Petitioners Vs Vs Respondents: Special Second Division
Petitioners Vs Vs Respondents: Special Second Division
Petitioners Vs Vs Respondents: Special Second Division
RESOLUTION
BRION , J : p
The petitioners denied liability, contending that the amounts the respondents
received represented a fair and reasonable settlement of their claims, as attested to by the
release/quitclaim a davits which they executed freely and voluntarily. They belied the
respondents' claimed salary rates, alleging that they each received a monthly salary of
P9,177.00, as shown by the payrolls.
On July 18, 2007, Labor Arbiter Patricio Libo-on dismissed the illegal dismissal
complaint, but ordered the payment of additional separation pay to the respondents —
P490,066.00 for Ybarola and P429,517.55 for Rivera. 5 The labor arbiter adjusted the
separation pay award based on the respondents' Certi cates of Compensation
Payment/Tax Withheld showing that Ybarola and Rivera were receiving an annual salary of
P482,477.61 and P697,303.00, respectively.
CD Technologies Asia, Inc. 2018 cdasiaonline.com
On appeal by the petitioners to the National Labor Relations Commission (NLRC),
the NLRC set aside the labor arbiter's decision and dismissed the complaint for lack of
merit. 6 It ruled that the withholding tax certi cate cannot be the basis of the computation
of the respondents' separation pay as the tax document included the respondents' cost-of-
living allowance and commissions; as a general rule, commissions cannot be included in
the base gure for the computation of the separation pay because they have to be earned
by actual market transactions attributable to the respondents, as held by the Court in
Soriano v. NLRC 7 and San Miguel Jeepney Service v. NLRC. 8 The NLRC upheld the validity
of the respondents' quitclaim a davits as they failed to show that they were forced to
execute the documents.
From the NLRC, the respondents sought relief from the CA through a petition for
certiorari under Rule 65 of the Rules of Court. acCITS
Footnotes
1.Rollo, pp. 204-220.
2.Id. at 202-203.
5.Id. at 69-84.
6.Id. at 103-111; Resolution dated January 26, 2009.
CD Technologies Asia, Inc. 2018 cdasiaonline.com
7.239 Phil. 119 (1987).
8.332 Phil. 804 (1996).
9.Supra note 3.
10.Supra note 4.
11.Supra note 2.
14.Id. at 248-255.
15.Supra note 6, at 107.
16.G.R. No. 110068, November 11, 1993, 227 SCRA 747, 753.