THE UNDERSIGNED, Private Prosecutor, unto this Honorable
Court most respectfully states that;
1. On November 22, 2017 at 8:30 in the morning, the instant
case was set for presentation of prosecutions evidence. However, the undersigned regretfully informs this most Honorable Court of my unavailability on the said date for the reason that I will be leaving the country on November 21, 2017 and will be back on _______________.
2. Unfortunately, my collaborating counsels were likewise
unavailable on the said date of trial due to prior engagements. Furthermore, the undersigned deems it best to personally conduct the presentation of private complainant, ______________, as witness considering my familiarity and personal knowledge of the facts surrounding the case.
3. In view of the foregoing, the undersigned begs the kind
indulgence of this most Honorable Court to reset the presentation of prosecutions evidence set previously on 22 November 2017 at 8:30 in the morning to the next scheduled trial date on 12 December 2017 at 8:30 in the morning.
4. Needless to state, the foregoing Motion is made in good
faith, and definitely not intended to delay the proceedings of the instant case. PRAYER
WHEREFORE, above considered, it is most respectfully prayed
unto this most Honorable Court that the trial set on 22 November 2017 at 8:30 a.m. be cancelled and reset on the next scheduled trial date on 12 December 2017 at 8:30 a.m. Pasay City for Quezon City, 20 November 2017. 1