Title
The Intestate Estate of Ty vs. Court of Appeals
Case
G.R. No. 112872
Decision Date
Apr 19, 2001
A widow, as estate administratrix, faced claims from her father-in-law seeking recovery of properties transferred to her late husband; Supreme Court upheld trial court jurisdiction, ruling an implied trust existed and rejecting defenses like statute of limitations and laches.
A

Case Summary (G.R. No. 112872)

Factual Background

Petitioner Sylvia S. Ty was married to Alexander T. Ty, son of private respondent Alejandro B. Ty, on January 11, 1981. Alexander died of leukemia on May 19, 1988, leaving petitioner and their only child, Krizia Katrina. Petitioner was appointed administratrix of the intestate estate and, on November 4, 1992, sought leave to sell or mortgage estate property to raise funds to pay deficiency estate taxes in the sum of P4,714,560.00. The estate inventory included numerous stockholdings—most notably 142,285 shares of ABT Enterprises valued at P14,228,500.00—and a parcel of land in Biak-na-Bato, Sta. Mesa, among other listed assets.

Origin of the Civil Actions

Private respondent Alejandro B. Ty filed two separate actions in the Regional Trial Court. Civil Case Q-91-10833, docketed in Branch 105, sought declaration of nullity of the deed of absolute sale of shares allegedly executed by private respondent in favor of the deceased Alexander. Civil Case Q-92-14352, docketed in Branch 90, prayed for recovery of the pieces of property placed in the name of deceased Alexander. Private respondent alleged that the disputed properties had been acquired with his funds and that the transfers to Alexander were made without cause or consideration.

Motions to Dismiss and Lower Court Rulings

Petitioner moved to dismiss both actions principally for lack of jurisdiction, asserting that the controversies were intra-corporate and therefore within the exclusive competence of the Securities and Exchange Commission under Section 5(b), Presidential Decree No. 902-A. In G.R. No. 114672 petitioner also raised: an alleged express trust; bar by the statute of limitations; violation of Supreme Court Circular 28-91 for failure to include a certification of non-forum-shopping; and laches. The trial courts denied the motions to dismiss. Petitioner sought certiorari relief in the Court of Appeals, which dismissed the petitions. Petitioner then filed the present petitions with the Supreme Court.

Issues Presented to the Supreme Court

The principal issue was whether the regional trial courts had jurisdiction or whether the disputes were intra-corporate matters exclusively cognizable by the SEC under Section 5(b), Presidential Decree No. 902-A. Ancillary issues in G.R. No. 114672 included whether an express trust arose from the transfers, whether the actions were time-barred by prescription, whether private respondent violated Supreme Court Circular 28-91 by omitting a certification of non-forum-shopping, and whether the actions were barred by laches.

Jurisdictional Analysis

The Court applied settled rules that subject-matter jurisdiction is conferred by law and that jurisdictional character is determined from the allegations in the complaint (citing Union Bank of the Philippines vs. Court of Appeals, 290 SCRA 198; Serdoncillo vs. Benolirao, 297 SCRA 448; Tamano vs. Ortiz, 291 SCRA 584; Citibank, N.A. vs. Court of Appeals, 299 SCRA 390; Dio vs. Concepcion, 296 SCRA 579). The Court rejected the proposition that shareholder status alone converts a dispute into an intra-corporate controversy within the SEC's absolute control, citing precedent that Presidential Decree No. 902-A did not confer absolute jurisdiction over all corporate matters (citing Jose Peneyra, et al. vs. Intermediate Appellate Court, 181 SCRA 245; DMRC Enterprises vs. Este del Sol Mountain Reserve, Inc., 132 SCRA 293). The Court emphasized that the nature of the question in controversy controls and that purely civil questions are beyond the limited SEC jurisdiction (citing Viray vs. Court of Appeals, 191 SCRA 309; Saura vs. Saura, Jr., 313 SCRA 465). Here the complaints alleged a simple vendor-vendee relationship and sought declaration that transfers were void for lack of cause or consideration; resolution of that issue required application of the Civil Code and did not call for special corporate expertise. The Court therefore held that the regional trial courts had jurisdiction.

Effect of the Securities Regulation Code

The Court observed that under the subsequently enacted Securities Regulation Code (Republic Act No. 8799) the question of SEC jurisdiction was rendered moot and academic because Section 5.2 of Republic Act No. 8799 vested original and exclusive jurisdiction over intra-corporate controversies in courts of general jurisdiction, including regional trial courts.

Trust and Evidentiary Issues

The Court analyzed petitioner’s contention that private respondent sought to enforce an express trust. The trial court correctly distinguished express trusts from implied or resulting trusts. An express trust requires direct acts or words evidencing intent to create a trust, whereas a resulting trust arises by operation of law where one pays the purchase price and places title in another. The Court found that private respondent alleged facts supporting a resulting trust, not an express trust, and that a resulting trust is implied and admissible to proof by oral evidence under Article 1457, Civil Code. The Court therefore held that petitioner erred in characterizing the claim as one asserting an unenforceable express trust.

Prescription and Statute of Limitations

The Court rejected petitioner’s statute-of-limitations defense. It noted the principle that resulting trusts generally do not prescribe, except when the trustee repudiates the trust (citing Caladiao vs. Vda. De Blas, 10 SCRA 691), and that an action for reconveyance will not prescribe so long as the disputed property remains in the name of the trustee (citing Manalang, et al. vs. Canlas, et al., 94 Phil. 776). The Court reasoned that allowing presc

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