Latogan vs. People G.R. No. 238298, January 22, 2020 (Construction of Rules)

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CONSTRUCTION OF THE RULES IN CRIMINAL PROCEDURE:

JOEL F. LATOGAN, PETITIONER, v. PEOPLE OF THE PHILIPPINES,


RESPONDENT
G.R. No. 238298, January 22, 2020

Facts:
Joel Latogan was charged by RTC for the crime of Murder for killing Mary Grace Cabbigat
on November 8, 2009. Latogan filed a motion for reconsideration of the RTC decision, but
his motion for reconsideration was denied because it did have a notice of hearing.  He filed
a Manifestation stating that the RTC should not have denied his motion on a mere
technicality considering the gravity of the errors ascribed to it. On the same date, he filed a
Notice of Appeal.  The public prosecutor opposed this Manifestation as well as the Notice
of Appeal, arguing that the filing of the pro-forma motion for reconsideration did not toll
the running of the period to appeal, thus the case had attained finality. The RTC denied due
course to the appeal, echoing the public prosecutor’s objection that the filing of the pro-
forma motion did not toll the period to appeal, thus it has attained finality.  
Latogan, then filed a special civil action for certiorari, which the Court of Appeals also
denied, citing technical grounds for its denial; no motion for reconsideration was filed on
the order denying the notice of appeal; the People of the Philippines was not impleaded, and
no proof of service as well as affidavit of service was attached to the petition.

After almost five months, the petitioner filed a motion for reconsideration of the denial of
the certiorari by the CA.  In his Omnibus Motion for Reconsideration dated March 14,
2016, Joel claimed that he stands to serve reclusion perpetua for a heinous crime he
purportedly committed; and that his petition was meant to correct the order of the RTC
judge denying his appeal. Considering the judge’s blatant and grave error in convicting him
of Murder instead of Homicide, and in the interest of justice, technicalities should be set
aside and his petition, as well as the notice of appeal, should be given due course.

Issue:
Whether or not Latogan should be allowed to pursue his appeal.

Ruling:
Yes. The Court ruled that the petitioner be given the opportunity to defend himself and
pursue his appeal because it is evident that the case has been marked by gross negligence
and incompetence of the petitioner’s counsel. The Court notes once again that petitioner’s
counsel filed a flawed motion for reconsideration before the RTC. Later, the CA denied due
course to petitioner’s petition for certiorari, as well as his subsequent notice of appeal, due
to egregious errors of his counsel. The present action was almost dismissed as it is likewise
laden with defects at the beginning, to wit: (a) it was filed out of time and the docket fees
were paid late; (b) it lacked a verified statement of material dates; (c) no copy of the
assailed Sep ember 29, 2015, CA Resolution was attached thereto; (d) the verification was
defective; and (e) the affiant in the affidavit of service lacks competent proof of identity.
Truth be told, these defects are plainly avoidable with the application of the relevant
guidelines existing in our Rules of Court.
 It is worth emphasizing that the rule which states that the mistakes of counsel bind the
client may not be strictly followed where observance of it would result in outright
deprivation of the client’s liberty or property, or where the interests of justice so require. In
rendering justice, procedural infirmities take a backseat against substantive rights of
litigants. 

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