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Cecilia T. Javelosa vs. Ezequiel Tapus

The petitioner filed a case for unlawful detainer against the respondents regarding a parcel of land owned by the petitioner. The lower courts ruled in favor of the petitioner, but the Court of Appeals reversed, finding that the petitioner failed to prove that the respondents occupied the land by permission of the petitioner. The Supreme Court affirmed the Court of Appeals' decision, holding that in an unlawful detainer case, the plaintiff must prove that the defendant's possession was initially with the plaintiff's permission, but became illegal upon notice to vacate, and that the plaintiff failed to do so here.

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100% found this document useful (1 vote)
639 views1 page

Cecilia T. Javelosa vs. Ezequiel Tapus

The petitioner filed a case for unlawful detainer against the respondents regarding a parcel of land owned by the petitioner. The lower courts ruled in favor of the petitioner, but the Court of Appeals reversed, finding that the petitioner failed to prove that the respondents occupied the land by permission of the petitioner. The Supreme Court affirmed the Court of Appeals' decision, holding that in an unlawful detainer case, the plaintiff must prove that the defendant's possession was initially with the plaintiff's permission, but became illegal upon notice to vacate, and that the plaintiff failed to do so here.

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Jerald Ambe
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© © All Rights Reserved
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Cecilia T. Javelosa vs. Ezequiel Tapus, GR No.

204361, July 4, 2018

FACTS: The petitioner is the registered owner of a parcel of land located at Sitio Pinaungon,
Barangay Balabag, Boracay Island, Malay, Aklan (subject property). The subject property was
acquired by donation from petitioner’s predecessor-in-interest Ciriaco Tirol (Tirol). Allegedly, the
respondents' predecessor was assigned as a caretaker of the subject property, and therefore
possessed and occupied a portion thereof upon the tolerance and permission of Tirol.

Sometime in 2003, the petitioner learned that the subject property was offered for sale by the
respondents. Petitioner filed a complaint in the barangay, but the parties failed to reach an
amicable settlement.

In October 2003, the petitioner sent a demand letter to the respondents ordering them to vacate
the subject property. The demand was unheeded. This prompted the petitioner to file a case for
unlawful detainer. MCTC and RTC ruled in favor of the petitioner. However, the CA reversed the
lower courts’ decision on the ground that petitioner failed to show that the respondents occupied
the subject property pursuant to her tolerance.

ISSUE: Whether or not the CA erred in dismissing the case for unlawful detainer.

HELD: No. In an action for unlawful detainer, the petitioner must prove the following
jurisdictional facts:

(i) initially, possession of property by the defendant was by contract with or by


tolerance of the plaintiff;
(ii) eventually, such possession became illegal upon notice by plaintiff to defendant
of the termination of the latter's right of possession;
(iii) thereafter, the defendant remained in possession of the property and deprived
the plaintiff of the enjoyment thereof; and
(iv) within one year from the last demand on defendant to vacate the property, the
plaintiff instituted the complaint for ejectment.

In order for the petitioner to successfully prosecute a case for unlawful detainer, it is imperative
upon her to prove all the assertions in her complaint. In this case, petitioner failed to adduce
evidence to establish that the respondents' occupation of the subject property was actually
effected through her tolerance or permission.

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