This case has been cited 2 times or more.
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2011-01-18 |
MENDOZA, J. |
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| The issue is not novel. In Office of the Ombudsman v. Civil Service Commission cases, [4] Home Insurance Guarantee Corporation v. Civil Service Commission [5] and National Transmission Corporation v. Hamoy, [6] the Court has consistently ruled that the CES covers presidential appointees only. Corollarily, as the position of Department Manager II of the PEZA does not require appointment by the President of the Philippines, it does not fall under the CES. | |||||
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2010-11-23 |
MENDOZA, J. |
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| Following the ruling in Office of the Ombudsman v. Civil Service Commission cases[50] and Home Insurance Guarantee Corporation v. Civil Service Commission,[51] the Court is of the position that the CES covers presidential appointees only. Corollarily, as the position of Assistant Department Manager II does not require appointment by the President of the Philippines, it does not fall under the CES. Therefore, the temporary appointments of Sarsonas and Ortega as Assistant Department Manager II do not require third level eligibility pursuant to the Civil Service Law, rules and regulations. | |||||