0% found this document useful (0 votes)
3 views2 pages

Script

The document outlines a legal motion requesting the release of bail for the accused, highlighting the absence of a provision regarding the bond in the decision. It also mentions the intention to file necessary pleadings for provisional liberty and the appearance of counsel for arraignment purposes only. Additionally, the accused seeks the dismissal of the case with prejudice and outlines issues to be tried, including the sufficiency of evidence against them.
Copyright
© All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd
0% found this document useful (0 votes)
3 views2 pages

Script

The document outlines a legal motion requesting the release of bail for the accused, highlighting the absence of a provision regarding the bond in the decision. It also mentions the intention to file necessary pleadings for provisional liberty and the appearance of counsel for arraignment purposes only. Additionally, the accused seeks the dismissal of the case with prejudice and outlines issues to be tried, including the sufficiency of evidence against them.
Copyright
© All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd

AXALAN

AQUITAL- CHECK ANG DECISION

-PAG WALANG RELEASE NG BAIL

MOTION

-YOUR HONOR, RESPECTFULLY WE NOTICED IN THE DECISION THAT THERE IS


NO PROVISION REGARDING THE BOND POSTED BY THE ACCUSED, MAY WE
RESPECTFULLY REQUEST YOUR HONOR THAT ANOTHER ORDER BE ISSUED
ALLOWING RELEASE OF BAIL/BOND FOR HIS PROVISIONAL LIBERTY.

CONVICTED

-YOUR HONOR, WE WILL JUST BE FILING THE NECESSARY PLEADING WITHIN


THE REGLEMENTARY PERIOD IN THE MEAN ITME YOUR HONOR, MAY WE PRAY
THAT THE ACCUSED BE ALLOWED FOR PROVISIONAL LIBERTY UNDER THE
SAME BOND HE POSTED

FLORES-ARRAINGMENT LANG

COUNSEL FOR PURPOSES OF ARRAIGNMENT ONLY CONSIDERING YOUR


HONOR THAT LAWYER ACTIVELY HANDLING THIS CASE IS ATTENDING
ANOTHER HEARING AT ROSARIO BATANGAS, I AM ENTERING MY APPEARANCE
YOUR HONOR AS COUNSELF FOR THE ACCUSED FOR ARRAIGNEMNT ONLY

PAG HINDI PUMAYAG-DIRETSO PRETRIAL

I. AGREEMENTS ALLOWED BY LAW

1.1. ACCUSED IS willing to enter into agreements allowed by


law and proposes the following:

II. BRIEF STATEMENT OF CLAIMS


2.1. accused seeks the DISMISSAL of this case WITH
PREJUDICE.

III. ADMITTED AND PROPOSED STIPULATION OF FACTS

III.1 The personal circumstances of the Defendant;


III.2 No other stipulations

IV. ISSUES TO BE TRIED

IV.1 Accused submits that the following issues they put


forward is subject to proof:
-w/not the there is sufficient evidence against the accused
to prove that the crime charged has all its elements that
would warrant the conviction thereof

V. EVIDENCE

5.1. documentary
In the course of the trial, accused reserve the right to
present any and all other documentary evidence which shall
become relevant for the Dismissal of this case, as well as any
other witnesses whose testimony will become relevant.

5.2 witness

You might also like