RP Vs Heirs of Boboron
RP Vs Heirs of Boboron
RP Vs Heirs of Boboron
The Ruling:
The dismissal of the proceedings for expropriation at the instance of NAPOCOR is
proper, but in pursuant to Sec. 4, Rule 67 of the Rules of Court, the dismissal or
discontinuance of the proceedings must be upon such terms as the court deems just
and equitable. It is important to note the power of eminent domain. The right of
eminent domain is the ultimate right of the sovereign power to appropriate, not
only the public but private property of all citizens within the territorial sovereignty,
to public purpose. However, this right cannot be exercised in an unlimited manner
for it has two mandatory requirements in the Governments exercise of owner of
eminent domain, namely: (1) that it is for a particular public purpose; and (2) the
just compensation be paid to the property owner. These requirements partake the
nature of implied conditions that should be complied with to be enable the
condemnor to keep the property expropriated.
Public use, in common acceptation, means use by the public. However, the
concept has expanded to include utility, advantage or productivity for the benefit of
the public. Public use has now been held to be synonymous with public interest,
public benefit, and public convenience.
It is essential that the element of public use of the property be maintained
throughout the proceedings for expropriation. The effects of abandoning the public
purpose were explained in Mactan-Cebu International Airport Authority v. Lozada,
Sr., to wit:
More particularly, with respect to the element of public use, the expropriator should
commit to use the property pursuant to the purpose stated in the petition for
expropriation filed, failing which, it should file another petition for the new
purpose.If not, it is then incumbent upon the expropriator to return the said
property to its private owner, if the latter desires to reacquire the same. Otherwise,
the judgment of expropriation suffers an intrinsic flaw, as it would lack one
indispensable element for the proper exercise of the power of eminent domain,
namely, the particular public purpose for which the property will be devoted.
Accordingly, the private property owner would be denied due process of law, and
the judgment would violate the property owners right to justice, fairness and equity.
It is obvious that the purpose of the plaintiff was to acquire for public use. The
fundamental basis then of all actions brought for the expropriation of lands, under
the power of eminent domain, is public use. That being true, the very moment that
it appears at any stage of the proceedings that the expropriation is not for a public
use, the action must fail and should be dismissed. The retirement of the
transmission lines necessarily stripped the expropriation proceedings of the element
of public use. To continue with the expropriation proceedings despite the definite
termination of the public purpose of the project would result in the rendition of an
invalid judgement in favour of the expropriator due to the absence of the essential
element which is public use.
Accordingly, due to the fact that NAPOCOR entered the property without consent
and without paying the compensation to the respondents, as well as to the
damages it caused considering that in the installation of transmission lines, there
were fruit trees and plants damaged, the Court grants the motion to discontinue the
proceedings subject to the conditions mentioned.
Normally, of course, where the institution of an expropriation action precedes the
taking of the property subject thereof, the just compensation is fixed as of the time
of the filing of the complaint. This is so provided by the Rules of Court, the