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The GSIS retirees filed a motion asking if GSIS could lawfully deduct amounts from their retirement benefits in light of a law exempting such benefits from tax, legal process, and liens. The court ruled that retirement benefits cannot be withheld to pay a retiree's debt to the government. However, the employees were obligated to return benefits unjustifiably disallowed by COA and erroneously granted. While GSIS could not deduct from retirement benefits directly, it could seek recovery of erroneous amounts through a court action against other assets of the employees.
The GSIS retirees filed a motion asking if GSIS could lawfully deduct amounts from their retirement benefits in light of a law exempting such benefits from tax, legal process, and liens. The court ruled that retirement benefits cannot be withheld to pay a retiree's debt to the government. However, the employees were obligated to return benefits unjustifiably disallowed by COA and erroneously granted. While GSIS could not deduct from retirement benefits directly, it could seek recovery of erroneous amounts through a court action against other assets of the employees.
The GSIS retirees filed a motion asking if GSIS could lawfully deduct amounts from their retirement benefits in light of a law exempting such benefits from tax, legal process, and liens. The court ruled that retirement benefits cannot be withheld to pay a retiree's debt to the government. However, the employees were obligated to return benefits unjustifiably disallowed by COA and erroneously granted. While GSIS could not deduct from retirement benefits directly, it could seek recovery of erroneous amounts through a court action against other assets of the employees.
Facts: On account of the consolidated cases of the parties involved, the Court promulgated a decision, on the one hand, ordering the refund of amounts representing fringe benefits granted to GSIS employees; and on the other, affirming the disallowance in excess of that approved by the COA which was later on deducted by GSIS from the employees retirement benefits. The GSIS retirees then filed a motion for amendatory and clarificatory judgment (amendatory motion) asking the court whether the GSIS may lawfully deduct any amount from their retirement benefits in light of Section 39 of Republic Act No. 8291. The court then ruled that the said provision provides the Exemption of Retirement benefits from Tax, Legal Process and Lien. As settled in several cases, retirement pay accruing to a public officer may not be withheld and applied to his indebtedness to the government. Hence, the GSIS employees retained their retirement benefits including those which were properly disallowed by the COA. Issues: 1. Whether the GSIS employees have the obligation to return the benefits which were justifiably disallowed by the COA and erroneously granted to and received by them. 2. Whether GSIS can seek restoration of the amounts erroneously granted to and received by the employees. Held: 1. Yes. The GSIS employees resultantly retained benefits to which they were not legally entitled which, in turn, gave rise to an obligation on their part to return the amounts under the principle of solutio indebiti. Under Article 2154 of the Civil Code, if something is received and unduly delivered through mistake when there is no right to demand it, the obligation to return the thing arises. 2. Yes. While GSIS cannot directly proceed against its employees retirement benefits, it can nonetheless seek restoration of the amounts by means of a proper court action for its recovery. There is no prohibition against enforcing a final monetary judgment against its employees other assets and properties. This is only fair and consistent with basic principles of due process.
LEGPROF-06-Re Letter of the UP Law Faculty Entitled “Restoring Integrity- A Statement by the Faculty of the UP College of Law on the Allegations of Plagiarism and Misrepresentation in the Supreme Court” Digest