[go: up one dir, main page]

0% found this document useful (0 votes)
190 views5 pages

Motionns For Defernment and Withdraw

This document contains two motions filed in the Regional Trial Court Branch 4 in Kalibo, Aklan, Philippines. The first motion is a request to postpone a hearing scheduled for May 14, 2021 due to the defendant's counsel being ill. The second motion is to allow the defendant's counsel to withdraw from the case for health reasons and with the consent of the defendant. Both motions relate to a civil case regarding ownership and damages.

Uploaded by

bhem silverio
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd
0% found this document useful (0 votes)
190 views5 pages

Motionns For Defernment and Withdraw

This document contains two motions filed in the Regional Trial Court Branch 4 in Kalibo, Aklan, Philippines. The first motion is a request to postpone a hearing scheduled for May 14, 2021 due to the defendant's counsel being ill. The second motion is to allow the defendant's counsel to withdraw from the case for health reasons and with the consent of the defendant. Both motions relate to a civil case regarding ownership and damages.

Uploaded by

bhem silverio
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd
You are on page 1/ 5

Republic of the Philippines

SIXTH JUDICIAL REGION


REGIONAL TRIAL COURT
Branch 4
Kalibo, Aklan

SPS. WILFREDO and MARIETTA


TULAYAN and AIDA R. MALIJAN
Plaintiff,

-versus- Civil Case No. 11369


For: QUIETING OF TITLE,
DECLARATION OF NULLITY
OF DOCUMENT,OWNERSHIP
and DAMAGES

HEIRS OF SPS. PACIFICO


and ANGELITA T. SINTONES
represented by their succes-
sor in interest, ROSALINA S.
MOPIA, and all those claiming
Rights under them, whose
Identities are unknown.
Defendants,
x----------------------------------------------x

MOTION FOR POSTPONEMENT/DEFERMENT HEARING

COMES NOW Defendant, thru undersigned counsel, unto this


Honourable Court respectfully states:

1. That the above entitled case is set for hearing on May 14,
2021;

2. That counsel for defendant is afflicted with flu like


symptoms and is now under the medical care of Dr. Dani
Kaye Arriola. A copy of the physician’s certificate under CN-
2021-0335 is hereto attached as ANNEX “A”

WHEREFORE, it is respectfully prayed that the hearing set on


May 14, 2021 be reset to another day preferably on the third week
of June, 2021 or at the convenience of this Honorable Court.

Sablayan, Occidental Mindoro, May 6, 2021.

ATTY. MELVIE E. SILVERIO-DACAYANAN


Counsel for the Defendant
1261 Claudio Salgado Street,Buenavista
Sablayan, Occidental Mindoro
Roll of Attorneys No. 68003
IBP Lifetime Roll No. 016948
PTR No. B-8378984, Occ. Mindoro
MCLE Compliance No. VI-0016804
bhem197896@gmail.com

COPY FURNISHED:

ILEDAN MATIONG LAW OFFICES


Counsel for the Plaintiffs
2nd Floor, LM Bldg.
F. Quimpo St., Kalibo, Aklan
Tel. (036) 272-4326

EXPLANATION

Copy of the foregoing Pre-Trial Brief was served to the adverse party
by registered mail with return card, personal service being
impracticable due to the distance and lack of personnel to effect
such service.

ATTY. MELVIE SILVERIO-DACAYANAN


Counsel for the Defendant

Republic of the Philippines


SIXTH JUDICIAL REGION
REGIONAL TRIAL COURT
Branch 4
Kalibo, Aklan

SPS. WILFREDO and MARIETTA


TULAYAN and AIDA R. MALIJAN
Plaintiff,

-versus- Civil Case No. 11369


For: QUIETING OF TITLE,
DECLARATION OF NULLITY
OF DOCUMENT,OWNERSHIP
and DAMAGES

HEIRS OF SPS. PACIFICO


and ANGELITA T. SINTONES
represented by their succes-
sor in interest, ROSALINA S.
MOPIA, and all those claiming
Rights under them, whose
Identities are unknown.
Defendants,
x----------------------------------------------x

MOTION TO WITHDRAW APPEARANCE


OF COUNSEL FOR CAUSE

COMES NOW undersigned counsel, and to this most


Honorable court most respectfully avers:

1. That the undersigned counsel has already terminated his


attorney-client relationship with the defendant particularly because
the physical condition of the counsel renders it difficult for him to
carry out the employment effectively;

2. In view of the foregoing reason the undersigned counsel


most respectfully requests that they be allowed by this Honorable
Court to withdraw their appearance in this case as counsel for the
defendant with the latter’s express conformity.

PRAYER

WHEREFORE, premises considered,


undersigned counsel most respectfully prays that they she allowed
to withdraw her appearance in this case as counsels for all the
above-mentioned defendants and that she be relieved of all her
responsibilities relative to this case.

Other reliefs just and equitable under the premises are


likewise prayed for.

Respectfully submitted.

May 6, 2021, Sablayan, Occidental Mindoro, Philippines.

With my express consent and conformity:

__________________________
ROSALINA S. MOPIA

__________________________
GERARD T. SINTONES

ATTY. MELVIE E. SILVERIO-DACAYANAN


Counsel for the Defendant
1261 Claudio Salgado Street,Buenavista
Sablayan, Occidental Mindoro
Roll of Attorneys No. 68003
IBP Lifetime Roll No. 016948
PTR No. B-8378984, Occ. Mindoro
MCLE Compliance No. VI-0016804
bhem197896@gmail.com

COPY FURNISHED:

ILEDAN MATIONG LAW OFFICES


Counsel for the Plaintiffs
2nd Floor, LM Bldg.
F. Quimpo St., Kalibo, Aklan
Tel. (036) 272-4326

EXPLANATION

Copy of the foregoing Pre-Trial Brief was served to the adverse party
by registered mail with return card, personal service being
impracticable due to the distance and lack of personnel to effect
such service.

ATTY. MELVIE SILVERIO-DACAYANAN


Counsel for the Defendant

You might also like