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OLDARICO S. TRAVEÑO v. BOBONGON BANANA GROWERS MULTI-PURPOSE COOPERATIVE

This case has been cited 4 times or more.

2015-06-22
PERALTA, J.
In Oldarico S. Traveno v. Bobongon Banana Growers Multi-Purpose Cooperative,[36] the Court restated the jurisprudential pronouncements respecting non-compliance with the requirements on, or submission of defective, verification and certification against forum shopping:1) A distinction must be made between non-compliance with the requirement on or submission of defective verification, and non-compliance with the requirement on or submission of defective certification against forum shopping.
2013-04-10
DEL CASTILLO, J.
Similarly, in Traveño v. Bobongon Banana Growers Multi-Purpose Cooperative[40] the Court held that: 5) The certification against forum shopping must be signed by all the plaintiffs or petitioners in a case; otherwise, those who did not sign will be dropped as parties to the case. Under reasonable or justifiable circumstances, however, as when all the plaintiffs or petitioners share a common interest and invoke a common cause of action or defense, the signature of only one of them in the certification against forum shopping substantially complies with the Rule.[41]
2013-04-08
PEREZ, J.
In this case, the "reasonable or justifiable circumstance" that would warrant a relaxation of the rule on the certification against forum shopping consists in the undeniable fact that Ingleses are immediate relatives of each other espousing but only one cause in their certiorari petition. A circumstance similar to that of the Ingleses was already recognized as valid by this Court in cases such as Traveno v. Bobongon Banana Growers Multi-Purpose Cooperative[142] and in Cavile v. Heirs of Cavile,[143] just to name a few.
2011-06-01
MENDOZA, J.
In this regard, the case of Oldarico S. Traveno v. Bobongon Banana Growers Multi-Purpose Cooperative,[10] is enlightening: Respecting the appellate court's dismissal of petitioners' appeal due to the failure of some of them to sign the therein accompanying verification and certification against forum-shopping, the Court's guidelines for the bench and bar in Altres v. Empleo, which were culled "from jurisprudential pronouncements," are instructive: