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REPUBLIC OF THE PHILIPPINES NATIONAL CAPITAL JUDICIAL REGION METROPOLITAN TRIAL COURT BRANCH 60 City of Mandaluyong PEOPLE OF THE

PHILIPPINES, CRIM. CASE NO. 110266 FOR: THEFT -versusEDWARD ZABALA Y BOTOR and JOHN DOE, Accused. x-----------------------------------------x

VERY URGENT MOTION FOR REDUCTION OF BAIL


Accused, EDWARD ZABALA Y BOTOR, by himself, unto this Honorable Court, most respectfully move for a reduction of bail upon the grounds, as follows: 1) That I am the accused in Crim. Case No. 110266 who has been

charged for the crime of Theft, pending before this Honorable Court with bail, recommended at SIX THOUSAND (Php6,000.00) PESOS; 2) That my family however has limited means of earning and thus

having difficulty in posting the said recommended bail. I am therefore asking the indulgence and compassion of this Honorable Court for the reduction of the bail recommended, to THREE THOUSAND (Php3,000.00) PESOS, in order for me to avail of and exercise my constitutional right to post bail. 3) That my family can only afford to pay the amount of Php3,000.00

considering our financial constraints as stated herein; and 4) That once granted this prayer, I will avail of my right to post bail so

that I can continue to assist my family in our financial constraints. PREMISES CONSIDERED, it is most respectfully prayed of this Honorable Court that, in the interest of substantial justice, the said bail of Php6,000.00 recommended be reduced to Php3,000.00. Mandaluyong City, this 5th day of February 2013.

EDWARD ZABALA Y BOTOR Accused

NOTICE/GREETINGS/COPY FURNISHED Office of the City Prosecutor Mandaluyong City The Branch Clerk of Court Metropolitan Trial Court Branch 60, Mandaluyong City Please take notice that the foregoing Motion for reduction of bail will be submitted to this Honorable Court for immediate approval and consideration sans oral arguments.

EDWARD ZABALA Y BOTOR Accused