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Pnoc 8 Case

The National Grid Corporation of the Philippines (NGCP) filed a complaint for expropriation against PNOC Alternative Fuels Corporation (PAFC) to acquire 101,290.42 square meters of PAFC's land for the construction of a 230 kV transmission line. NGCP was granted franchise under Republic Act 9511 to operate the country's transmission grid. Negotiations between NGCP and PAFC to establish transmission lines on the property were unsuccessful. The court upheld NGCP's expropriation, finding the acquisition of the property was reasonably necessary under Section 4 of RA 9511 to construct, maintain, and operate the transmission system.
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0% found this document useful (0 votes)
296 views1 page

Pnoc 8 Case

The National Grid Corporation of the Philippines (NGCP) filed a complaint for expropriation against PNOC Alternative Fuels Corporation (PAFC) to acquire 101,290.42 square meters of PAFC's land for the construction of a 230 kV transmission line. NGCP was granted franchise under Republic Act 9511 to operate the country's transmission grid. Negotiations between NGCP and PAFC to establish transmission lines on the property were unsuccessful. The court upheld NGCP's expropriation, finding the acquisition of the property was reasonably necessary under Section 4 of RA 9511 to construct, maintain, and operate the transmission system.
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G.R. No.

224936, September 04, 2019

PNOC ALTERNATIVE FUELS CORPORATION, PETITIONER, v. NATIONAL GRID


CORPORATION OF THE PHILIPPINES, RESPONDENT.

The National Grid Corporation of the Philippines (respondent NGCP) filed a Complaint for Expropriation
against PAFC, Orica Philippines, Inc. In complaint NGCP claims that it is a private corporation engaged in
the business of transmitting electric power from generating plants of power producers to distrubutors.

Respondent NGCP was granted a franchise to operate 6 under Republic Act (R.A.)No. 9511.

NGCP likewise alleged that, in order for it to construct and maintain the Mariveles-Limay 230 kV
Transmission Line Project, it sought to expropriate, upon payment of just compensation, a certain area
of a parcel of land situated at Barangay Batangas II, Mariveles, Bataan and Barangay Lamao, Limay,
Bataan, having a total area of 101,290.42 square meters, more or less (the subject property). The
subject property is part of the Petrochemical Industrial Park. NGCP filed its Complaint seeking to
expropriate the subject property from petitioner PAFC. According to respondent NGCP, it sought to
exercise its right of eminent domain over the subject property because negotiations conducted between
petitioner PAFC and respondent NGCP on the establishment of transmission lines on the subject
property were unsuccessful. Respondent NGCP invoked its general authority to exercise the right of
eminent domain under Section 4 of R.A. No. 9511

Issue: Is the NGCP’s expropriation of subject property under R.A No. 9511 valid ?

Ruling: Yes, it is valid.

Under Section 4 of R.A. No. 9511, respondent NGCP's right to expropriate must be
"reasonably necessary for the construction, expansion, and efficient maintenance and operation of the
transmission system and grid and the efficient operation and maintenance of the subtransmission
systems."The said provision likewise states that "[respondent NGCP] may acquire such private property
as is actually necessary for the realization of the purposes for which this franchise is granted.

In this case, the court upholds the assailed Order of Expropriation issued by the RTC, considering that
respondent NGCP validly expropriated the subject property.

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