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Motion To Postpone PreTrial

The plaintiffs' counsel filed a Motion to Reset Pre-Trial, requesting to reschedule the pre-trial hearing set for July 17, 2019 at 1:30pm. Counsel cannot attend the scheduled hearing due to a conflicting hearing set earlier in Manila on the same day. Counsel asks the court to reschedule the pre-trial to another available date to avoid delaying the case, but allow counsel to attend given the stated reason. A notice was also sent to the branch clerk of court and defense counsel.

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

Motion To Postpone PreTrial

The plaintiffs' counsel filed a Motion to Reset Pre-Trial, requesting to reschedule the pre-trial hearing set for July 17, 2019 at 1:30pm. Counsel cannot attend the scheduled hearing due to a conflicting hearing set earlier in Manila on the same day. Counsel asks the court to reschedule the pre-trial to another available date to avoid delaying the case, but allow counsel to attend given the stated reason. A notice was also sent to the branch clerk of court and defense counsel.

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atty.novie
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© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
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REPUBLIC OF THE PHILIPPINES

REGIONAL TRIAL COURT


NATIONAL CAPITAL JUDICIAL REGION
BRANCH 1
PASAY CITY

SPS. JUAN CRUZ and JUANA CRUZ


Plaintiffs,

-versus- CIVIL CASE No. SC-6140


For: Damages for Death, Loss of Property,
Actual Damages, Moral Damages,
Exemplary Damages and Attorney’s
Fees

SPS. DONALD TRAMP


and EWANA TRAMP
Defendants.

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

MOTION TO RESET PRE-TRIAL

PLAINTIFFS, through the undersigned counsel and to this Honorable Court


most respectfully states that:
1. The Pre-Trial of this case has been set on July 17, 2019 at 1:30 in the
afternoon;

2. However, the undersigned counsel hereby regretfully


informs the Honorable Court that she cannot attend said hearing as she
has a hearing in Manila on the same day, which was set earlier than this
Court’s setting;

3. With this, the undersigned is constrained to respectfully


request the Honorable Court to reset the Pre-Trial of the instant
case to another date, subject to the availability of the Honorable Court’s
calendar.

4. This motion is not intended to delay the early disposition of the instant
case, but based mainly on the aforementioned reason.

WHEREFORE, premises considered, it is respectfully prayed that the foregoing Motion


to Reset Pre-Trial of the undersigned counsel be favorably considered.

Other reliefs just and equitable under the premises are also prayed for.
  RESPECTFULLY SUBMITTED.
Any City for Pasay City, June 26, 2019.
                       
LAW OFFICE OF BARRAT OBAMI
                                                                       Counsel for the Plaintiffs
                                                                 White House Building, Washington Street
Makati City

By:
BARRAT OBAMI
                   PTR No. 3333333; Makati City; 1 January 2019
IBP No. 55555; Makati City; 21 January 2019
Attorney Roll No. 35353
MCLE Compliance VI No. 001117; 10 April 2017

NOTICE

The Branch Clerk of Court


RTC Branch 1
Pasay City

Greetings:

Please submit the foregoing Motion to Reset Pre-Trial to the Honorable


Court for its consideration upon receipt hereof.

BARRAT OBAMI

Copy Furnished:

ATTY. GAGADON
Counsel for the Defendants
2nd Floor, Kangkungan Building
Filthy Street, Manila

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