The Supreme Court ruled that the Court of Appeals erred in denying recognition and enforcement of a judgment from a Malaysian court. The petitioner, a Malaysian corporation, obtained a judgment against the private respondent, a Philippine corporation, from the High Court of Malaysia. The petitioner then sought to enforce the judgment in the Philippines. The Supreme Court found that the Malaysian court had jurisdiction over the private respondent since it voluntarily appeared through counsel. Foreign judgments are presumed valid unless proven otherwise. Since the private respondent did not sufficiently prove any grounds to invalidate the Malaysian judgment, such as lack of jurisdiction or notice, the Supreme Court reversed the lower courts and ordered enforcement of the foreign judgment.
The Supreme Court ruled that the Court of Appeals erred in denying recognition and enforcement of a judgment from a Malaysian court. The petitioner, a Malaysian corporation, obtained a judgment against the private respondent, a Philippine corporation, from the High Court of Malaysia. The petitioner then sought to enforce the judgment in the Philippines. The Supreme Court found that the Malaysian court had jurisdiction over the private respondent since it voluntarily appeared through counsel. Foreign judgments are presumed valid unless proven otherwise. Since the private respondent did not sufficiently prove any grounds to invalidate the Malaysian judgment, such as lack of jurisdiction or notice, the Supreme Court reversed the lower courts and ordered enforcement of the foreign judgment.
The Supreme Court ruled that the Court of Appeals erred in denying recognition and enforcement of a judgment from a Malaysian court. The petitioner, a Malaysian corporation, obtained a judgment against the private respondent, a Philippine corporation, from the High Court of Malaysia. The petitioner then sought to enforce the judgment in the Philippines. The Supreme Court found that the Malaysian court had jurisdiction over the private respondent since it voluntarily appeared through counsel. Foreign judgments are presumed valid unless proven otherwise. Since the private respondent did not sufficiently prove any grounds to invalidate the Malaysian judgment, such as lack of jurisdiction or notice, the Supreme Court reversed the lower courts and ordered enforcement of the foreign judgment.
ASIAVEST MERCHANT BANKERS (M) BERHAD vs CA and PNCC
G.R. No. 110263, July 20, 2001
Facts Petitioner is a corporation organized under the laws of Malaysia while private respondenr Philippine National Construction Corporation is a corporation duly incorporated and existing under Philippine Laws. Petitioner initiated a suit for collection against private respondent, then known as Construction and Development Corporation of the Philippines, before the high court of Malaysia in Kuala Lumpur entitled Asiavest Merchant Bankers (M) Berhad v. Asiavest CDCP Sdn. Bhd. and Construction and Development Corporation of the Philippines. Petitioner then sought to recover the indemnity of the performance bond it had put up in favour of private respondent to guarantee the completion of the Felda Project and non-payment of the loan to extend to Asiavest-CDCP Sdn. Bhd. for the completion of Paloh Hanai and Kuantan By Pass Project. The high court of Malaysia (Commercial Division) rendered judgement in favour of herein petitioner. Following its unsuccessful attempts to secure payment from herein private respondent under the aforesaid judgement, petitioner then filed a complaint before the RTC of Pasig, Metro Manila for enforcement of judgement of the High Court of Malaysia. Private respondent in return sought the dismissal of the case via a Motion to Dismiss contending that the alleged judgement of the Malaysian High Court should be denied recognition and enforecement since it is tainted with want of jurisdiction on its face, notice to private respondent, collusion as well as fraud, and there is a clear mistake of law or fact. The said Motion was denied for the ground alleged therewith are not one of those provided under Rule 16 of the Revised Rules of Court. Private Respondent then filed an answer with compulsory counterclaims and raised the grounds that were brought up in their previously file Motion to Dismiss. The Petitioner on the other hand contended in its Reply that the High Court of Malaysia acquired jurisdiction over the person of private respondent by its voluntary submission to its jurisdiction through its appointed counsel. Furthermore, private respondents counsel waived any and all other objections to the formers jurisdiction in a pleading filed before the court. The trial court dismissed the petitioners complaint. Petitioner filed an appeal before the CA which dismissed the same, affirming the decision of the trial court. Issue Whether or not the Court of Appeals erred in denying recognition and enforcement of the Malaysian Court judgement. Ruling Yes. The court of appeals erred in not recognizing and enforcing the judgement of the Malaysian court. Generally, in the absence of a special agreement, no sovereign is bound to give effect within its dominion, a judgment rendered by a tribunal of another country. However the rules of comity, utility and convenience of nations have established a usage among civilized states by which final judgements for foreign courts of competent jurisdiction are reciprocally respected and rendered efficacious under certain conditions that may vary in different countries. In this
case, a valid judgement rendered by a foreign tribunal may be recognized in so far
as the immediate parties and underlying causes of a ction are concerned as long as it is convincingly shown that there has been an opportunity for a full and fair hearing before a court of competent jurisdiction and that the trial in regular proceedings has been conducted, following due citation or voluntary appearance of the defendant and under a system of jurisprudence likely to secure an impartial administration of justice, and that there is nothing to indicate either a prejudice in court and in the system of laws under which it is sitting or fraud in procuring judgement. A foreign judgement is presumed to be valid and binding in the country from which it comes unless proven otherwise base on the presumption of regularity of proceedings and the giving of due notice in the foreign forum under section 50(b), Rule 39 of the Revised Rules of Court which was the governing law at the time the instant case was decided by the trial court and the respondent appellate court, a judgement against a person of a tribunal of a foreign country having jurisdiction to pronounce the same is presumptive evidence of a right as between the parties and their successors in interest by a subsequent title. The judgement may, however be assailed by proof of want or lack of jurisdiction, want of notice to the party, collusion, fraud, or clear mistake of law or fact. In addition, under Section 3 (n), Rule 131 of the Revised Rules of Court: A court-whether in the Philippines or elsewhere enjoys the presumption that it was acting in the lawful exercise of its jurisdiction. Hence, once the authenticity of the foreign judgement is proved, the party questioning the same is tasked with the burden of presumptive validity. In this case, petitioner established the existence of the money judgement of the High Court of Malaysia with the evidence it presented. Petitioners sole witness, testified to the effect that he is in active practice of the law in Malaysia and that he was connected with Skrine and Company as a Legal Assistant upto the year 1981, and that private respondent was sued by his client Asiavest Merchant Bankers in Kuala Lumpur, that the writ of summons were served on March 17, 1983 at the registered office of private respondent and on March 21, 1983 on a financial officer of private respondent for Southeast Asia operations; that representatives for private respondent entered their conditional appearance questioning the regularity of the service of the writ of summons but subsequently withdrew the same when it realized that the writ was properly served; that because private respondent failed to file a statement of defense within two weeks, petitioner filed an application for summary judgement and submitted affidavits and documentary evidence in support of its claim; that the matter was then heard before the high court of Kula Lumpur in a series of dates where private respondent was represented by counsel; and that the end result of all these proceedings is the judgement sought to be enforced. In addition to the aforesaid testimonial evidence, petitioner also offered documentary evidence to support their claim. Having thus proven through foregoing evidence, the existence and authenticity of the foreign judgement enjoys presumptive validity and the burden falls upon the party who disputes the samerespondent to prove otherwise. However, private respondent failed to sufficiently prove its allegations by clear and convincing evidence to prevent the enforcement of the Judgement rendered by the High Court of Malaysia. Petition was granted, the decision denying the enforcement of Judgement of the High Court of Malaysia in Kuala Lumpur was Reversed and Set aside, private respondent was ordered to pay petitioner the amount adjudged in the said foreign judgement subject of the case.
In the Matter of the Testate Estate of Edward e. Christensen, Deceased. Adolfo c. Aznar, Executor and Lucy Christensen, Heir of the Deceased, Executor and Heir-Appellees, Vs.helen Christensen Garcia, Oppositor-Appellant.
Judicial Precedent and Prevention of Contradictory Judgments: An Expository Study of Compliance With Judicial Precedent in Malaysian and Nigerian Courts