Plaintiff, Crim Case No. 123456 -versus- for Violation of Section 5, RA 9165 JOAQUIN TUAZON, (Comprehensive Dangerous Drugs Act Accused. 2002) x - - - - - - - - - - - - - - - - - - - - -x
MOTION FOR RESET HEARING
Defendant, through undersigned counsel, and to this Honorable Court most respectfully states that: 1. The above entitled case is set for [*INITIAL] hearing set on May 5, 2017; 2. However, the undersigned counsel hereby regretfully informs the Honorable Court that he cannot attend said hearing; 3. With this, the undersigned is constrained to respectfully request the Honorable Court to reset the hearing of the instant case to another date, subject to the availability of the Honorable Courts calendar. 4. This motion is made in good faith nd not intended to delay the proceedings of the instant case. WHEREFORE, it is respectfully prayed that the hearing set on May 5,2017 be reset to another day preferably on the last week of May 2017 or at the convenience of this Honorable Court. Tagum City, Philippines, April 28, 2017
Sgd. ATTY. ANNE CURTIS
Counsel for the Defendant (Notice of Hearing) (Proof of Service and Explaination)