The motion requests to reschedule a court hearing from February 20, 2018 to February 24, 2019. The defense counsel will be attending mandatory continuing legal education from February 19-23, 2018 and cannot attend the scheduled hearing. It states this request is made in good faith and not to delay proceedings, but due to the cited reason of the defense counsel's legal education commitment. The court is asked to favorably consider resetting the hearing date.
The motion requests to reschedule a court hearing from February 20, 2018 to February 24, 2019. The defense counsel will be attending mandatory continuing legal education from February 19-23, 2018 and cannot attend the scheduled hearing. It states this request is made in good faith and not to delay proceedings, but due to the cited reason of the defense counsel's legal education commitment. The court is asked to favorably consider resetting the hearing date.
The motion requests to reschedule a court hearing from February 20, 2018 to February 24, 2019. The defense counsel will be attending mandatory continuing legal education from February 19-23, 2018 and cannot attend the scheduled hearing. It states this request is made in good faith and not to delay proceedings, but due to the cited reason of the defense counsel's legal education commitment. The court is asked to favorably consider resetting the hearing date.
__________________ Second Judicial Region ____________
PEOPLE OF THE PHILIPPINES
Plaintiff, -versus- CRIM CASE NO. 123
PEDRO PENDUCO, ET. AL.
Defendants. x---------------------------x
URGENT EX-PARTE MOTION FOR RESETTING
The undersigned counsel, and to this Honorable Court most
respectfully states that:
1. The hearing of this case is set on February 20, 2018 at
8:30 o’clock in the morning;
2. However, the undersigned hereby regretfully moved for
postponement as the undersigned shall be attending Mandatory Continuing Legal Education to be held in Baguio City, Philippines on February 19, 2018 to February 23, 2018 requiring strict compliance;
3. With this, the undersigned is constrained to sincerely
and respectfully request the Honorable Court to set the hearing of the instant case to February 24, 2019 as previously scheduled;
4. This motion is made in good faith and never intended to
delay the proceedings of the case but solely on the above-cited reason.
WHEREFORE, premises considered, it is respectfully
prayed that the foregoing Urgent Ex-Parte Motion for Resetting be favorably considered and that the hearing of this case be set on February 24, 2019, subject to the availability of the Honorable Court’s calendar.