The document is a motion to admit bail filed on behalf of accused AHBAB SALILAMA ABBAS. It summarizes that the accused is currently detained and seeks bail, as the prosecution has not sufficiently shown that the evidence of guilt is strong to deny bail which the accused is otherwise entitled to as a matter of right. It requests that the accused be admitted to bail in an amount to be determined by the court.
The document is a motion to admit bail filed on behalf of accused AHBAB SALILAMA ABBAS. It summarizes that the accused is currently detained and seeks bail, as the prosecution has not sufficiently shown that the evidence of guilt is strong to deny bail which the accused is otherwise entitled to as a matter of right. It requests that the accused be admitted to bail in an amount to be determined by the court.
The document is a motion to admit bail filed on behalf of accused AHBAB SALILAMA ABBAS. It summarizes that the accused is currently detained and seeks bail, as the prosecution has not sufficiently shown that the evidence of guilt is strong to deny bail which the accused is otherwise entitled to as a matter of right. It requests that the accused be admitted to bail in an amount to be determined by the court.
The document is a motion to admit bail filed on behalf of accused AHBAB SALILAMA ABBAS. It summarizes that the accused is currently detained and seeks bail, as the prosecution has not sufficiently shown that the evidence of guilt is strong to deny bail which the accused is otherwise entitled to as a matter of right. It requests that the accused be admitted to bail in an amount to be determined by the court.
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The document discusses a motion to admit bail for an accused named Ahabb Salilama Abbas who is currently detained. The accused's counsel is arguing that unless the prosecution can satisfactorily show the evidence against the accused is strong, the accused is entitled to bail.
The accused Ahabb Salilama Abbas is charged with violation of Section 5 in relation to Sec. 26 Article II of R.A. 9165.
The accused is requesting to be admitted to bail in an amount to be fixed by the court.
Republic of the Philippines
REGIONAL TRIAL COURT
9th Judicial Region Branch 18 Pagadian City -o0o-
PEOPLE OF THE PHILIPPINES. CRIM. CASE NO. 13206-2K16
Plaintiff,
-versus- -for-
AHBAB SALILAMA ABBAS VIOLATION OF
a.k.a “BAB” , SECTION 5 IN BADRODEN ABO y TUMOG RELATION TO SEC. 26 a.k.a “BADZ”, ARTICLE II OF R.A. SADDAM DOLONAN AMPATU 9165 a.k.a “DAM”, Accused. x-------------------------------------------x
MOTION TO ADMIT BAIL
COMES NOW, Accused AHBAB SALILAMA ABBAS, through
undersigned counsel, unto the Honorable Court, most respectfully states and avers: THAT-
1. Accused is presently detained at the Pagadian City Jail of the Bureau
of Jail and Penology Management, Barangay Lenienza, Pagadian City and is under detention since his arrest;
2. There is no bail recommended for the temporary liberty of the
accused on the assumption that the evidence of guilt against the Accused is strong;
3. That the burden of showing that evidence of guilt is strong is on the
prosecution, and unless this fact is satisfactorily shown, the Accused is entitled to bail as a matter of right.
PRAYER
WHEREFORE, upon prior notice and hearing, it is respectfully
prayed that the Defendant _____________ be admitted to bail in such amount as this Honorable Court may fix.
_____________, Philippines, __Date__.
SHINE NOVEL L. SAIPUDIN Counsel for Accused AHBAB SALILAMA ABBAS Roll of Attorney No. 66798 PTR No. 2910296 - 5/31/2017- Pagadian City IBP O.R. No. 006004 – 5/19/2017- Zamboanga del Sur MCLE Compliance No. (Admitted to the BAR on 23 May 2017) 0451 Purok Ferdinand, Sto. Niño District Pagadian City
NOTIFICATIONS
BRANCH CLERK OF COURT
Branch 18 Regional Trial Court Pagadian City
Greetings! Please submit the foregoing motion, to the
Honorable Court, for hearing on _______________ at _________________, for the kind consideration and approval of the Honorable Court.
ATTY. SHINE NOVEL L. SAIPUDIN
CITY PROSECUTION OFFICE
City of Pagadian
Greetings! Please be informed that the undersigned counsel will
submit the foregoing motion to the Honorable Court, for hearing, on __________________ at __________________ for its kind consideration and approval.
ATTY. SHINE NOVEL L. SAIPUDIN
Copy Furnished: City Prosecution Office _____________________ Pagadian City