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(Motion for Intervention) (caption) MOTION FOR INTERVENTION COMES NOW the Intervenor, by the undersigned counsel, and

unto this Honorable Court, most respectfully requests for leave to intervene in the above-captioned case, for the following reasons: That the Intervenor is a purchaser of some of the subdivided portions of Lot No. _______, the subject matter of the above-captioned case; That the Intervenor has a legal interest in the matter in litigation, or in the success of the complainant, or is so situated as to be adversely affected by a distribution or other disposition of the parcel of land, subject matter of the above-captioned case; That this intervention will not, in the least, unduly delay or prejudice the adjudication of the rights of the original parties in the case; That the Intervenor's rights can be fully protected in this proceeding rather than by filing a separate proceeding. PRAYER WHEREFORE, it is most respectfully prayed that the said _____________ be allowed to intervene in this action by filing a Complaint in Intervention, a copy of which is attached to this motion. _____________, Philippines, __Date__. (COUNSEL) (NOTICE OF HEARING) (EXPLANATION) COPY FURNISHED: OPPOSING COUNSEL (Attach a Complaint / Answer in Intervention, as the case may be)

REPUBLIC OF THE PHILIPPINES NATIONAL CAPITAL JUDICIAL REGION REGIONAL TRIAL COURT BRANCH 27, MANILA JUAN DELA CRUZ, Plaintiff, -versusPEDRO SANTOS, Defendant. x-----------------------------------------------x MOTION TO INTERVENE COMES NOW the intervenor, JOSE SANTOS, by this undersigned counsel and to this Honorable Court respectfully prays that he be permitted to file a complaint (or answer) in intervention in the above-entitled case, for the following reasons; 1. That he has legal interest in the matter under litigation, or in the success of either of the parties, or an interest against both, or that he is so situated as the adversely affected by the distribution or other disposition of property in the custody of the court of an officer thereof; 2. That this intervention will not, in the least, unduly delay in this proceeding or prejudice the rights of the original parties in the case; 3. That the intervenors right can be fully protected in this proceeding rather than by filing a separate proceeding. WHEREOF, it is respectfully prayed that JOSE SANTOS be allowed to intervene as party plaintiff (or defendant) and the attached complaint be admitted and served on the defendant (or the answer be admitted and served to the plaintiff). Manila City, Philippines, February 6, 2009. TEODORO DACANAY Attorney for Intervenor DACANAY & ASSOCIATES 2ND Floor, RCBCPlaza, Ayala Avenue, Makati City Roll No. 123456 P.T.R No. 1234567/Manila/January 10, 2011 IBP No. 123456/Manila/January 20,2011 MCLE Compliance No. 123456 For: Collection of sum of money Civil Case No. 32-123456

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