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Motion To Withraw - Ang

The motion requests that the court allow the undersigned counsel to withdraw as counsel for the accused in the criminal case. The counsel states that he previously agreed with the accused to terminate his legal services after over a year of no communication between them. The accused will confirm their agreement in open court. The motion is not intended to delay proceedings but is filed for the reasons given. The counsel respectfully asks the court to relieve him of his duties as counsel for the accused.

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0% found this document useful (0 votes)
249 views2 pages

Motion To Withraw - Ang

The motion requests that the court allow the undersigned counsel to withdraw as counsel for the accused in the criminal case. The counsel states that he previously agreed with the accused to terminate his legal services after over a year of no communication between them. The accused will confirm their agreement in open court. The motion is not intended to delay proceedings but is filed for the reasons given. The counsel respectfully asks the court to relieve him of his duties as counsel for the accused.

Uploaded by

Jake Ariño
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd
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REPUBLIC OF THE PHILIPPINES

MUNICIPAL TRIAL COURT IN CITIES


SIXTH JUDICIAL REGION
Branch 5, Bacolod City
-oOo-

PEOPLE OF THE PHILIPPINES,


Complainant,
Criminal Case No. 17-05-30121
-versus- Violation of BP Blg. 22

MEDORIE B. ANG,
Accused.
x-------------------------------------x

MOTION TO WITHDRAW
AS COUNSEL FOR THE ACCUSED

The UNDERSIGNED COUNSEL FOR THE ACCUSED, before this


Honorable Court, most respectfully states that:

Undersigned counsel respectfully requests this Honorable Court to be


allowed to withdraw his appearance as counsel for the accused in this case;

Previously, undersigned counsel and accused agreed that counsel terminate


his services for the accused. As a matter of fact, it has been a year since the last
time the accused communicated or conferred with counsel;

The accused shall give her conformity to this motion in open court.

This motion is not intended to delay the proceedings but for the reasons set
forth herein.

WHEREFORE, the undersigned respectfully prays that he be relieved of


his duties and obligations as counsel for the accused.

RESPECTFULLY SUBMITTED.

Bacolod City, Philippines, June 15, 2018.

ATTY. JACOB T. ARIÑO


Roll of Attorneys No. 64069
IBP OR No. 31228 / 2-2-2018 / Negros Occidental
PTR No. 0960103B / 1-5-2018 / Negros Occidental
MCLE Compliance No. V - 0010939 / 10-08-2015
Rm. 204, 2nd Floor, Boston Finance & Investment
6th Street, Bacolod City, Philippines
[email protected] / Tel. No. (034) 468-0132

1
NOTICE OF HEARING

The Clerk of Court


MTCC Branch 5

Atty. Jan Michael Arbolado


Counsel for Private Complainant

Please submit the foregoing motion for the kind consideration and action of
the Honorable Court immediately upon receipt hereof without need of oral
argument considering the non-litigious nature of the same. Thank you.

ATTY. JACOB T. ARIÑO

COPY FURNISHED:

ATTY. JAN MICHAEL ARBOLADO


Private Prosecutor
G/F Midtown Arcade, Araneta-Rosario Sts.
Bacolod City, Philippines _____________________________

HON. MERCEDES ODANGO-SARIL


Public Prosecutor
Office of the City Prosecutor, Bacolod City _____________________________

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