0% found this document useful (0 votes)
160 views1 page

FACTS: On September 10, 1971, The National Power Corporation (NPC) Entered Into A Service

This case involves a dispute between Philippine Geothermal, Inc. (PGI) and the National Power Corporation (NPC) over a service contract for geothermal energy exploration that was set to expire in 1996. PGI filed for international arbitration while NPC sought a declaratory ruling on the contract's constitutionality. The Court of Appeals ruled the declaratory relief petition should have been dismissed due to the pending arbitration. The parties later filed a compromise agreement terminating the service contract and establishing new agreements, asking the Supreme Court to approve it. However, the Court found it did not have jurisdiction beyond the initial constitutionality issue and so denied approving the compromise agreement, though it dismissed the case based on the parties' motion.

Uploaded by

Jay Igpuara
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd
0% found this document useful (0 votes)
160 views1 page

FACTS: On September 10, 1971, The National Power Corporation (NPC) Entered Into A Service

This case involves a dispute between Philippine Geothermal, Inc. (PGI) and the National Power Corporation (NPC) over a service contract for geothermal energy exploration that was set to expire in 1996. PGI filed for international arbitration while NPC sought a declaratory ruling on the contract's constitutionality. The Court of Appeals ruled the declaratory relief petition should have been dismissed due to the pending arbitration. The parties later filed a compromise agreement terminating the service contract and establishing new agreements, asking the Supreme Court to approve it. However, the Court found it did not have jurisdiction beyond the initial constitutionality issue and so denied approving the compromise agreement, though it dismissed the case based on the parties' motion.

Uploaded by

Jay Igpuara
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd

PHILIPPINE GEOTHERMAL INC.

VS NATIONAL POWER CORPORATION

G.R. NO. 144302

May 27,2004

FACTS: On September 10, 1971, the National Power Corporation (NPC) entered into a service
contract with Philippine Geothermal, Inc. (PGI), a corporation organized and existing under the laws of
California, United States of America, for the exploration and exploitation of geothermal resources covering
the Tiwi and Mak-Ban Geothermal Fields. The contract was to expire on 1996 but negotiations were
underway as early as 1994. NPC, however, was doubtful whether a renewal would be constitutional in
light of Section 2, Article XII of the 1987 Constitution that: The exploration, development, and
utilization of natural resources shall be under the full control and supervision of the state.

PGI filed a request for arbitration with the International Court of Arbitration while NPC filed a petition for
declaratory relief against PGI praying for the determination of the constitutionality of the service contract.
PGI sought the dismissal of the declaratory relief petition based on lack of jurisdiction over it in light of the
pending arbitration proceedings it instituted but its motion was denied. The RTC denied the motion to
dismiss.

The CA ruled that the petition for declaratory relief should have been dismissed by the RTC as well as by
the court of appeals in view of the pending arbitration proceedings over the same subject matter in view of
a breach of the contract subject of the petition.

During thependency of the case with the SC, PGI and the NPC filed several joint motions to suspend
proceedings upon the ground that they were negotiating for the settlement of the case. The motions were
granted.

The parties subsequently filed a Joint Motion to Approve Compromise Agreement and to Dismiss based
on Compromise Agreement. The compromise agreement provided that they have: agreed to terminate
the Service Contract subject matter of the dispute, in favor of a new Geothermal Sales Contract
and a PD 1442 Geothermal Service Contract, and PGI has committed to form a Philippine company
for the development and operation of the Tiwi and Mak-Ban steamfields (Sec. 6.1 thereof) on a
going-forward basis, thereby effectively erasing any doubt as to the legality of the compromise.

ISSUE: Whether or not the court can approve the Compromise Agreement.

HELD: No. The assailed decision of the Court of Appeals dwells on the issue of jurisdiction of the RTC
over the NPC petition for declaratory relief on the constitutionality of the service contract.

Since only the issue of jurisdiction over the constitutionality of a contract was elevated to this Court, it is
beyond its jurisdiction to pass upon and approve the Compromise Agreement of the parties.

In light of the foregoing development, while this Court denies the parties’ Joint Motion to Approve the
Compromise Agreement, it finds the Motion to Dismiss well-taken.

You might also like