT, DANIEL C. VICTORIA, JR., Respondent.

  • G.R. No. 181852, October 09, 2013 - ERIC V. CHUANICO, Petitioners, v. LEGACY CONSOLIDATED PLANS, INC., Respondent.

  • G.R. No. 181852, October 09, 2013 - ERIC V. CHUANICO, Petitioner, v. LEGACY CONSOLIDATED PLANS, INC., Respondent.

  • G.R. No. 190814, October 09, 2013 - MICHELLE LANA BROWN-ARANETA, FOR HERSELF AND REPRESENTING HER MINOR DAUGHTERS, ARABELLA MARGARITA B. ARANETA AND AVANGELINA MYKAELA B. ARANETA, Petitioners, v. JUAN IGNACIO ARANETA, Respondent.

  • G.R. No. 191362, October 09, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. MARCIANO CIAL Y LORENA, Accused-Appellant.

  • G.R. No. 183110, October 07, 2013 - REPUBLIC OF THE PHILIPPINES, Petitioner, v. AZUCENA SAAVEDRA BATUIGAS, Respondent.

  • G.R. No. 188385, October 02, 2013 - BENITO E. LORENZO, Petitioner, v. GOVERNMENT SERVICE INSURANCE SYSTEM (GSIS) AND DEPARTMENT OF EDUCATION (DEPED), Respondents.

  • G.R. No. 169234, October 02, 2013 - CAMP JOHN HAY DEVELOPMENT CORPORATION, Petitioner, v. CENTRAL BOARD OF ASSESSMENT APPEALS, REPRESENTED BY ITS CHAIRMAN HON. CESAR S. GUTIERREZ, ADELINA A. TABANGIN, IN HER CAPACITY AS CHAIRMAN OF THE BOARD OF TAX (ASSESSMENT) APPEALS OF BAGUIO CITY, AND HON. ESTRELLA B. TANO, IN HER CAPACITY AS THE CITY ASSESSOR OF THE CITY OF BAGUIO, Respondents.

  • G.R. No. 198780, October 16, 2013 - REPUBLIC OF THE PHILIPPINES, Petitioner, v. LIBERTY D. ALBIOS, Respondent.

  • G.R. No. 197842, October 09, 2013 - JAIME P. ADRIANO AND LEGASPI TOWERS 300, INC., Petitioners, v. ALBERTO LASALA AND LOURDES LASALA, Respondents.

  • A.C. No. 9532, October 08, 2013 - MARIA CRISTINA ZABALJAUREGUI PITCHER, Complainant, v. ATTY. RUSTICO B. GAGATE, Respondent.

  • G.R. No. 190016, October 02, 2013 - FREDERICK VENTURA, MARITES VENTURA-ROXAS, AND PHILIP VENTURA (HEIRS OF DECEASED DOLORES C. VENTURA), Petitioners, v. HEIRS OF SPOUSES EUSTACIO T. ENDAYA AND TRINIDAD L. ENDAYA, NAMELY, TITUS L. ENDAYA, ENRICO L. ENDAYA, AND JOSEPHINE ENDAYA�BANTUG, Respondents

  • A.C. No. 7922, October 01, 2013 - MARY ANN T. MATTUS, Complainant, v. ATTY. ALBERT T. VILLASECA, Respondent.

  • G.R. No. 201199, October 16, 2013 - STEEL CORPORATION OF THE PHILIPPINES, Petitioner, v. MAPFRE INSULAR INSURANCE CORPORATION, NEW INDIA ASSURANCE COMPANY LIMITED, PHILIPPINE CHARTER INSURANCE CORPORATION, MALAYAN INSURANCE CO., INC., AND ASIA INSURANCE PHIL. CORP., Respondents.

  • G.R. No. 197832, October 02, 2013 - ANITA RAMIREZ, Petitioner, v. PEOPLE OF THE PHILIPPINES, Respondent.

  • G.R. No. 190862, October 09, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. RICARDO DEARO, PAULINO LUAGUE AND WILFREDO TOLEDO, Accused-Appellants.

  • A.M. No. MTJ-13-1834 (Formerly OCA I.P.I. No. 12-2541-MTJ), October 02, 2013 - JESUS D. CARBAJOSA, Complainant, v. JUDGE HANNIBAL R. PATRICIO, PRESIDING JUDGE, MUNICIPAL CIRCUIT TRIAL COURT, PRESIDENT ROXAS, CAPIZ, Respondent.

  • G.R. No. 202920, October 02, 2013 - RICHARD CHUA, Petitioner, v. THE EXECUTIVE JUDGE, METROPOLITAN TRIAL COURT, MANILA, Respondent.

  • G.R. No. 181508, October 02, 2013 - OSCAR CONSTANTINO, MAXIMA CONSTANTINO AND CASIMIRA MATURINGAN, Petitioners, v. HEIRS OF CONSTANTINO, REPRESENTED BY LAQUINDANUM, PEDRO JR., ASUNCION, Respondent.

  • G.R. No. 184517, October 08, 2013 - SME BANK INC., ABELARDO P. SAMSON, OLGA SAMSON AND AURELIO VILLAFLOR, JR., Petitioners, v. PEREGRIN T. DE GUZMAN, EDUARDO M. AGUSTIN, JR., ELICERIO GASPAR, RICARDO GASPAR JR., EUFEMIA ROSETE, FIDEL ESPIRITU, SIMEON ESPIRITU, JR., AND LIBERATO MANGOBA, Respondents.; G.R. No. 186641, October 08, 2013 - SME BANK INC., ABELARDO P. SAMSON, OLGA SAMSON AND AURELIO VILLAFLOR, JR., Petitioners, v. ELICERIO GASPAR, RICARDO GASPAR, JR., EUFEMIA ROSETE, FIDEL ESPIRITU, SIMEON ESPIRITU, JR., AND LIBERATO MANGOBA, Respondents.

  • G.R. No. 209185, October 25, 2013 - MARC DOUGLAS IV C. CAGAS, Petitioner, v. COMMISSION ON ELECTIONS, REPRESENTED BY ITS CHAIRMAN, ATTY. SIXTO BRILLANTES, JR., AND THE PROVINCIAL ELECTION OFFICER OF DAVAO DEL SUR, REPRESENTED BY ATTY. MA. FEBES BARLAAN, Respondents.

  • G.R. No. 202932, October 23, 2013 - EDILBERTO U. VENTURA, JR., Petitioner, v. SPOUSES PAULINO AND EVANGELINE ABUDA, Respondents.

  • G.R. No.175822, October 23, 2013 - CALIFORNIA CLOTHING, INC. AND MICHELLE S. YBA�EZ, Petitioners, v. SHIRLEY G. QUI�ONES, Respondent.

  • A.M. No. RTJ-05-1962, October 17, 2013 - ATTY. JESSIE TULDAGUE AND ATTY. ALFREDO BALAJO, JR., Complainants, v. JUDGE MOISES PARDO AND JAIME CALPATURA, LEGAL RESEARCHER AND OFFICER-IN-CHARGE, REGIONAL TRIAL COURT, BRANCH 32, CABARROGUIS, QUIRINO, Respondents.; A.M. OCA IPI NO. 05-2243-P, October 17, 2013 - ATTY.JESSIE TULDAGUE AND ATTY. ALFREDO BALAJO, JR., Complainants, v. JAIME CALPATURA, LEGAL RESEARCHER AND OFFICER-IN-CHARGE, BRANCH CLERK OF COURT, REGIONAL TRIAL COURT, BRANCH 32, CABARROGUIS, QUIRINO, Respondent.; A.M. NO. 05-10-661-RTC, October 17, 2013 - RE: REPORT ON THE JUDICIAL AUDIT AND INVESTIGATION CONDUCTED IN THE REGIONAL TRIAL COURT, CABARROGUIS, QUIRINO.

  • G.R. No. 193000, October 16, 2013 - SPOUSES FELIPE AND EVELYN SARMIENTO AND SPOUSES GREG AND FELIZA AMARILLO, Petitioners, v. SPOUSES RODOLFO AND CARMELITA MAGSINO, Respondents.

  • G.R. No. 191263, October 16, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. HADJI SOCOR CADIDIA. Accused-Appellant.

  • G.R. No. 202842, October 09, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. FLORENTINO GALAGAR, JR., ACCUSED-APPELLANT,

  • GR. No. 198261, October 16, 2013 - HECHANOVA BUGAY VILCHEZ LAWYERS, HECHANOVA & CO., INC., ATTY. EDITHA R. HECHANOVA, Petitioners, v. ATTY. LENY O. MATORRE, Respondent.

  • G.R. No. 196573, October 16, 2013 - VICTORINO OPINALDO, Petitioners, v. NARCISA RAVINA, Respondent.

  • G.R. No. 196573, October 16, 2013 - VICTORINO OPINALDO, Petitioner, v. NARCISA RAVINA, Respondent.

  • G.R. No. 189827, October 16, 2013 - GERSIP ASSOCIATION, INC., LETICIA ALMAZAN, ANGELA NARVAEZ, MARIA B. PINEDA, LETICIA DE MESAAND ALFREDO D. PINEDA, Petitioners, v. GOVERNMENT SERVICE INSURANCE SYSTEM, Respondent.

  • A.M. No. P-12-3047, October 15, 2013 - OFFICE OF THE COURT ADMINISTRATOR, Petitioners, v. NANCY R. LEAL, CLERK OF COURT II, MUNICIPAL CIRCUIT TRIAL COURT (MCTC) -STA. IGNACIA-MAYANTOC-SAN CLEMENTE-SAN JOSE, TARLAC, Respondent.

  • G.R. No. 190872, October 17, 2013 - REPUBLIC OF THE PHILIPPINES, REPRESENTED BY THE COMMISSIONER OF INTERNAL REVENUE, Petitioners, v. GST PHILIPPINES, INC., Respondent.

  • A.M. OCA IPI No. 09-3138-P (Formerly A.M. No. 09-1-19-MTCC), October 22, 2013 - REPORT ON THE FINANCIAL AUDIT CONDUCTED IN THE MUNICIPAL TRIAL COURT IN CITIES, TAGUM CITY, DAVAO DEL NORTE. OFFICE OF THE COURT ADMINISTRATOR, Complainant, v. JUDGE ISMAEL L. SALUBRE, MR. NERIO L. EDIG AND MS. BELLA LUNA C. ABELLA, MS.; A.M. NO. MTJ-05-1618 (FORMERLY A.M. NO. 05-10-282-MTCC) - DELIA R. PALERO AND MR. MACARIO HERMOGILDO S. AVENTURADO, ALL OF MUNICIPAL TRIAL COURT IN CITIES, TAGUM CITY, DAVAO DEL NORTE, Respondent.

  • G.R. No. 181753, October 09, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. RAMON PLACER, Accused-Appellant.

  • G.R. No. 185728, October 16, 2013 - COMMISSIONER OF INTERNAL REVENUE, Petitioners, v. TEAM (PHILIPPINES) OPERATIONS CORPORATION [FORMERLY MIRANT (PHILIPPINES) OPERATIONS CORPORATION], Respondent.

  • G.R. No. 199901, October 09, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. GARYZALDY GUZON, Accused-Appellant.

  • G.R. No. 203786, October 23, 2013 - AQUILES RIOSA, Petitioners, v. TABACO LA SUERTE CORPORATION, Respondent.

  • A.M. No. RTJ-11-2259 (Formerly OCA IPI No. 10-3441-RTJ), October 22, 2013 - MA. REGINA S. PERALTA, Complainant, v. JUDGE GEORGE E. OMELIO, Respondent.; A.M. NO. RTJ-11-2264 (FORMERLY OCA IPI NO. 10-3368-RTJ) - ROMUALDO G. MENDOZA, Complainant, v. JUDGE GEORGE E. OMELIO, Respondent.; A.M. NO. RTJ-11-2273 (FORMERLY OCA IPI NO. 10-3381-RTJ) - ATTY. ASTERIA E. CRUZABRA, Complainant, v. JUDGE GEORGE E. OMELIO, Respondent.

  • G.R. No. 196036, October 23, 2013 - ELIZABETH M. GAGUI, Petitioners, v. SIMEON DEJERO AND TEODORO R. PERMEJO, Respondent.

  • G.R. No. 184369, October 23, 2013 - HEIRS OF FLORENTINO QUILO, NAMELY: BENJAMIN V. QUILO, JAIME V. QUILO, CELEDO�A Q. RAMIREZ, IMELDA Q. ANCLOTE, ZENAIDA Q. BAITA, ORLANDO V. QUILO, EVANGELINE Q. PALAGANAS, ARTURO V. QUILO, AND LOLITA Q. SEISMUNDO, Petitioners, v. DEVELOPMENT BANK OF THE PHILIPPINES-DAGUPAN BRANCH, AND SPOUSES ROBERTO DEL MINDO AND CARLINA DEL MINDO, Respondent.

  • A.M. No. P-13-3155 [Formerly O.C.A. IPI No. 10-3530-P], October 21, 2013 - JOEFIL BAGUIO, Complainant, v. MARIA FE V. ARNEJO, Respondent.

  • A.M. No. RTJ-13-2359 (Formerly O.C.A. IPI No. 12-3851-RTJ), October 23, 2013 - ATTY. JEROME NORMAN L. TACORDA FOR: ODEL L. GEDRAGA, Complainant, v. JUDGE REYNALDO B. CLEMENS, Respondent.

  • G.R. No. 198400, October 07, 2013 - FE ABELLA Y PERPETUA, Petitioners, v. PEOPLE OF THE PHILIPPINES, Respondent.

  • A.M. No. P-11-3006 [Formerly A.M. No. 11-9-105-MTCC], October 23, 2013 - THE OFFICE OF THE COURT OF ADMINISTRATOR, Complainant, v. MA. THERESA G. ZERRUDO, CLERK OF COURT, MUNICIPAL TRIAL COURT IN CITIES, ILOILO CITY, Respondent.

  • G.R. No. 162802, October 09, 2013 - EDS MANUFACTURING, INC., Petitioners, v. HEALTHCHECK INTERNATIONAL INC., Respondent.

  • G.R. Nos. 207199-200, October 22, 2013 - WIGBERTO R. TA�ADA, JR., Petitioners, v. COMMISSION ON ELECTIONS, ANGELINA D. TAN, AND ALVIN JOHN S. TA�ADA, Respondents.

  • G.R. No. 199210, October 23, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. RICARDO M. VIDA�A, Accused-Appellant.

  • G.R. No. 171136, October 23, 2013 - REPUBLIC OF THE PHILIPPINES, Petitioners, v. LYDIA CAPCO DE TENSUAN, REPRESENTED BY CLAUDIA C. ARUELO, Respondent.

  • G.R. No. 191594, October 16, 2013 - DAVID A. RAYMUNDO, Petitioners, v. GALEN REALTY AND MINING CORPORATION, Respondent.

  • G.R. No. 174321, October 22, 2013 - ROLANDO GANZON, Petitioners, v. FERNANDO ARLOS, Respondent.

  • G.R. No. 190650, October 14, 2013 - ANTONIO JAMES, GERTRUDES JAMES, BEATRIZ JAMES, JERRY JAMES, CECILIA JAMES AND HEIRS OF GORGONIO JAMES, JR. NAMELY: BOND JAMES, SAINT JAMES AND MAY JAMES VARGAS, Petitioners, v. EUREM REALTY DEVELOPMENT CORPORATION, Respondent.

  • G.R. No. 196966, October 23, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. MICHAEL MAONGCO Y YUMONDA AND PHANS BANDALI Y SIMPAL, Accused-Appellants.

  • A.M. No. P-13-3153 (Formerly A.M. No. 13-9-88-MeTC), October 14, 2013 - ATTY. VLADIMIR ALARIQUE T. CABIGAO, Complainant, v. NEPTALI ANGELO V. NERY, SHERIFF III, BRANCH 30, METROPOLITAN TRIAL COURT, MANILA, Respondent.

  • A.C. No. 6732, October 22, 2013 - ATTY. OSCAR L. EMBIDO, REGIONAL DIRECTOR, NATIONAL BUREAU OF INVESTIGATION, WESTERN VISAYAS, REGIONAL OFFICE (NBI-WEVRO), FOR SAN PEDRO, ILOILO CITY, Complainant, v. ATTY. SALVADOR N. PE, JR., ASSISTANT PROVINCIAL PROSECUTOR, SAN JOSE, ANTIQUE, Respondent.

  • A.C. No. 9401, October 22, 2013 - JOCELYN DE LEON, Complainant, v. ATTY. TYRONE PEDRENA, Respondent.

  • G.R. No. 202847, October 23, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. ANTERO GAMEZ Y BALTAZAR, Accused-Appellant.

  • G.R. No. 162826, October 14, 2013 - NARCISO DEGA�OS,1 Petitioner, v. PEOPLE OF THE PHILIPPINES, Respondent.

  • G.R. No. 200053, October 23, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. ALFREDO JOSE Y LAGUA ALIAS "JOJO", JOEY JOSE Y MATUSALEM, ARNOLD MACAMUS ALIAS "KYAM" OR "DIKIAM", FORTUNATO MANGAHAS ALIAS NATO Y SANDIQUE, JOEL BULAUITAN Y MACAMUS AND JOHN DOES, ACCUSED, JOEL BULAUITAN Y MACAMUS, Accused-Appellant.

  • G.R. No. 179990, October 23, 2013 - REPUBLIC OF THE PHILIPPINES, Petitioners, v. DIOSDADA I. GIELCZYK, Respondent.

  • G.R. No. 174626, October 23, 2013 - REPUBLIC OF THE PHILIPPINES, Petitioners, v. LUIS MIGUEL O. ABOITIZ, Respondent.

  • G.R. No. 186332, October 23, 2013 - PLANTERS DEVELOPMENT BANK, Petitioners, v. SPOUSES ERNESTO LOPEZ AND FLORENTINA LOPEZ, SUBSTITUTED BY JOSEPH WILFRED JOVEN, JOSEPH GILBERT JOVEN AND MARLYN JOVEN, Respondent.

  • G.R. No. 169588, October 07, 2013 - JADEWELL PARKING SYSTEMS CORPORATION REPRESENTED BY ITS MANAGER AND AUTHORIZED REPRESENTATIVE NORMA TAN, Petitioners, v. HON. JUDGE NELSON F. LIDUA SR., PRESIDING JUDGE OF THE MUNICIPAL TRIAL COURT BRANCH 3, BAGUIO CITY, BENEDICTO BALAJADIA, EDWIN ANG, "JOHN DOES" AND "PETER DOES", Respondent.

  • G.R. Nos. 178034 and 178117 ,G.R. Nos. 186984-85, October 17, 2013 - ANDREW JAMES MCBURNIE, Petitioners, v. EULALIO GANZON, EGI-MANAGERS, INC. AND E. GANZON, INC., Respondents.

  • G.R. No. 206952, October 22, 2013 - ABANG LINGKOD PARTY-LIST (ABANG LINGKOD), Petitioners, v. COMMISSION ON ELECTIONS, Respondent.

  • G.R. No. 207264, October 22, 2013 - REGINA ONGSIAKO REYES, Petitioners, v. COMMISSION ON ELECTIONS AND JOSEPH SOCORRO B. TAN, Respondents.

  • G.R. No. 170598, October 09, 2013 - FAR EAST BANK & TRUST COMPANY, Petitioners, v. ROBERT MAR CHANTE, A.K.A. ROBERT MAR G. CHAN, Respondent.

  • G.R. No. 175365, October 23, 2013 - CANDIDO S. GEMINA, JR., Petitioners, v. BANKWISE, INC. (THRIFT BANK), LAZARO LL. MADARA, PERFECTO M. PASCUA AND OSMENIO R. GALAPATE, Respondent.

  • G.R. No. 191063, October 09, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. ALDRIN M. GALICIA, Accused-Appellant.

  • G.R. No. 198660, October 23, 2013 - TING TING PUA, Petitioners, v. SPOUSES BENITO LO BUN TIONG AND CAROLINE SIOK CHING TENG, Respondents.

  • G.R. No. 187899, October 23, 2013 - ROBERT DA JOSE AND FRANCISCO OCAMPO Y ANGELES, Petitioners, v. CELERINA R. ANGELES, EDWARD ANGELO R. ANGELES ANDCELINE ANGELI R. ANGELES, Respondent.

  • G.R. No. 189801, October 23, 2013 - OFFICE OF THE OMBUDSMAN (VISAYAS), Petitioners, v. COURT OF APPEALS AND BERMELA A. GABUYA, Respondent.

  • G.R. No. 196051, October 02, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. JADE CUAYCONG Y REMONQUILLO, Accused-Appellant.

  • G.R. No. 202868, October 02, 2013 - PEOPLE OF THE PHILIPPINES, Plaintiff-Appellee, v. MICHAEL ESPERA Y CUYACOT, Accused-Appellant.