Remedial Law: Civil Procedure: G.R. No. 218235/G.R. No. 218266/G.R. No. 218903/G.R. No. 219162
Remedial Law: Civil Procedure: G.R. No. 218235/G.R. No. 218266/G.R. No. 218903/G.R. No. 219162
Remedial Law: Civil Procedure: G.R. No. 218235/G.R. No. 218266/G.R. No. 218903/G.R. No. 219162
DOCTRINE:
FACTS:
Petitioners Revilla were charged of the crime of Plunder, defined and penalized
under Section 2 of Republic Act No. (RA) 7080. Upon arraignment, Napoles and Cambe
pleaded not guilty to the charge against them, while petitioner Revilla refused to enter
any plea; thus, the Sandiganbayan entered a plea of not guilty in his behalf pursuant
to Section 1 ( c ), Rule 116 of the Rules of Court. The Sandiganbayan issued warrants
of arrest against Revilla, Cambe, and Napoles. On the same day, Revilla voluntarily
surrendered to the Philippine National Police (PNP).
Petitioners filed a Petition for Bail. The Sandiganbayan conducted the bail
hearings for Revilla, Cambe, and Napoles. During the bail hearings, the prosecution
presented nine witnesses. The Sandiganbayan denied the separate applications for
bail filed by Revilla, Cambe, and Napoles. The Sandiganbayan held that the
prosecution duly established with strong evidence that Revilla, Cambe, and Napoles,
in conspiracy with one another committed the crime of plunder defined and penalized
under RA 7080; thus, they are not entitled to the constitutional right to bail.
The Court noted that Revilla withdrew his petition before the Court assailing
the Resolution of the Sandiganbayan denying him bail. In withdrawing his petition, he
stated "[he] will avail of the remedies available to him in [the plunder case before the
Sandiganbayan] once the insufficiency of the evidence against him is established.
Accordingly, the Court no longer find it necessary to rule upon the issues raised by
Revilla in his petition in G.R. No. 218232. The Court proceeded to determine whether
or not the Sandiganbayan committed grave abuse of discretion amounting to lack or
excess of jurisdiction in denying bail to Cambe and Napoles, who are charged with the
crime of plunder, after finding strong evidence of their guilt.
ISSUE:
Is the Sandiganbayan correct in denying the application of bail despite the fact
that the evidence on record do not show a clear and strong evidence of his guilt [for]
the crime of plunder?
RULING:
REMEDIAL LAW: CIVIL PROCEDURE
Yes. Section 13, Article III of the 1987 Constitution provides that, All persons,
except those charged with offenses punishable by reclusion perpetua when evidence of
guilt is strong, shall, before conviction, be bailable by sufficient sureties, or be
released on recognizance as may be provided by law. The right to bail shall not be
impaired even when the privilege of the writ of habeas corpus is suspended. Excessive
bail shall not be required. Also under Rule 114 of the Rules of Court emphasizes that
offenses punishable by death, reclusion perpetua or life imprisonment are non-
bailable when the evidence of guilt is strong.
For purposes of bail, the Courtheld in People v. Cabral, that: "by judicial
discretion, the law mandates the determination of whether proof is evident or the
presumption of guilt is strong. 'Proof evident' or 'Evident proof' in this connection has
been held to mean clear, strong evidence which leads a well-guarded dispassionate
judgment to the conclusion that the offense has been committed as charged, that
accused is the guilty agent, and that he will probably be punished capitally if the law
is administered. 'Presumption great' exists when the circumstances testified to are
such that the inference of guilt naturally to be drawn therefrom is strong, clear, and
convincing to an unbiased judgment and excludes all reasonable probability of any
other conclusion." Furthermore, an examination of the entire record -totality of
evidence -is necessary to determine whether there is strong evidence of guilt, for
purposes of granting or denying bail to the accused.
In the present case, we find that the Sandiganbayan did not abuse its discretion
amounting to lack or excess of jurisdiction when it denied bail to Cambe and Napoles,
upon a finding of strong evidence that they committed the crime of plunder in
conspiracy with one another. The Sandiganbayan exercised its judicial discretion
within the bounds of the Constitution, law, rules, and jurisprudence after appreciating
and evaluating the evidence submitted by the parties.
REMEDIAL LAW: CIVIL PROCEDURE