Philippine Supreme Court Jurisprudence


Philippine Supreme Court Jurisprudence > Year 2005 > July 2005 Decisions > G.R. No. 154092 - Mobil Philippines, Inc. v. The City Treasurer of Makati, et al. :




G.R. No. 154092 - Mobil Philippines, Inc. v. The City Treasurer of Makati, et al.

PHILIPPINE SUPREME COURT DECISIONS

FIRST DIVISION

[G.R. NO. 154092 July 14, 2005]

MOBIL PHILIPPINES, INC., Petitioners, v. THE CITY TREASURER OF MAKATI and the CHIEF OF THE LICENSE DIVISION OF THE CITY OF MAKATI, Respondents.

D E C I S I O N

QUISUMBING, J.:

This Petition for Review on Certiorari seeks the reversal of the Decision1 dated November 22, 2001 of the Regional Trial Court of Pasig City, Branch 268, in Civil Case No. 67599, subsequently affirmed in an Order2 dated May 15, 2002.

Petitioner is a domestic corporation engaged in the manufacturing, importing, exporting and wholesaling of petroleum products, while respondents are the local government officials of the City of Makati charged with the implementation of the Revenue Code of the City of Makati, as well as the collection and assessment of business taxes, license fees and permit fees within said city.3

Prior to September 1998, petitioner's principal office was at the National Development Company Building, in 116 Tordesillas St., Salcedo Village, Makati City. On August 20, 1998, petitioner filed an application with the City Treasurer of Makati for the retirement of its business within the City of Makati as it moved its principal place of business to Pasig City.4

In its application, petitioner declared its gross sales/receipts as follows:

Gross Sales Receipts for Calendar Year 1997

P 453,799,493.29

Gross Sales Receipts for Calendar Year 1998

January to August

267,952,766.675

Upon evaluation of petitioner's application, then OIC of the License Division, Ms. Jesusa E. Cuneta, issued to petitioner, a billing slip6 assessing the following taxes against petitioner:

For the 4th Quarter of 1998 (based on 1997 gross sales)

As Manufacturer P 14,439.54

As Wholesaler 550,778.58

Garbage Fee 1,250.00

Sub-Total P 566,468.12

For the Gross Sales made in 1998

As Manufacturer P 40,008.33

As Wholesaler 1,291,630.51

Sub-Total __1,331,638.84

TOTAL ASSESSED BUSINESS TAXES P 1,898,106.967

On September 11, 1998, petitioner paid the assessed amount of P1,898,106.96 under protest. The City Treasurer issued therefor Official Receipt No. 9065025C8 and approved the petitioner's application for retirement of business from Makati to Pasig City.

On July 21, 1999, petitioner filed a claim for P1,331,638.84 refund.9 On August 11, 1999, petitioner received a letter10 denying the claim for refund on the ground that petitioner was merely transferring and not retiring its business, and that the gross sales realized while petitioner still maintained office in Makati from January 1 to August 31, 1998 should be taxed in the City of Makati.11

Petitioner subsequently filed a petition with the Regional Trial Court of Pasig City, Branch 268, seeking the refund of business taxes erroneously collected by the City of Makati.

In its Decision, the trial court ruled as follows:

In summary, the pertinent law provides that a person or entity doing business in the Municipality shall be subject to business tax. The tax shall be fixed by the quarter. The initial tax for the quarter in which a business starts to operate shall be two and one-half percent (2' %) of one percent (1%) of its capital investment. Thereafter, the tax shall be computed based on the gross sales or receipts of the preceding quarter. In the succeeding calendar year, regardless of when the business started to operate, the tax shall be based on the gross sales or receipts for the preceding calendar year. That tax shall accrue on the first day of January of each year and payment shall be made within the first 20 days of January or of each subsequent quarter as the case may be.

Considering therefore that the business tax accrues only on the first day of January as provided in Sec. 3A.07 and becomes payable within the first 20 days thereof or of each subsequent quarter, the payments made by Mobil in the year 1998 are therefore payments for the business tax for 1997 which accrued in January of 1998 and became payable within the first 20 days of January or of each subsequent quarter. Thus, upon retirement in August 1998, the taxes for said year which should accrue in January 1999 [become] immediately payable before the application for retirement can be approved (Ibid, (g), Sec. 3A.08). The assessment of the Chief of the License Division of Makati is therefore with legal basis and does not constitute double taxation.

WHEREFORE, premises considered, the instant petition for refund is hereby DENIED and the case is dismissed for lack of merit.

SO ORDERED.12

Petitioner filed a Motion for Reconsideration13 which was denied in an Order dated May 15, 2002, hence this appeal.

Before us, petitioner alleges now that,

THE TRIAL COURT ERRED IN HOLDING THAT PETITIONER'S BUSINESS TAX PAYMENTS MADE IN 1998 ARE ACTUALLY PAYMENTS FOR BUSINESS TAXES IN 1997. THIS CONCLUSION IS CONTROVERTED BY MAKATI CITY'S REVENUE CODE, AND, IN FACT, CONSTITUTES DOUBLE TAXATION.14

Simply stated, the issue is: Are the business taxes paid by petitioner in 1998, business taxes for 1997 or 1998?chanroblesvirtualawlibrary

According to petitioner, the 1997 gross sales/revenue is merely the basis for the amount of business taxes due for the privilege of carrying on a business in the year when the tax was paid.

For their part, respondents argue that since local taxes, which include business taxes, are paid either within the first twenty days of January of each year or of each subsequent quarter, as the case may be, what the taxpayer actually pays during the recorded calendar year is actually its business tax for the preceding year.

Prefatorily, it is necessary to distinguish between a business tax vis - à-vis an income tax.

Business taxes imposed in the exercise of police power for regulatory purposes are paid for the privilege of carrying on a business in the year the tax was paid. It is paid at the beginning of the year as a fee to allow the business to operate for the rest of the year. It is deemed a prerequisite to the conduct of business.

Income tax, on the other hand, is a tax on all yearly profits arising from property, professions, trades or offices, or as a tax on a person's income, emoluments, profits and the like. It is tax on income, whether net or gross realized in one taxable year.15 It is due on or before the 15th day of the 4th month following the close of the taxpayer's taxable year and is generally regarded as an excise tax, levied upon the right of a person or entity to receive income or profits.

The trial court erred when it said that the payments made by petitioner in 1998 are payments for business tax incurred in 1997 which only accrued in January 1998. Likewise, it erred when it ruled that petitioner was still liable for business taxes based on its gross income/revenue for January to August 1998.

Section 3A.04 of the Makati City Revenue Code states:

Sec.3A.04. Computation of tax for newly-started business. In the case of newly-started business under Sec. 3A.02, (a), (b), (c), (d), (e), (f), (g), (h), (i), (j), (k), (l), and (m) above, the tax shall be fixed by the quarter. The initial tax of the quarter in which the business starts to operate shall be two and one half percent (2 - %) of one percent (1%) of the capital investment.

In the succeeding quarter or quarters, in cases where the business opens before the last quarter of the year, the tax shall be based on the gross sales or receipt for the preceding quarter at one-half ( ') of the rates fixed therefor by the pertinent schedule in Section 3A.02, (a), (b), (c), (d), (e), (f), (g), (h), (i), (j), (k), (l), and (m).

In the succeeding calendar year, regardless of when the business started to operate, the tax shall be based on the gross sales or receipts for the preceding calendar year, or any fraction thereof as provided in the same pertinent schedules.16

Under the Makati Revenue Code, it appears that the business tax, like income tax, is computed based on the previous year's figures. This is the reason for the confusion. A newly-started business is already liable for business taxes (i.e. license fees) at the start of the quarter when it commences operations. In computing the amount of tax due for the first quarter of operations, the business' capital investment is used as the basis. For the subsequent quarters of the first year, the tax is based on the gross sales/receipts for the previous quarter. In the following year(s), the business is then taxed based on the gross sales or receipts of the previous year. The business taxes paid in the year 1998 is for the privilege of engaging in business for the same year, and not for having engaged in business for 1997.

Upon its transfer, petitioner was apparently subjected to Sec. 3A.11 par. (g) which states:

. . .

(g) Retirement of business.

. . .

For purposes thereof, termination shall mean that business operation are stopped completely.

. . .

(2) If it is found that the retirement or termination of the business is legitimate, [a]nd the tax due therefrom be less than the tax due for the current year based on the gross sales or receipts, the difference in the amount of the tax shall be paid before the business is considered officially retired or terminated.17

Based on this foregoing provision, on the year an establishment retires or terminates its business within the municipality, it would be required to pay the difference in the amount if the tax collected, based on the previous year's gross sales or receipts, is less than the actual tax due based on the current year's gross sales or receipts.

For the year 1998, petitioner paid a total of P2,262,122.48 to the City Treasurer of Makati18 as business taxes for the year 1998. The amount of tax as computed based on petitioner's gross sales for 1998 is only P1,331,638.84. Since the amount paid is more than the amount computed based on petitioner's actual gross sales for 1998, petitioner upon its retirement is not liable for additional taxes to the City of Makati. Thus, we find that the respondent erroneously treated the assessment and collection of business tax as if it were income tax, by rendering an additional assessment of P1,331,638.84 for the revenue generated for the year 1998.

WHEREFORE, the assailed Decision is hereby REVERSED and respondents City Treasurer and Chief of the License Division of Makati City are ordered to REFUND to petitioner business taxes paid in the amount of P1,331,638.84. Costs against respondents.

SO ORDERED.

Davide, Jr., C.J., (Chairman), Ynares-Santiago, Carpio, and Azcuna, JJ., concur.

Endnotes:


1 Rollo, pp. 49-55. Penned by Judge Amelia C. Manalastas.

2 Id. at 64-65.

3 Id. at 9.

4 Id. at 10.

5 Id. at 44.

6 Id. at 40.

7 Supra, note 5.

8 Id. at 42.

9 Id. at 43-47.

10 Id. at 48.

11 Id. at 11-12.

12 Id. at 54-55.

13 Id. at 56-63.

14 Id. at 13.

15 Teodoro and De Leon, THE LAW ON INCOME TAXATION, p. 6 (11th ed. 2001) citing 61 C.J.S. 1559 and 27 Am Jur. 308.

16 Rollo, p. 14.

17 Id. at 52-54.

18 P1,695,654.36 for the first to the third quarter of 1998 plus the assessed amount of P566,468.12 for the fourth quarter of 1998, paid on September 11, 1998.




Back to Home | Back to Main




















chanrobles.com





ChanRobles On-Line Bar Review

ChanRobles Internet Bar Review : www.chanroblesbar.com

ChanRobles MCLE On-line

ChanRobles Lawnet Inc. - ChanRobles MCLE On-line : www.chanroblesmcleonline.com






July-2005 Jurisprudence                 

  • G.R. No. 122317 - Fernando Jaramillo, et al. v. Honorable Court of Appeals, et al.

  • G.R. No. 122213 - CDCP Mining Corporation v. Commissioner of Internal Revenue, et al.

  • G.R. No. 130106 - People of the Philippines v. Hon. Perlita J. Tria-Tirona, et al.

  • G.R. No. 131667 - Heirs of Carlos Alcaraz v. Republic of the Philippines, et al.

  • G.R. No. 133545 - Renato S. Sanchez v. Rodolfo M. Quinio, et al.

  • G.R. No. 132527 - Coconut Oil Refiners Association, Inc., et al. v. Hon Ruben Torres, et al.

  • G.R. No. 136325 - Manuel M. Serrano v. Eugenio C. Delica.

  • G.R. NOS. 134587 - Commissioner of Internal Revenue v. Benguet Corporation.

  • G.R. No. 137451 - Jose Rubiato v. The Heirs of Jovito Rubiato, et al.

  • G.R. No. 137772 - Amador Corpuz, et al. v. Edison Lugue, et al.

  • G.R. NOS. 138874-75 - People of the Philippines v. Francisco Juan Larra'aga, et al.

  • G.R. No. 139843 - Consuelo N. Vda. De Gualberto, et al. v. Francisco H. Go, et al.

  • G.R. No. 140555 - New Ever Marketing, Inc. v. Hon. Court of Appeals, et al.

  • G.R. No. 141256 - Estanislao Padilla, Jr. v. Philippine Producers' Cooperative Marketing Association, Inc.

  • G.R. No. 141805 - Genevieve C. Pobre v. Court of Appeals, et al.

  • G.R. No. 142001 - Melinda Madriaga, et al. v. The Honorable Court of Appeals, et al.

  • G.R. No. 142611 - Ligaya Novicio, et al. v. Jose C. Lee, et al.

  • G.R. No. 142612 - Oscar Angeles, et al. v. The Hon. Secretary of Justice, et al.

  • G.R. No. 142675 - Vicente Agote y Matol v. Hon. Manuel F. Lorenzo, et al.

  • G.R. No. 143044 - William Madarang, et al. v. Hon. Court of Appeals, et al.

  • G.R. No. 143338 - The Consolidated Bank and Trust Corporation v. Del Monte Motor Works, Inc., et al.

  • G.R. No. 143896 - Banco Filipino Savings and Mortgage Bank v. Court of Appeals, et al.

  • G.R. NOS. 145156-57 - Solid Homes, Inc. v. Spouses Ancheta K. Tan, et al.

  • Solid Homes Inc v. Tan : 145156-57 : July 29, 2005 : J. Garcia : Third Division : Decision

  • G.R. No. 145271 - Manila Electric Company v. Rogelio Benamira, et al.

  • G.R. No. 145742 - The Philippine Ports Authority v. Cipres Stevedoring & Arrastre, Inc.

  • G.R. No. 145849 - Spouses Jose Bejoc, et al. v. Prima Calderon Cabreros, et al.

  • G.R. No. 146519 - Rural Bank of Calinog (Iloilo), Inc. v. Court of Appeals, et al.

  • G.R. No. 146706 - Tomas Salvador v. The People of the Philippines.

  • G.R. No. 146747 - Manila Electric Company v. Imperial Textile Mills, Inc.

  • G. R. No. 147074 and 147075 - Spouses Rodrigo Paderes, et al. v. Hon. Court of Appeals, et al.

  • G.R. No. 147146 - Jose, Julio and Federico, All Surnamed Junio v. Ernesto D. Garilao.

  • G.R. No. 147417 - Sps. Victor & Milagros Perez, et al. v. Antonio Hermano.

  • G.R. No. 148418 - PCL Shipping Philippines, Inc., et al. v. National Labor Relations Commission, et al.

  • G.R. No. 148431 - SPO2 Ruperto Cabanlig v. Sandiganbayan, et al. Dissenting Opinion J. Ynares-Santiago

  • Cabanlig v. Sandiganbayan : 148431 : July 28, 2005 : J. Ynares-Santiago : First Division : Dissenting Opinion

  • G.R. No. 149179 - Philippine Long Distance Telephone Company, Inc. v. City of Bacolod, et al.

  • G.R. No. 149837 - Department of Agrarian Reform v. Estate of Pureza Herrera.

  • G.R. No. 150197 - Prudential Bank v. Don A. Alviar, et al.

  • G.R. No. 150439 - Amelita Dela Cruz v. People of the Philippines.

  • G.R. No. 150646 - Rolando De Tumol v. Juliana De Tumol Esguerra, et al.

  • G.R. No. 151235 - Heirs of Juan and Ines Panganiban, et al. v. Angelina N. Dayrit.

  • G.R. No. 151438 - Jardine Davies, Inc. v. JRB Realty, Inc.

  • G.R. No. 151352 - Leticia T. Fideldia, et al. v. Spouses Ray and Gloria Songcuan.

  • G.R. No. 151452 - Sps. Antonio C. Santos, et al. v. Hon. Normandie B. Pizardo, et al.

  • G.R. No. 151966 - JPL Marketing Promotions v. Court of Appeals, et al.

  • G.R. No. 152514 - Limketkai Sons Milling Inc., et al. v. Edith C. Llamera.

  • G.R. No. 152188 - Florentino R. Brucal, et al. v. Hon. Aniano A. Desierto, et al.

  • G.R. No. 152658 - Lily Elizabeth Bravo-Guerrero, et al. v. Edward P. Bravo.

  • G.R. No. 152715 - Rogelio Soplente v. People of the Philippines.

  • G.R. No. 153148 - Shie Jie Corporation, et al. v. National Federation of Labor, et al.

  • G.R. No. 152992 - Leonardo David v. Nelson and Danny Cordova.

  • G.R. No. 153951 - Philippine National Bank v. Sanao Marketing Corporation, et al.

  • G.R. No. 153535 - SolidBank Corporation v. Mindanao Ferroalloy Corporation, et al.

  • G.R. No. 154028 - Philippine Geothermal, Inc. v. The Commissioner of Internal Revenue.

  • G.R. No. 154040 - Advance Textile Mills, Inc., v. Willy Tan, et al.

  • G.R. No. 154092 - Mobil Philippines, Inc. v. The City Treasurer of Makati, et al.

  • G.R. NO. 154098 - Jose C. Miranda v. Hon. Sandiganbayan, et al.

  • G.R. No. 154129 - Teresita Dio v. Spouses Virgilio and Luz Roces Japor, et al.

  • G.R. No. 154295 - Metromedia Times Corporation, et al. v. Johnny Pastorin.

  • G.R. No. 154415 - Gaspar Calacala, et al. v. Republic of the Philippines, et al.

  • G.R. No. 154514 - White Gold Marine Services, Inc., v. Pioneer Insurance and Surety Corporation, et al.

  • G.R. No. 155065 - National Power Corporation v. Hon. Sylvia G. Aguirre Paderanga, et al.

  • G.R. No. 154886 - Ludwig H. Adaza v. Sandiganbayan, et al.

  • G.R. No. 155236 - Dr. Teresito V. Orbeta, et al. v. Paul B. Sendiong.

  • G.R. No. 155316 - Porthos P. Alma Jose, et al. v. Intra Strata Insurance Corporation.

  • Rodriguez v. Ponferrada : 155531-34 : July 29, 2005 : J. Panganiban : Third Division : Decision

  • G.R. No. 155335 - People of the Philippines v. Jesus Macapal, Jr.

  • Rodriguez v. Ponferrada : 155531-34 : July 29, 2005 : J. Panganiban : Third Division : Decision

  • G.R. No. 155651 - Coca-Cola Bottlers Philippines, Inc., Sales Force Union-Ptgwo-Balais v. Coca-Cola Bottlers Philippines, Inc.

  • G.R. No. 156262 - Maria Tuazon, et al. v. Heirs of Bartolome Ramos.

  • G.R. No. 157002 - Jose T. Abad v. Spouses Ceasar and Vivian Guimba.

  • G.R. No. 157314 - Far East Bank and Trust Company v. Themistocles Pacilan, Jr.

  • G.R. No. 157329 - Genaro O. Arandilla, Jr., v. Maguindanao Electric Cooperative, Inc. (Magelco), et al.

  • G.R. No. 157371 - Elmer G. Andaya v. National Labor Relations Commission, et al.

  • G.R. No. 157391 - Limitless Potentials, Inc. v. The Hon. Reinato G. Quilala, et al.

  • G.R. No. 157498 - Filipino Metals Corporation, et al. v. Secretary of the Department of Trade and Industry, et al.

  • G.R. No. 158088 - Senator Aquilino Pimentel, Jr., et al. v. Office of the Executive Secretary, et al.

  • G.R. No. 157616 - Isidro Perez, et al. v. Hon. Court of Appeals, et al.

  • G.R. No. 158791 - Civil Service Commission v. Department of Budget and Management.

  • G.R. No. 158130 - Atty. Martin T. Suelto v. Nelson A. Sison, et al.

  • G.R. No. 158797 - People of the Philippines v. Elpidio Enriquez, Jr., et al.

  • G.R. No. 159571 - Delfina Vda. De Rigonan, et al. v. Zoroaster Derecho, et al.

  • G.R. No. 160420 - Daniel Aninao, et al. v. Asturias Chemical Industries, Inc.

  • G.R. No. 161629 - Atty. Ronaldo P. Ledesma v. Hon. Court of Appeals, et al.

  • G.R. No. 160560 - Department of Agrarian Reform v. Republic of the Philippines.

  • G.R. No. 161882 - Bukidnon Doctor's Hospital, Inc. v. Metropolitan Bank & Trust Co.

  • G.R. No. 161833 - Philippine Charter Insurance Corporation v. Unknown Owner of the Vessel MV "National Honor", et al.

  • G.R. No. 162472 - Kay Products, Inc., et al. v. Honorable Court of Appeals, et al.

  • G.R. No. 162704 - Memoria G. Encinas, et al. v. National Bookstore, Inc.

  • G.R. No. 162783 - Philippine Long Distance Telephone Co. Inc. v. Manggagawa ng Komunikasyon sa Pilipinas, et al.

  • G.R. No. 162788 - Spouses Julita Dela Cruz, et al. v. Pedro Joaquin.

  • G.R. No. 163573 - Leonora B. Ignacio v. Civil Service Commission, et al.

  • G.R. No. 163597 - Hyatt Industrial Manufacturing Corp. v. Asia Dynamic Electrix Corp., et al.

  • G.R. No. 163866 - Isidro Olivarez v. Court of Appeals, et al. Dissenting Opinion J. Carpio

  • Olivarez v. CA: 163866 : July 29, 2005 : J. Carpio : Dissenting Opinion

  • G.R. No. 164041 - Rosendo Alba v. Court of Appeals, et al.

  • G.R. No. 166302 - Lotte Phil. Co., Inc., v. Erlinda Dela Cruz, et al.

  • G.R. No. 164921 - Rosendo H. Escara v. People of the Philippines.

  • FFI Dagupan Lending Investors Inc v. Hortaleza : AM P-05-1952 : July 8, 2005 : J. Austria-Martinez : Second Division : Resolution

  • Rondina v. Bello Jr : AM CA-05-43 : July 8, 2005 : J. Callejo Sr : En Banc : Resolution

  • FFI Dagupan Lending Investors Inc v. Hortaleza : AM P-05-1952 : July 8,2005 : J. Austria-Martinez : Second Division : Resolution

  • A.M. No. 00-6-09-SC - RE: Imposition of Corresponding Penalties for Habitual Tardiness Committed During the Second Semester of 2004 by the following Employees: Rodolfo E. Cabral, et al.

  • Re: Letter Dated 21 February 2005 of Atty Sorreda : AM 05-3-04-SC : July 22, 2005 : J. Garcia : En Banc : Resolution

  • RE: Letter of Atty Sorreda : AM 05-3-04-SC : July 22, 2005 : J. Garcia : En Banc : Resolution

  • A.M. No. 05-3-04-SC - RE: Letter Dated 21 February 2005 of Atty. Noel S. Sorreda.

  • Admin Case of Dishonesty : AM 2001-7-SC : July 22, 2005 : J. Chico-Nazario : En Banc : Decision

  • Dumaua v. Ramirez : AM MTJ-04-1546 : July 29, 2005 : J. Quisumbing : First Division : Resolution

  • A.M. NO. CA-05-43 - Rafael Rondina, et al. v. Associate Justice Eloy R. Bello, Jr.,

  • Vidal v. Dojillo : Am MTJ-05-1591 : July 14, 2005 : J. Austria-Martinez : Second Division : Decision

  • Batic v. Galapon : AM MTJ-99-1239 : July 29, 2005 : J. Azcuna : First Division : Decision

  • A.M. No. MTJ-05-1591 - Rodrigo "Jing" N. Vidal v. Judge Jaime L. Dojillo, Jr.

  • A.M. No. MTJ-04-1546 - Sps. Angel and Felina Dumaua v. Judge Angerico B. Ramirez.

  • Rondina v. Bello : AM OCA IPI 004-72-CA-J : July 8, 2005 : J. Callejo Sr : En Banc : Resolution

  • A.M. No. MTJ-99-1239 - Vicente M. Batic v. Judge Victorio L. Galapon, Jr.

  • Bueviaje v. Anatalio : AM P-00-1361 : July 29, 2005 : J. Austria-Martinez : Second Division : Resolution

  • Reyes v. Cabusao : AM P-03-1676 : July 15, 2005 : J. Callejo Sr : Second Division : Decision

  • Tan v. Paredes : AM P-04-1789 : July 22, 2005 : Per Curiam : En Banc : Resolution

  • Apostol v. Ipac : AM P-04-1865 : July 28, 2005 : J. Carpio-Morales : Third Division : Decision

  • Dagupan Lending v. Hortaleza : AM P-05-1952 : July 8, 2005 : J. Austria-Martinez : Second Division : Resolution

  • Garcera v. Parrone : AM P-05-2030 : July 15, 2005 : J. Carpio-Morales : Third Division : Decision

  • OCA v. Villaflor : AM P-05-1991 : July 28, 2005 : J. Ynares-Santiago : First Division : Decision

  • Duque v. Aspiras : AM P-05-2036 : July 15, 2005 : J. Tinga : Second Division : Resolution

  • Bernal Jr v. Fernandez : AM P-05-2045 : July 29, 2005 : J. Carpio-Morales : Third Division : Decision

  • A.M. No. P-00-1361 - Jeanifer Buenviaje, et al. v. Arturo Anatalio.

  • A.M. No. P-03-1676 - Ramon Reyes v. Benjamin L. Cabusao.

  • A.M. No. P-04-1789 - Judge Jose Manuel P. Tan v. Henry G. Paredes.

  • A.M. No. P-04-1865 - Nelda Apostol v. Junie Jovencio Ipac, Sheriff IV, Regional Trial Court - Office of the Clerk of Court, Malolos City.

  • A.M. No. P-05-1991 - Office of the Court Administrator v. Dolores T. Villaflor, et al.

  • A.M. No. P-05-1952 - F.F.I. Dagupan Lending Investors, Inc., et al. v. Vinez A. Hortaleza.

  • A.M. No. P-05-2030 - Celestino A. Garcera II v. Othello A. Parrone.

  • A.M. No. P-05-2036 - Paul G. Duque v. Branch Clerk of Court Romeo B. Aspiras, et al.

  • A.M. No. P-05-2045 - Bienvenido Bernal, Jr. v. Jocelyn Fernandez.

  • De La Paz v. Adiong : AM RTJ-04-1857 : July 29, 2005 : J. Austria-Martinez : En Banc : Resolution

  • Anonymous Compalint against Acua : AM RTJ-04-1891 : July 28, 2005 : J. Callejo Sr : Second Division : Decision

  • Suarez-De Leon v. Estrella : AM RTJ-05-1935 : July 29, 2005 : J. Austria-Martinez : Second Division : Resolution

  • Elefant v. Inting : AM RTJ-05-1938 : July 15, 2005 : J. Ynares-Santiago : First Division : Decision

  • Opis v. Dimaano : AM RTJ-05-1942 : July 28, 2005 : J. Callejo Sr : Second Division : Decision

  • Dulay v. Lelina : AM RTJ-99-1516 : July 14, 2005 : J. Ynares-Santiago : First Division : Decision

  • A.M. No. RTJ-04-1857 - Gabriel De La Paz v. Judge Santos B. Adiong.

  • A.M. No. RTJ-04-1891 - Re: Anonymous complaint against Judge Edmundo T. Acu a, Regional Trial Court, Caloocan City, Branch 123.

  • A.M. No. RTJ-05-1935 - Evelyn Suarez-De Leon v. Judge Santiago G. Estrella.

  • A.M. No. RTJ-05-1938 - Rovinna De Jesus Elefant v. Judge Socorro B. Inting, et al.

  • A.M. No. RTJ-99-1516 - Onofre G. Dulay, et al. v. Judge Elias O. Lelina, Jr.

  • A.M. No. RTJ-05-1942 - Restituto L. Opis v. Judge Rodolfo B. Dimaano, et al.

  • OCA-IPI No. 04-7-358-RTC - Judicial Audit and Physical Inventory of Confiscated Cash, Surety and Property Bonds at the Regional Trial Court of Tarlac City, Branches 63, 64 and 65.