TOPICS:
- Tests of a valid ordinance
- Formal requirements - enacted within the corporate powers of the LGU; passed in accordance with the procedure prescribed by law
- Substantive requirements - conform with the limitations under the Constitution and the statutes - due process requirements (procedural - notice & hearing & substantive - lawful means and lawful purpose) & the 6 requisites
Legaspi vs. City of Cebu
The Sangguniang Panlungsod of the City of Cebu enacted Ordinance No. 1664 authorizing the traffic enforcers of Cebu City to immobilize any motor vehicle violating the parking restrictions.
Petitioner Atty. Jaban had found his car being immobilized by a steel clamp, was impounded for 3 days, and that he was imposed with a fine of 4,200. Petitioner filed in the RTC of Cebu City seeking the declaration of Ordinance No. 1644 as unconstitutional for being in violation of due process.
ISSUE:
Whether or not the ordinance is unconstitutional.
RULING:
No, the ordinance is not unconstitutional.
For an ordinance to be constitutional, it must comply with the formal requirements, such that it must be enacted within the corporate powers of the local government units, and it must comply with the substantive requirements, such that it must conform with the limitations under the Constitution.
In this case, Ordinance No. 1664 was enacted within the corporate powers of the local government units under Section 458 of the LGC, such as the power to regulate traffic on all streets and prohibit encroachments or obstacles. Moreover, Ordinance No. 1664 also conforms with the limitation on due process under the Constitution. While due process requires notice and hearing, the immobilization of illegally parked vehicles without notice falls under its exceptions. Notice is not necessary because the transgressors were not around at the time of the apprehension.
Therefore, Ordinance No. 1664 is constitutional.