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Republic of the Philippines

Department of Labor and Employment


NATIONAL LABOR RELATIONS COMMISSION
National Capital Region Arbitration Branch
Quezon City

GERRY T. BISNAN,
Complainant,

-versus- NLRC-NCR Case No.11-16611-17


(Labor Arbiter RONALDO R. DOCTOR)

PACKAGING COMPANY,
Respondents.
x- - - - - - - - - - - - - - - - - - - - - - - - - - - - x

MOTION FOR EXTENSION OF TIME TO FILE POSITION PAPER


and FORMAL ENTRY OF APPEARANCE

WITH UTMOST DEFERENCE TO THIS HONORABLE OFFICE,


Complainant, by the undersigned counsel, most respectfully states that:

1. Complainant engaged the services of undersigned only recently;

2. An the hearing last 17 January 2018, both parties were required


to submit their respective Position Papers on 01 February 2018 at 10:00
o’clock in the morning;

3. However, due to the pressures of equally urgent professional


work and prior commitments, the undersigned counsel will not be
able to meet the said deadline;

4. As such, undersigned counsel is constrained to request for an


additional period of ten (10) days from receipt hereof within which to submit
Complainant’s Position Paper and other supporting evidence. Moreover, this
additional time will also allow the undersigned to interview the available
witness and study this instant case;

5. This Motion is not intended for delay but solely due to the
foregoing reasons;
6. Lastly, kindly enter the appearance of the undersigned as
counsel for the Complainant in the above-entitled case. Accordingly, it is

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respectfully prayed that the undersigned be furnished copies of all pleadings,
orders or notices relative to the instant case at following address:

ALAFRIZ DOMINGO BARTOLOME LACHICA AGPAOA


CALVAN CANTIL & CUSTODIO (ADBLACCC) Law Office
Unit 4-I, Future Point Plaza 3, No. 111 Panay Avenue,
Brgy. South Triangle, Quezon City 1103
Landline: (02) 935-4262 • Email: adblaccc@adblaccclaw.com

PRAYER

WHEREFORE, premises considered, Complainant most respectfully


prays unto this Honorable Labor Arbitration Office that he be given an
additional period of TEN (10) DAYS from receipt hereof within which to
submit his Position Paper and other documentary evidence. It is also prayed
that the foregoing Formal Entry of Appearance be duly NOTED.

Other relief, just and equitable are likewise prayed for.

Quezon City. 31 January 2018.

Atty. JASON A. CANTIL


Roll of Attorneys No. 56515
IBP Lifetime Member No. 011356; QC
MCLE Compliance No. V-017096; 03/21/2016
PTR No. 5520902; 01/03/2018; Quezon City
Contact No. 0917-3087689
Email: jac@adblaccclaw.com

JAMES CORWIN S. CUSTODIO


Roll of Attorneys No. 63741
IBP Lifetime No. 014198; 01/12/2016; RSM
MCLE Compliance No. V-0005492; 01/14/2015
PTR No. 5520904; 01/03/2018; Quezon City
Contact No. 0998-8514537
Email: jcc@adblaccclaw.com

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