motion for extension

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Republic of the Philippines Department of Justice NATIONAL PROSECUTION SERVICE OFFICE OF THE PROVINCIAL PROSECUTOR Lingayen, Pangasinan HIPOLITO B. MISLANG, Complainant/s, -versus- NPS Docket No. I-01-INV-15G- 00362 DEOLITO L. DELA CRUZ, et. al Respondent. x - - - - - - - - - - - - - - - - - - - - - - - x MOTION FOR EXTENSION OF TIME TO FILE COUNTER-AFFIDAVIT THE UNDERSIGNED, unto this Honorable Office, most respectfully states: 1. That we have received the subpoena on August 11, 2015 requiring us to submit our answer within 10 days from receipt and thus have until August 21, 2015 within which to submit our answer; 2. That until now we have not yet secured the services of a counsel; 4. That we are constrained to request for an additional period of 10 days from August 21, 2015 or until August 31, 2015 within which to submit our answer and other supporting evidences; 4. This Motion is not intended for delay but solely due to the foregoing reasons. P R A Y E R WHEREFORE, it is respectfully prayed of this Honorable Court, that we’d be given an additional period of 10 days or until August 31, 2015 within which to submit our answer and other documentary evidence. And all relief which is just and equitable under the premises is likewise prayed for. Respectfully submitted this 24 th day of August 2015. MAXIMA L. AQUINO DEOLITO L. DELA CRUZ

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Page 1: Motion for Extension

Republic of the PhilippinesDepartment of Justice

NATIONAL PROSECUTION SERVICEOFFICE OF THE PROVINCIAL PROSECUTOR

Lingayen, Pangasinan

HIPOLITO B. MISLANG, Complainant/s,

-versus- NPS Docket No. I-01-INV-15G-00362

DEOLITO L. DELA CRUZ, et. alRespondent.

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

MOTION FOR EXTENSION OF TIME TO FILE COUNTER-AFFIDAVIT

THE UNDERSIGNED, unto this Honorable Office, most respectfully states:

1. That we have received the subpoena on August 11, 2015 requiring us to submit our answer within 10 days from receipt and thus have until August 21, 2015 within which to submit our answer;

2. That until now we have not yet secured the services of a counsel;

4. That we are constrained to request for an additional period of 10 days from August 21, 2015 or until August 31, 2015 within which to submit our answer and other supporting evidences;

4. This Motion is not intended for delay but solely due to the foregoing reasons.

P R A Y E R

WHEREFORE, it is respectfully prayed of this Honorable Court, that we’d be given an additional period of 10 days or until August 31, 2015 within which to submit our answer and other documentary evidence. And all relief which is just and equitable under the premises is likewise prayed for.

Respectfully submitted this 24th day of August 2015.

MAXIMA L. AQUINO DEOLITO L. DELA CRUZ Defendant Defendant

Copy furnished:

Hipolito B. MislangPoblacion West, Labrador, Pangasinan