Case Summary (G.R. No. 29512)
Factual Background
The respondents claimed ownership of the property via Transfer Certificate of Title No. T-43927 and alleged that the petitioners had occupied a western portion of this land, approximately 620,000 square meters, intending to develop it into fishponds. The issue escalated when the respondents, represented by Gustavo C. Tolentino, notified the petitioners of their trespass in 1993 and 1994. Despite the notice and a request for time for verification, the petitioners continued to occupy and develop the property, ultimately leading respondents to file a suit for recovery and damages in the Regional Trial Court (RTC).
Proceedings in the Regional Trial Court
Upon litigation, the petitioners argued in their Answer that they had a legitimate claim to the property due to a Fishpond Lease Agreement with the Department of Agriculture. The trial initially declared the petitioners in default after their failure to appear at a pre-trial conference, although this default was set aside, and several subsequent conferences were scheduled without their participation. Eventually, due to continued non-appearance, the RTC allowed the respondents to present evidence ex parte, resulting in a judgment in favor of the respondents that required the petitioners to vacate the land, pay rental value, and cover attorney's fees.
Appeal to the Court of Appeals
The petitioners appealed the RTC decision to the Court of Appeals, which upheld the lower court’s ruling. The petitioners then sought a review of the appellate court's decision, raising four central issues regarding their right to present evidence, the inclusion of the government as a necessary party, the application of the doctrine of exhaustion of administrative remedies, and the appropriateness of an accion publiciana as the legal action pursued by the respondents.
Denial of Due Process Claim
The petitioners contended that they were denied due process due to a lack of opportunity to present their evidence. However, the court found that the petitioners had been afforded numerous opportunities to participate in the proceedings, but repeatedly failed to attend pre-trial conferences. Citing relevant procedural rules, the court upheld that the trial court acted within its rights by allowing ex parte evidence presentation due to the petitioners' continued absence.
Inclusion of Government as a Party
The petitioners’ argument that the Department of Agriculture needed to be included in the case as a necessary party was dismissed by the court on procedural grounds, as this issue had not been presented during lower court proceedings, thereby precluding consideration at the appellate level.
Exhaustion of Administrative Remedies
Addressing the petitioners' claims regarding the exhaustion of administrative remedies, the court noted that such arguments had not been raised before the lower instances and thus could not be considered in the appeal.
Accion Publiciana as Proper Remedy
On the nature of the action, the court clarified that while the petitioners attempted to contest the respondents' title by asserting that the property was public land and thus not subject to private ownership, they could not successfully do so since a certificate of title cannot be collaterally attacked. The court emphasized the validity and binding nature of the respondents’ Torrens title as evidence of their ownership.
Imprescriptibility of the Right to Recover Possession
In response to the petitioners' assertion of laches due to the elapsed time sinc
...continue readingCase Syllabus (G.R. No. 29512)
Factual Background
- Respondents are registered owners of a land in Barangay Balugo, Tagkawayan, Quezon, with an area of 1,056,275 square meters under Transfer Certificate of Title (TCT) No. T-43927.
- Petitioners occupied the western portion of the land, approximately 620,000 square meters, intending to develop fishponds.
- In 1993 and 1994, respondents informed petitioners through Gustavo C. Tolentino, Sr. that the occupied area was part of their property and requested vacation, subject to verification by Gustavo.
- Gustavo died before verification was completed; petitioners continued possession and development despite respondents' demands.
- Respondents filed an accion publiciana to recover possession and claim unearned income, attorney’s fees, and litigation costs.
Petitioners’ Position
- Petitioners claimed the area was government-owned and occupied under a Fishpond Lease Agreement with the Department of Agriculture.
- Argued denial of due process as they were not allowed to present evidence due to default declarations.
- Contended government should have been included as a party for complete case determination.
- Raised exhaustion of administrative remedies and questioned the propriety of accion publiciana as a remedy.
Trial Court Proceedings
- Petitioners were declared in default on August 27, 1996, for failure to appear at pre-trial, but the default was set aside and pre-trial was reset multiple times.
- Petitioners repeatedly failed to appear at subsequent pre-trials (1998 - 2000).
- The court allowed respondents to present evidence ex parte and ruled in favor of respondents: a) Ordered petitioners to vacate land portions occupied. b) Directed petitioners to pay reasonable rental value at P20,000 per annum from October 13, 1995 until restitution of possession. c) Awarded attorney’s fees of P20,000 and litigation expenses of P10,000.
Court of Appeals Ruling
- Affirmed the trial court decision and denied petitioners’ motion for reconsideration for lack of merit.
Issues Raised in Petition for Review
- Denial of ...continue reading