Chan Wan V Tan Kim and Chen So

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Chan Wan v.

Tan Kim Chen So


Facts: Chan Wan collected its bearer instruments in the form
of eleven checks from Equitable Banking Corporation, but
were dishonoured due to insufficient funds. As such, she
filed this collection suit. In court, Tan Kim declared that the
checks had been issued to Pinong and Muy for some shoes,
however, was only intended as mere receipts. The court
declined to order payment as Tan Kim was not a holder in
due course, and the cross checks was deposited in the bank
not mentioned in the crossing. The bank mentioned in the
crossing is China Banking Corporation.
Issue:
1. Whether Chan Wan is a holder in due course. NO.
2. Whether Chan Wan has the right to collect against the
eleven checks. YES, however, the case was dismissed in
the interest of justice due to incompleteness of details on
the circumstances of the said transaction.
Discussion: The Negotiable Instruments Law regulating the
issuance of negotiable checks, the rights and the liabilities
arising therefrom, does not mention "crossed checks". Art.
541 of the Code of Commerce refers to such instruments. In
another case decided upon by this court, said Bills of
Exchange Act because the Negotiable Law, originating from
England and codified in the United States, permits resort
thereto in matters not covered by it and local legislation.
Eight of the checks here in question bear across their face
two parallel transverse lines between which these words are
written: non-negotiable China Banking Corporation. These
checks have, therefore, been crossed specially to the China
Banking Corporation, and should have been presented for
payment by China Banking, and not by Chan Wan. Inasmuch
as Chan Wan did present them for payment himself the
Manila court said there was no proper presentment, and
the liability did not attach to the drawer.
1. On the back of the said checks, endorsements were
shown that it had been deposited and presented to China

bank for collection. All the crossed checks have the


clearance endorsements of China Bank. But as the Chan
Kim has no funds they were unpaid and returned, some of
them has a stamp of account closed. How they reach
Tan Kims hands, it did not indicate as the trial court
surmised not a finding of fact that he got them after
returned, as he did not explained such circumstance to
the Court. As such, the lower court held him not to be a
holder in due course under the circumstances, since he
knew, upon taking them up, that the checks had already
been dishonored.
2. Simply because he was not a holder in due course
Chan Wan could not recover on the checks. The
Negotiable Instruments Law does not provide that a
holder who is not a holder in due course, may not in
any case, recover on the instrument.
The only
disadvantage of holder who is not a holder in due
course is that the negotiable instrument is subject to
defense as if it were non- negotiable.
Tan Kim
admitted on cross-examination either that the checks
had been issued as evidence of debts to Pinong and
Muy, and/or that they had been issued in payment of
shoes which Pinong had promised to make for her.
Seeming to imply that Pinong had to make the shoes,
she asserted Pinong had "promised to pay the checks
for me". However, the facts was not completely aired
out. Needless to say, if it were true that the checks
had been issued in payment for shoes that were never
made and delivered, Tan Kim would have a good
defense as against a holder who is not a holder in due
course.
Considering the deficiency of important details on
which a fair adjudication of the parties' right depends,
we think the record should be and is hereby returned,
in the interest of justice, to the court below for
additional evidence, and such further proceedings as
are not inconsistent with this opinion. With the
understanding that, as defendants did not appeal,

their counterclaim must be and is hereby definitely


dismissed.

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