1/5/2021
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the private complainant's deposition upon written interrogatories. Sec. 1,
Rule 23 of the Revised Rules of Court specifically provides that the
deposition of a person confined in prison may be taken only by leave of
court upon such terms as the court prescribes;
Third, in the case of People of the Philippines v. Hubert Jeffrey Webb xxx,
the Supreme Court categorically declared that "due process is not a
monopoly of the defense. The State is entitled to due process as much as
the accused". To deny the motion of the Prosecution would result in a highly
inequitable situation where the sole witness relied upon by the Prosecution
to establish their case would be denied the opportunity to present her case
due to procedural technicalities which are beyond her control;
Fourth, the deposition sought by the Prosecution is specifically aimed at
perpetuating the testimony of the private complainant, thus said deposition
may be allowed at any stage of the proceedings and even on appeal
pursuant to Rule 24 of the Revised Rules of Court in the separate opinion of
former Chief Justice Hilario Davide in the previously cited case of People vs.
Webb, be affirmed that depositions may be allowed in criminal cases and
may be taken at any time after the commencement of the action whenever
necessary or convenient, x x x;
xxxx
Fifth, the offense involved in this case, i.e. qualified human trafficking, is a
major transnational crime committed across continents. Unlike the
previously cited cases of Cuenco and Go where the offenses involved are
non-index crimes (i.e., estafa and other deceits), the subject suit involves a
major transnational crime that cuts across borders and is a principal policy
concern among nations. Thus, the Court believes that the Prosecution should
not be denied the opportunity to prove its case, thus assuring the global
community that the Philippines is committed to fight such modern day
menace[.][24]
Indubitably, there was absence of any proof that the grant of the taking of deposition
through written interrogatories by the trial court was made in an arbitrary, whimsical,
and capricious manner. There was no patent abuse of discretion which was so gross in
nature thereby amounting to an evasion of a positive duty or to a virtual refusal to
perform a duty enjoined by law or to act at all in contemplation of law.[25] What was
only apparent in the instant case was that the trial court properly considered the
extraordinary circumstances surrounding the plight of Mary Jane, in relation to
applicable rules and jurisprudence. Suffice it to state that the Decision of the trial court
was not without rhyme or reason. Clearly, there was an honest effort on the part of the
trial court to support its ratiocination and conclusion based on facts and law.
As already adverted, the case at hand is unprecedented. It involves novel issues and
poses difficult questions of law. It is settled jurisprudence that "[a] doubtful or difficult
question of law may become the basis of good faith and, in this regard, the law always
accords to public officials the presumption of good faith and regularity in the
performance of official duties, xxx Any person who seeks to establish otherwise has the
https://elibrary.judiciary.gov.ph/thebookshelf/showdocsfriendly/1/65855
9/22