Fifth Judicial Region Branch 13, Ligao City JUAN DELA CRUZ, Plaintiff, - versus -
CIVIL CASE NO. 2402
JUANA DELA CRUZ,
Respondent. x-------------------------------------x MOTION FOR POSTPONEMENT/DEFERMENT HEARING COMES NOW Defendant, thru undersigned counsel, unto this Honourable Court respectfully states: 1.That the above entitled case is set for [*INITIAL] hearing on July 7,2000; 2.That counsel for defendant is afflicted with influenza and is now under the medical care of Dr. Salazar. A copy of the physicians certificate under is hereto attached [*REASONS: STILL COLLATING/STUDYINGCASE AND ITS EVIDENCE, WITNESS IS UNAVAILABLE ETC]. WHEREFORE, it is respectfully prayed that the hearing set on July7,2000 be reset to another day preferably on the first week of August 2000 or at the convenience of this Honorable Court. Manila, Philippines, July 2, 2000 Sgd. ATTY. Juan Dela Cruz II Counsel for the Defendant (Notice of Hearing) (Proof of Service and Explanation)
Republic of the Philippines
REGIONAL TRIAL COURT
Fifth Judicial Region Branch 13, Ligao City JUAN DELA CRUZ, Plaintiff, - versus -
CIVIL CASE NO. 2402
JUANA DELA CRUZ,
Respondent. x-------------------------------------x MOTION FOR POSTPONEMENT/DEFERMENT HEARING COMES NOW Defendant, thru undersigned counsel, unto this Honourable Court respectfully states: 1.That the above entitled case is set for [*INITIAL] hearing on June 7,2000; 2.That counsel for defendant is afflicted with influenza and is now under the medical care of Dr. Mdarid. A copy of the physicians certificate under is hereto attached [*REASONS: STILL COLLATING/STUDYINGCASE AND ITS EVIDENCE, WITNESS IS UNAVAILABLE ETC]. WHEREFORE, it is respectfully prayed that the hearing set on June 7,2000 be reset to another day preferably on the first week of August 2000 or at theconv enience of this Honorable Court. Manila, Philippines, June 2, 2000 Sgd. ATTY. Pedro Abang Counsel for the Defendant (Notice of Hearing) (Proof of Service and Explanation)