SC grants supplemental application of Rule 23 of the Rules of Civil Procedure in a criminal case on the grounds of substantial justice and fairness.
The Supreme Court grants supplemental application of Rule 23 of the Rules of Civil Procedure in a criminal case on the grounds of substantial justice and fairness.
---- Where a prosecution’s vital witness in a [criminal proceeding] is unavailable for reasons [other than] those listed in Section 15, Rule 119 of the Rules of Criminal Procedure vis-à-vis the enforcement of the accused’s constitutional right to confront witnesses face-to-face.
Section 15 of Rule 119, which provides the examination of witnesses for the prosecution, states that:
“[w]hen it satisfactorily appears that a witness for the prosecution is:
(1.) too sick or infirm to appear at the trial as directed by the court, or
(2.) has to leave the Philippines with no definite date of returning, he may forthwith be conditionally examined before the court where the case is pending.” [.]
The Court held that the RTC did not gravely abuse its discretion amounting to lack or excess of jurisdiction when it [granted] the taking of testimony of Mary Jane by way of deposition through written interrogatories in light of the conditions of Mary Jane’s reprieve and her imprisonment in Indonesia.
It further held that there are compelling reasons to liberally construe the procedural rules and apply [suppletorily] the Rules on Civil Procedure.
The Court further held that in light of the [unusual circumstances] surrounding Mary Jane’s case, it saw no reason not to apply suppletorily the provisions of Rule 23 of the Rules on Civil Procedure in the interest of substantial justice and fairness.
"The Court said that [to disallow] the written interrogatories will curtail Mary Jane’s right to due process."
✍️⚖️People v. Maria Cristina P. Sergio and Julius L. Lacanilao (G.R. No. 240053, 2019).
👨⚖️ HERNANDO, J.
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