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REPUBLIC OF THE PHILIPPIMNES

REGIONAL TRIAL COURT


SECOND JUDICIAL REGION
BRANCH 22
CABAGAN, ISABELA

ROGER MIGUEL, CONSUELO M. AGGNAS


And HEIRS OF REMEDIOS M. CASTRO, rep.
By JESUSA CASDTRO .
Plaintiffs,

-versus- CIVIL CASE NO. 22-1418


For: SPECIFIC
PERFORMANCE AND DAMAGE

GIL U. MIGUEL
Defendant
X-----------------------------------------X
MOTION FOR EXTENSION OF
TIME TO ANSWER
DEFENDANT , unto the Honorable Office, respectfully states THAT:
1. Defendant received on DECEMBER 23, 2019 a Summon Regional Trial Court
Branch 22, Cabagan, Isabela requiring him to file Answer and that of his
witnesses within fifteen (15) days from receipt thereof;
2. The defendant is still in the process of collating his documentary evidence and
witnesses to controvert the complaint against him;
3. The period within which to file his Answer expires today January 07, 2020, for
this reason he is begging the kind consideration of this Honorable Office to grant
him another fifteen (15) days from today, within which to comply with the
SUMMONS of this Honorable Office.
4. WHEREFORE, it is respectfully prayed of this Honorable Office to grant herein
defendant an extension of fifteen (15) days within which to file his Answer from
January 07, 2020 to January 22, 2019.
Cabagan Isabela. January 7, 2020.

GIL U. MIGUEL `
Defendant

THE CLERK OF COURT


RTC BRANCH 22,
Cabagan, Isabela

Greetings:
Please submit the foregoing motion for the consideration of the Honorable Office
immediately upon receipt hereof.

GIL U. MIGUEL `
Copy Furnish:
Atty. Teddy G. Dela Cruz
Anao, Cabagan, Isabela
Republic of the Philippines
REGIONAL TRIAL COURT
Second Judicial Region
Branch 22
Cabagan, Isabela

PEOPLE OF THE PHILIPPINES, Criminal Case No. 22-3888


Plaintiff - Appellee,

- versus – (Formerly Criminal Case No. 3467


MCTC – Tumauini-Delfin Albano, Isa.)
ALFIE LORENZO y PASCUA,
Accused-Appellant.
X-----------------------------------------X

MOTION FOR EXTENSION OF TIME


TO FILE MEMORANDUM

Accused-Appellant by the Undersigned Counsel, through the Public Attorney’s


Office, unto the Honorable Office, respectfully states THAT:
1. On August 24, 2018, the Honorable Court issued an Order directing the parties
to file within Fifteen (15) days their respective memoranda.
2. The counsel is still in the process of collating the documentary evidence to
controvert the charge against the appellant;
3. The period within which to file the said memorandum expires on September
08, 2018 for this reason he is begging the kind consideration of this Honorable
Court to grant another Fifteen (15) days from September 08, 2018 or until
September 23, 2018 within which to comply with the Order of this Honorable
Court.

4. WHEREFORE, it is respectfully prayed of this Honorable Court to grant


herein counsel an extension of fifteen (15) days within which to file the
respective memorandum.

Cabagan, Isabela. September 07, 2018.

MARICION B. CAPILI - GUINGAB


Counsel for Accused - Appellant
RTC – Br. 22
Hall of Justice, Cabagan, Isabela

Greetings:

Please submit the foregoing motion for the consideration of the Honorable
Office immediately upon receipt hereof.
MARICION B. CAPILI - GUINGAB

Cc:
Pros. KRISTINE R. MARALLAG - AVE
Office of the Provincial Office
Cabagan, Isabela
Republic of the Philippines
REGIONAL TRIAL COURT
Second Judicial Region
Branch 22
Cabagan, Isabela

PEOPLE OF THE PHILIPPINES, Criminal Case No. 22-3889


Plaintiff - Appellee,

- versus – (Formerly Criminal Case No. 3478


MCTC – Tumauini-Delfin Albano, Isa.)

CARMEN PASCUA and GEMALOU PASCUA,


Accused-Appellant.
X-----------------------------------------X
MOTION FOR EXTENSION OF TIME
TO FILE MEMORANDUM

Accused-Appellant by the Undersigned Counsel, through the Public Attorney’s


Office, unto the Honorable Office, respectfully states THAT:
1. On August 24, 2018, the Honorable Court issued an Order directing the parties
to file within Fifteen (15) days their respective memoranda.
2. The counsel is still in the process of collating his documentary evidence to
controvert the charge against him;
3. The period within which to file the said memorandum expires on September
08, 2018 for this reason he is begging the kind consideration of this Honorable
Court to grant another Fifteen (15) days from September 08, 2018 or until
September 23, 2018 within which to comply with the Order of this Honorable
Court.

4. WHEREFORE, it is respectfully prayed of this Honorable Court to grant


herein counsel an extension of fifteen (15) days within which to file the
respective memorandum.

Cabagan, Isabela. September 07, 2018.

MARICION B. CAPILI - GUINGAB


Counsel for Accused - Appellant
RTC – Br. 22
Hall of Justice, Cabagan, Isabela

Greetings:
Please submit the foregoing motion for the consideration of the Honorable
Office immediately upon receipt hereof.

MARICION B. CAPILI - GUINGAB

Cc:

Pros. KRISTINE R. MARALLAG - AVE


Office of the Provincial Office
Cabagan, Isabela

Atty. LUCKY M. DAMASEN


Unit 5, Mango Suites, Calao East
Santiago City

Republic of the Philippines


Department of Justice
NATIONAL PROSECUTION SERVCE
Province of Isabela
Cabagan, Isabela
JEAMEL MANALO BENINSIG
Complainant, NPS DOCKET NO. II-04-INV-13F-006402
- versus –
For
ROMEO BATARA LUCAS GRAVE COERSION
Respondent/s (Art.286 of RPC as amended by R.A. 7690)
X-----------------------------------------X

MOTION FOR EXTENSION OF


TIME TO FILE COUNTER AFFIDAVIT
RESPONDENT, unto the Honorable Office, respectfully states THAT:
1. Respondent received on August 3, 2013 a Subpoena of the Office of the
Provincial Prosecutor, Ilagan, Isabela requiring him to file Counter Affidavit and
that of his witnesses within ten (10) days from receipt thereof;
5. The respondent is still in the process of collating his documentary evidence
to controvert the charge against them;
6. The period within which to file his Counter Affidavit expires today August 13,
2013 for this reason he is begging the kind consideration of this Honorable
Office to grant him another ten (10) days from today August 13, 2013, within
which to comply with the Subpoena of this Honorable Office.
7. WHEREFORE, it is respectfully prayed of this Honorable Office to grant
herein respondent an extension of ten (10) days within which to file his
Counter Affidavit
Cabagan Isabela, August 13, 2013
ROMEO BATARA LUCAS
Respondent

Office of the Provincial Prosecutor


Hall of Justice, Cabagan, Isabela

Greetings:
Please submit the foregoing motion for the consideration of the Honorable
Office immediately upon receipt hereof.

ROMEO BATARA LUCAS

Cc:
Jeamel Manalo Beninsig
Brgy. District 1, Tumauini, Isabela
Republic of the Philippines
Department of Justice
NATIONAL PROSECUTION SERVCE
Province of Isabela
Cabagan, Isabela
PEOPLE OF THE PHILIPPINES
Complainant, NPS DOCKET NO. II-04-INV-13E-00401
- versus –
For
AMBROSIO LAGUNDI GRAVE THREATS
Respondent/s
X-----------------------------------------X

MOTION FOR EXTENSION OF


TIME TO FILE COUNTER AFFIDAVIT
RESPONDENT, unto the Honorable Office, respectfully states THAT:
8. Respondent received on June 17, 2013 a Subpoena of the Office of the
Provincial Prosecutor, Cabagan, Isabela requiring him to file Counter Affidavit
and that of his witnesses within ten (10) days from receipt thereof;
9. The respondent is still in the process of collating his documentary evidence
to controvert the charge against him;
10. The period within which to file his Counter Affidavit expires today June 27,
2013 for this reason he is begging the kind consideration of this Honorable
Office to grant him another ten (10) days from today June 27, 2013, within
which to comply with the Subpoena of this Honorable Office.
11. WHEREFORE, it is respectfully prayed of this Honorable Office to grant
herein respondent an extension of ten (10) days within which to file his
Counter Affidavit
Cabagan Isabela, June 27, 2013
AMBROSIO LAGUNDI
Respondent
Office of the Provincial Prosecutor
Hall of Justice, Cabagan, Isabela

Greetings:
Please submit the foregoing motion for the consideration of the Honorable
Office immediately upon receipt hereof.

AMBROSIO LAGUNDI

Cc:
Rodito T. Albano
Ballacayu, San Pablo, Isabela
Republic of the Philippines
Department of Justice
NATIONAL PROSECUTION SERVCE
Province of Isabela
Cabagan, Isabela
VENJUNE ILAR
Complainant, NPS DOCKET NO. II-04-INV-13E-00403
- versus –
For
GILBERT PAGUYO, JOMAR RAMOS “Slight Physical Injury”

and CHRISTIAN RAMOS


Respondent/s
X-----------------------------------------X

MOTION FOR EXTENSION OF


TIME TO FILE COUNTER AFFIDAVIT
RESPONDENT, unto the Honorable Office, respectfully states THAT:
1. Respondents received on June 18, 2013 a Subpoena of the Office of the Provincial
Prosecutor, Cabagan, Isabela requiring them to file Counter Affidavit and that of
their witnesses within ten (10) days from receipt thereof;
2. The respondents are still in the process of collating their documentary evidence
to controvert the charge against them;
3. The period within which to file their Counter Affidavit expires today June 28,
2013 for this reason they are begging the kind consideration of this Honorable
Office to grant them another ten (10) days from today June 28, 2013, within
which to comply with the Subpoena of this Honorable Office.
4. WHEREFORE, it is respectfully prayed of this Honorable Office to grant herein
respondents an extension of ten (10) days within which to file their Counter
Affidavit
Cabagan Isabela, June 28, 2013

JOMAR RAMOS GILBERT PAGUYO


Respondent Respondent

CHRISTIAN RAMOS
Respondent

Office of the Provincial Prosecutor


Hall of Justice, Cabagan, Isabela

Greetings:
Please submit the foregoing motion for the consideration of the Honorable
Office immediately upon receipt hereof.

JOMAR RAMOS GILBERT PAGUYO


Respondent Respondent

CHRISTIAN RAMOS
Respondent
Venjune Ilar
San Antonio, Delfin Albano, Isabela.

The respondent is still in the process of collating his documentary evidence to controvert
the charge against him, besides the undersigned counsel cannot possibly prepare his
counter affidavit because he has to attend a personal matter, for this reason he is begging
the kind consideration of this Honorable Office to grant him another ten (10) days from
August 28, 2012, within which to comply with the Subpoena of this Honorable Office.
WHEREFORE, it is respectfully prayed of this Honorable Office to grant herein
respondent an extension of ten (10) days within which to file his Counter Affidavit.
Other relief just and equitable under the premises.
Cabagan Isabela, August 28, 2012.
DEPARTMENT OF JUSTICE
PUBLIC ATTORNEY’S OFFICE
CABAGAN ISABELA
By

TEDDY G. DELA CRUZ


Public Attorney
THE PROSECUTOR
Office of the Provincial Prosecutor
Hall of Justice, Cabagan, Isabela

Greetings:

Please submit the foregoing motion for the consideration of the Honorable Office
immediately upon receipt hereof.

TEDDY G. DELA CRUZ

Cc:
Merlita Macapia – San Rafael Alto, Sto. Tomas, Isabela
The Chief of Police
PNP, Sto. Tomas, Isabela
Republic of the Philippines
Department of Justice
National Prosecution Service
OFFICE OF THE PROVINCIAL PROSECUTOR
Cabagan, Isabela

PEOPLEOF THE PHILIPPINES CRIMINAL CASE NO.3321


Complainant,
-versus- -for-

MARCOS DE GUZMAN ESGUERRA


Respondent/s
X-----------------------------------------X

MOTION FOR EXTENSION OF


TIME TO FILE COUNTER AFFIDAVIT

COMES NOW, undersigned respondent ROVICK M. FUGABAN, and unto this


Honorable Office, most respectfully states THAT:

1. Respondent received on April 8, 2013 a Subpoena dated April 3, 2013 of the Office
of the Provincial Prosecutor’s Office requiring him to file Counter Affidavit and that
of his witnesses within ten (10) days from receipt thereof;

2. The respondent is still in the process of collating his documentary evidence to


controvert the charge against him;

3. The period within which to file his Counter Affidavit expires today April 18, 2013,
for this reason he is begging the kind consideration of this Honorable Office to grant him
another ten (10) days from April 18, 2013, within which to comply with the Subpoena of
this Honorable Office.

WHEREFORE, it is respectfully prayed of this Honorable Office to grant herein


respondent an extension of ten (10) days within which to file his Counter Affidavit

Cabagan Isabela, April 18, 2013

ROVICK M. FUGABAN
Respondent
The Receiving Clerk
Cabagan Prosecutor’s Office
Cabagan, Isabela

Greetings

Please submit the foregoing motion for the consideration of the Honorable Office
immediately upon receipt hereof

ROVICK M. FUGABAN
Copy furnished:
JOHN NATHANIEL
Brgy. Bagutari, Santo Tomas , Isabela
Republic of the Philippines
Department of Justice
National Prosecution Service

OFFICE OF THE PROVINCIAL PROSECUTOR


Cabagan, Isabela

MARS B. MANSIBANG,
PEDRO B. CABAUATAN,
Complainant, NPS Docket No. II-INV-12H-00772

- versus –
For

ISABELO CALLUENG ATTEMPTED HOMICIDE


Respondents
X---------------------------------------X

MOTION FOR EXTENSION OF


TIME TO FILE COUNTER AFFIDAVIT

RESPONDENT, Isabelo Callueng, unto Honorable Office, respectfully states THAT:


1. Respondent received on September 25, 2012 a Subpoena of the Office of the
Provincial Prosecutor’s Office requiring him to file Counter Affidavit and that of his
witnesses within ten (10) days from receipt thereof;

2. The respondent is still in the process of collating his documentary evidence to


controvert the charge against him;

3. The period within which to file his Counter Affidavit expires today October 5,
2012 for this reason he is begging the kind consideration of this Honorable Office to grant
him another ten (10) days from today October 5, 2012, within which to comply with the
Subpoena of this Honorable Office.

WHEREFORE, it is respectfully prayed of this Honorable Office to grant herein


respondent an extension of ten (10) days within which to file his Counter Affidavit

Cabagan Isabela, October 5, 2012

ISABELO CALLUENG
Respondent

Office of the Provincial Prosecutor


Hall of Justice, Cabagan, Isabela

Greetings:
Please submit the foregoing motion for the consideration of the Honorable Office
immediately upon receipt hereof.

ISABELO CALLUENG
Cc:
Mars Mansibang
Pedro Cabauatan
Poblacion II Santa Maria, Isabela

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