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Republic of the Philippines

REGIONAL TRIAL COURT


_th Judicial Region
Branch ___
_______ City, ______

PEOPLE OF THE PHILIPPINES,


Plaintiff,
CRIM. CASE NO.
FOR:
- versus -

_______________________________________,
Accused,
x - - - - - - - - - - - - - - - - - - - - - - - - - - - -/

MOTION FOR REDUCTION OF BAIL

Accused, by and through the undersigned counsel, unto this Honorable Court
most respectfully avers:

1. That the bail fixed for the provisional liberty of the accused is set at
Php_______________________ for CRIM. CASE NO. R-CEB-19-03461-CR;

2. That the Accused has financial constraints and cannot afford to put up bail
in the said amount;

3. That if the bail recommended is reduced to one-half (1/2) of the


aforementioned amount, which is P _______________, the accused will endeavor to post
the same with the help of his relatives;

PRAYER

WHEREFORE, premises considered, it is most respectfully prayed of this


Honorable Court that the bail fixed for the provisional liberty of the Accused be
reduced from an aggregate amount of Php ________________.00 to P _____________0.00.

Other just and equitable remedies are likewise prayed for.

____ day of _______ 2019, __________ City ___________________, Philippines.

By:

ATTY. _______________________________________
Roll of Attorneys No. 63952
IBP NO. 073176, JAN. 14, 2019, CEBU
MCLE Compliance No. V-0006320,
Valid until April 14, 2022

THE CLERK OF COURT


_____________________________________

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G R E E T I N G S:

Please be informed that the undersigned counsel will submit the foregoing
motion to the Honorable Court for its kind consideration immediately upon receipt
hereof without further argument or presence of counsel. Thank you.

Thank You!

ATTY. _________________________________

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