This case involved an appeal of an unlawful detainer case. The Regional Trial Court (RTC) had dismissed the appeal for failure to submit a memorandum within the required period. The Court of Appeals upheld the dismissal. The Supreme Court ruled that under Rule 40, Section 7 of the rules, the submission of a memorandum by the appellant is mandatory. Failure to do so is valid grounds for dismissal of the appeal. As an appeal is a statutory right, the appellant must strictly follow the rules of procedure. By not submitting the memorandum, the appellant failed to comply with the rules and lost the right to appeal. The Court of Appeals did not err in upholding the dismissal.
This case involved an appeal of an unlawful detainer case. The Regional Trial Court (RTC) had dismissed the appeal for failure to submit a memorandum within the required period. The Court of Appeals upheld the dismissal. The Supreme Court ruled that under Rule 40, Section 7 of the rules, the submission of a memorandum by the appellant is mandatory. Failure to do so is valid grounds for dismissal of the appeal. As an appeal is a statutory right, the appellant must strictly follow the rules of procedure. By not submitting the memorandum, the appellant failed to comply with the rules and lost the right to appeal. The Court of Appeals did not err in upholding the dismissal.
This case involved an appeal of an unlawful detainer case. The Regional Trial Court (RTC) had dismissed the appeal for failure to submit a memorandum within the required period. The Court of Appeals upheld the dismissal. The Supreme Court ruled that under Rule 40, Section 7 of the rules, the submission of a memorandum by the appellant is mandatory. Failure to do so is valid grounds for dismissal of the appeal. As an appeal is a statutory right, the appellant must strictly follow the rules of procedure. By not submitting the memorandum, the appellant failed to comply with the rules and lost the right to appeal. The Court of Appeals did not err in upholding the dismissal.
This case involved an appeal of an unlawful detainer case. The Regional Trial Court (RTC) had dismissed the appeal for failure to submit a memorandum within the required period. The Court of Appeals upheld the dismissal. The Supreme Court ruled that under Rule 40, Section 7 of the rules, the submission of a memorandum by the appellant is mandatory. Failure to do so is valid grounds for dismissal of the appeal. As an appeal is a statutory right, the appellant must strictly follow the rules of procedure. By not submitting the memorandum, the appellant failed to comply with the rules and lost the right to appeal. The Court of Appeals did not err in upholding the dismissal.
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MELBA MONCAL ENRIQUEZ
vs
HON. COURT OF APPEALS and VICTORINA TIGLE
G.R. No. 140473, January 28, 2003
QUISUMBING, J.:
FACTS:
Private respondent filed an action for unlawful detainer
against petitioner Melba Moncal Enriquez before the MCTC of Bayawan-Basay, Negros Oriental. In her Answer with Counterclaim filed before the MCTC, Enriquez averred that the subject property is owned in common by the heirs of Felix Moncal and any sale by Macaraya (one of the heirs of Felix Moncal) could only refer to Macarayas undivided 1/7 share of the lot. The MCTC rendered a decision in favor of the plaintiff.
Enriquez appealed to the RTC of Dumaguete City. In its
order, the RTC directed respective counsel for the parties to submit within fifteen days from receipt of said order their respective memoranda and/or briefs. The RTC stated that upon expiration of the period to submit memoranda, it shall decide the case on the basis of the entire record of the proceedings in the court of origin and/or such brief(s) as may have been filed. The counsel for Enriquez failed to comply with the order to submit a memorandum. The RTC issued the following order dismissing the appeal for not filing and submitting a memorandum within the reglementary period as required by Rule 40, Section 7 (b).
Enriquez then elevated the matter to the Court of
Appeals. The appellate court found the primary issue to be procedural in character, namely: the correctness of the order of the RTC dismissing herein petitioners appeal for failure to file her memorandum on appeal. The appellate court decided to dismiss the petition for lack of merit. The appellate court held that under Section 7, Rule 40 of the 1997 Rules of Civil Procedure (the filing of a memorandum) is a mandatory obligation on the part of the appellant, such that, the failure to do so warrants a concomitant dismissal of the appeal.
ISSUE:
Did the Court of Appeals commit a reversible error in
sustaining the order of the RTC which dismissed petitioners appeal for failure to file memorandum on appeal?
RULING:
No. Rule 40, Section 7 of the 1997 Rules of Civil
Procedure is a new provision. Said section is based on Section 21 (c) and (d) of the Interim Rules Relative to the Implementation of the Judiciary Reorganization Act of 1980 (B.P. Blg. 129) with modifications. These include the following changes: (a) the appellant is required to submit a memorandum discussing the errors imputed to the lower court within fifteen (15) days from notice, and the appellee is given the same period counted from receipt of the appellants memorandum to file his memorandum; (b) the failure of the appellant to file a memorandum is a ground for the dismissal of the appeal.
Rule 40, Section 7 (b) provides that, it shall be the duty
of the appellant to submit a memorandum and failure to do so shall be a ground for dismissal of the appeal. The use of the word shall in a statute or rule expresses what is mandatory and compulsory. Further, the Rule imposes upon an appellant the duty to submit his memorandum. A duty is a legal or moral obligation, mandatory act, responsibility, charge, requirement, trust, chore, function, commission, debt, liability, assignment, role, pledge, dictate, office, (and) engagement. Thus, under the express mandate of said Rule, the appellant is duty-bound to submit his memorandum on appeal. Such submission is not a matter of discretion on his part. His failure to comply with this mandate or to perform said duty will compel the RTC to dismiss his appeal.
In rules of procedure, an act which is jurisdictional, or of
the essence of the proceedings, or is prescribed for the protection or benefit of the party affected is mandatory. As private respondent points out, in appeals from inferior courts to the RTC, the appellants brief is mandatory for the assignment of errors is vital to the decision of the appeal on the merits. This is because on appeal only errors specifically assigned and properly argued in the brief or memorandum will be considered, except those affecting jurisdiction over the subject matter as well as plain and clerical errors. Otherwise stated, an appellate court has no power to resolve an unassigned error, which does not affect the court’s jurisdiction over the subject matter, save for a plain or clerical error.
It is true that the Rules should be interpreted so as to
give litigants ample opportunity to prove their respective claims and that a possible denial of substantial justice due to legal technicalities should be avoided. But it is equally true that an appeal being a purely statutory right, an appealing party must strictly comply with the requisites laid down in the Rules of Court. In other words, he who seeks to avail of the right to appeal must play by the rules. This the petitioner failed to do when she did not submit her memorandum of appeal in Civil Case No. 12044 as required by Rule 40, Section 7 of the 1997 Rules of Civil Procedure. That she lost her case is not the trial courts fault but her own. In sum, we find that the Court of Appeals committed no reversible error of law when it upheld (a) the order of the RTC dismissing herein petitioners appeal in Civil Case No. 12044, and (b) its order denying reconsideration.