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Republic of the Philippines

REGIONAL TRIAL COURT


National Capital Judicial Region
Pasig City
Branch 152

Juan Perez
Plaintiff,

-versus- CRIMINAL CASE NO.


912578
For: Recovery of sum
Juan Catigbi, Jr. Of money and
Defendant, damages

x-----------------------------------------------------------------x

ENRTY OF APPEARANCE

The Clerk of Court


Regional Trial Court
Pasig City

Undersigned counsel most respectfully enters his appearance as the Counsel


for the defendant Juan Catigbi, Jr. In the above-entitled case.

Accordingly, it is respectfully prayed that the undersigned be furnished copies


of all pleadings, motions, orders, resolutions and notices relative to the instant case
at our office address indicated below.

Makati City for Pasig City, 14 February 2017.

MARCOS PACQUIAO DUTERTE LAW OFFICE


Counsel for Defendant
1404 Amorsolo Street, cor. Zigzag Plaza, Makati City

By:

JORDAN C. MARCOS
PTR No. 87456123 / 01-03-2017 / Makati City
IBP Lifetime No. 0123564
MCLE Compliance No. V-00054123 / 24-02-2023
Roll of Attorneys No. 54621
Copy furnished:

Branch Clerk of Court


Rm. 306 Hall of Justice Regional Trial Court
Pasig City

Atty. Kent P. Marasigan


Counsel for Plaintiff
7/F Rm. 305 Atrium Bldg., Pasay City
Republic of the Philippines
REGIONAL TRIAL COURT
National Capital Judicial Region
Pasig City
Branch 152

Juan Perez
Plaintiff,

-versus- CRIMINAL CASE NO.


912578
For: Recovery of sum
Juan Catigbi, Jr. Of money and
Defendant, damages

x-----------------------------------------------------------------x

MOTION FOR EXTENSION OF TIME TO FILE RESPONDENTS ANSWER TO


THE MOTION

Respondent Juan Catigbi, Jr. (hereafter referred to as Defendant), by


counsel, unto this Honorable Office respectfully states that:

1. This Honorable Court has set the date for filing of the defendants answer
to the motion on January 03, 2017.

2. The undersigned counsel has already drafted its answer to the motion but
due to heavy volume of work, which consists of drafting other pleadings
and motions, attendance at hearings, numerous meetings with clients, he
was unable to finalize defendants answer to the motion.

3. Thus, defendants is restrained to request for a period of fifteen (15) days


from 03 January 2017 to file its answer to the motion.

4. This Motion is not intended to delay the proceedings in the case but is
solely necessitated for the reasons stated above.

PRAYER
WHEREFORE, Defendant respectfully prays for this Honorable Court
that it be given a period of fifteen (15) days from 03 January 2017 to file its
answer to the plaintiffs motion.

Taguig City for Pasig City, 03 January 2017.


MARCOS PACQUIAO DUTERTE LAW OFFICE
Counsel for Defendant
1404 Amorsolo Street, cor. Zigzag Plaza, Makati City

By:

JORDAN C. MARCOS
PTR No. 87456123 / 01-03-2017 / Makati City
IBP Lifetime No. 0123564
MCLE Compliance No. V-00054123 / 24-02-2023
Roll of Attorneys No. 54621

Copy furnished:

Branch Clerk of Court


Rm. 306 Hall of Justice Regional Trial Court
Pasig City

Atty. Kent P. Marasigan


Counsel for Plaintiff
7/F Rm. 305 Atrium Bldg., Pasay City

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