0% found this document useful (0 votes)
420 views

Motion For Reset and Entry of Appearance

This document is a "Motion for Resetting Preliminary Conference and Entry of Appearance" filed by Attorney Shamu M. Sayson on behalf of his client Lanz Aidan L. Olives in the Regional Trial Court of Cebu City, Philippines. The motion requests to enter an appearance as counsel for the defendant and reset the preliminary conference from May 25, 2018 to June 8, 2018 due to a scheduling conflict with another case. The motion aims to have the defendant properly represented and ensure justice is served by rescheduling to a date when the attorney is available.

Uploaded by

Chokie Bam
Copyright
© © All Rights Reserved
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd
0% found this document useful (0 votes)
420 views

Motion For Reset and Entry of Appearance

This document is a "Motion for Resetting Preliminary Conference and Entry of Appearance" filed by Attorney Shamu M. Sayson on behalf of his client Lanz Aidan L. Olives in the Regional Trial Court of Cebu City, Philippines. The motion requests to enter an appearance as counsel for the defendant and reset the preliminary conference from May 25, 2018 to June 8, 2018 due to a scheduling conflict with another case. The motion aims to have the defendant properly represented and ensure justice is served by rescheduling to a date when the attorney is available.

Uploaded by

Chokie Bam
Copyright
© © All Rights Reserved
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd
You are on page 1/ 2

REPUBLIC OF THE PHILIPPINES

REGIONAL TRIAL COURT


7th Judicial Region
Branch 50
Cebu City

FATIMA SARAH G. BONGO


Complainant,

- versus - NPS Docket No. 234561


Complaint for: Violation of
R.A 9262 Violence Against
Women and their Children

LANZ AIDAN L. OLIVES


Respondent.

x-------------------------------x

MOTION FOR RESETTING PRELIMINARY CONFERENCE


AND ENTRY OF APPEARANCE

COMES NOW, the Defendant, through the


undersigned counsel, to this Honorable Court, most
respectfully submits this Entry of Appearance with
Motion to Reset Preliminary Conference and, in
support thereof, states that:

1. It was only today, 24 May 20158 that


defendant sought the assistance of the undersigned
as his counsel in the above-captioned case;

2. In this regard, the undersigned counsel most


respectfully enters his appearance as counsel for
the defendant;

3. Hence, it is respectfully requested that the


undersigned be served and furnished with copies of
pleadings, orders, judgments, and other legal
processes pertinent to this case at Lightsaber St.
Banilad, Cebu City, Philippines;

4. Likewise, with the kind indulgence of this


Honorable Court, the undersigned is constrained to
move for the resetting of the preliminary conference
in this case, scheduled on May 25 2018 at 1:30 in
the afternoon, considering that the undersigned is
likewise scheduled to appear in a previously
scheduled mediation conference in relation to the
case entitled Gonzales vs. Serapio et al., docketed
as Civil Case No. M-QZN-13-04116-CV, pending before
the Regional Trial Court (RTC) Branch 50 of Cebu
City. Hence, it is humbly asked of this Honorable
Court that the preliminary conference in this case
be reset on 08 June 2018 at 1:30 in the afternoon;

5. This “Motion for Resetting Preliminary


Conference And Entry Of Appearance” is not intended
to delay the early disposition of this case but is
being advanced for the better interest of justice.

PRAYER

WHEREFORE, premises considered, it is most


respectfully prayed that this entry of appearance be
noted and that all copies of pleadings, orders,
judgment and other legal processes pertinent to this
case be sent to the address of the undersigned above-
mentioned.

It is also respectfully prayed that the


scheduled preliminary conference originally
scheduled on 25 May at 1:30 p.m. be reset on 08 June
2018, likewise, at 1:30 in the afternoon.

Such other reliefs just and equitable under the


premises are likewise prayed for.

Cebu City, 24 May 2018.

ATTY. SHAMU M. SAYSON


Counsel for the Defendant
Lightsaber St. Banilad, Cebu City
Tel.No. 032-487 6347
MCLE No. IV-0017780; 22 April 2013

With my conformity:

LANZ AIDAN L. OLIVES


Defendant

You might also like