Motion For Leave To File Demurrer
Motion For Leave To File Demurrer
Motion For Leave To File Demurrer
Complainant,
Accused.
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The ACCUSED, by and through the undersigned Law Firm, unto this
Honorable Court, most respectfully submits the instant Motion, and in
support thereof, avers: That—
1
may oppose the motion within a non-extendible period
of five (5) days from its receipt.
3. Herein Accused has five (5) days from receipt of the above-
mentioned order of the Honorable Court to file the instant motion. Thus, the
instant motion is filed on time.
and
CONTRARY TO LAW.
San Mateo, Rizal
2
December 8, 2014”
PROSECUTION FAILED TO
PROVE THAT HEREIN ACCUSED
HAD IN THEIR POSSESSION
FIREARMS DURING THE
INCIDENT.
1 Page 2, Question No. 5, of Exhibit “I” of the Prosecution (Amended Judicial Affidavit of Msgt Danilo
Dennis Adrales)
2 Page 3, Question No. 9 and 10, of Exhibit “I” of the Prosecution (Amended Judicial Affidavit of Msgt
Danilo Dennis Adrales)
3 Page 14, TSN taken down during the hearing of the above-entitled case on 7 August 2018.
3
innocent lapses that do not affect witness’ credibility. They do not apply to
self-contradictions on material facts. Where these contradictions cannot
be reconciled, the Court has to reject the testimonies, and apply the
maxim, falsus in uno, falsus in omnibus.4
13. Thus, the Prosecution having failed to prove that each of the
Accused had in their possession a firearm/gun during the incident, at no time
should have herein Private Complaint felt that he was under any grave threat
of any infliction of a wrong that would amount to the crime of homicide.
4
15. It is oft-repeated that a finding of guilt must rest on the
evidence of the prosecution not on the weakness or even absence of
evidence for the defense. Thus, it is required that every circumstance
favoring the innocence of the accused must be duly taken into account. The
proof against him must survive the test of reason and the strongest suspicion
must not be permitted to sway judgment. 7 In the instant case, the
Prosecution’s evidence clearly failed the exacting test of moral certainty that
the law demands.
PRAYER
THE
LAW FIRM OF
CHAN ROBLES AND ASSOCIATES
Counsel for the Accused
nd
22 Floor Philippine Stock Exchange Center
Tektite Tower East, Exchange Road
Ortigas Center, Pasig City, Metro Manila
Telephone Nos. 634-0741 to 45; Fax No. 634-0736
www.chanrobles.com; [email protected]
By:
NOTICE OF HEARING
5
HONORABLE BRANCH CLERK OF COURT
Municipal Trial Court
San Mateo, Rizal
Greetings! Please take notice that the undersigned counsel will submit the
foregoing Motion for the consideration and approval of this Honorable Court
on 5 August 2019 at 8:30 A.M. or as soon thereafter as counsel may be
heard.
Copy furnished: